Endangered and Threatened Species; Designation of Critical Habitat for Seven Evolutionarily Significant Units of Pacific Salmon and Steelhead in California, 52488-52627 [05-16389]
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Federal Register / Vol. 70, No. 170 / Friday, September 2, 2005 / Rules and Regulations
DEPARTMENT OF COMMERCE
National Oceanic and Atmospheric
Administration
50 CFR Part 226
[Docket No. 041123329–5202–02; I.D.
No.110904F]
RIN 0648–AO04
Endangered and Threatened Species;
Designation of Critical Habitat for
Seven Evolutionarily Significant Units
of Pacific Salmon and Steelhead in
California
National Marine Fisheries
Service (NMFS), National Oceanic and
Atmospheric Administration,
Commerce.
ACTION: Final rule.
AGENCY:
SUMMARY: We, the National Marine
Fisheries Service (NMFS), are issuing a
final rule designating critical habitat for
two Evolutionarily Significant Units
(ESUs) of chinook salmon
(Oncorhynchus tshawytscha) and five
ESUs of steelhead (O. mykiss) listed as
of the date of this designation under the
Endangered Species Act of 1973, as
amended (ESA). The specific areas
designated in the rule text set out below
include approximately 8,935 net mi
(14,269 km) of riverine habitat and 470
mi2 (1,212 km2) of estuarine habitat
(primarily in San Francisco-San PabloSuisun Bays) in California. Some of the
areas designated are occupied by two or
more ESUs. The annual net economic
impacts of changes to Federal activities
as a result of the critical habitat
designations (regardless of whether
those activities would also change as a
result of the ESA’s jeopardy
requirement) are estimated to be
approximately $81,647,439. We
solicited information and comments
from the public in an Advanced Notice
of Proposed Rulemaking and on all
aspects of the proposed rule. This rule
is being issued to meet the timeline
established in litigation between NMFS
and Pacific Coast Federation of
Fishermen’s Associations (PCFFA et. al
v. NMFS (Civ.No. 03–1883)). In the
proposed rule, we identified a number
of potential exclusions we were
considering including exclusions for
federal lands subject to the Pacific
Northwest Forest Plan, PACFISH and
INFISH. We are continuing to analyze
whether exclusion of those federal lands
is appropriate.
DATES: This rule becomes effective
January 2, 2006.
ADDRESSES: Comments and materials
received, as well as supporting
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documentation used in the preparation
of this final rule, are available for public
inspection by appointment, during
normal business hours, at the National
Marine Fisheries Service, NMFS,
Protected Resources Division, 501 W.
Ocean Blvd., Suite 4200, Long Beach,
CA 90802–4213. The final rule, maps,
and other materials relating to these
designations can be found on our Web
site at https://swr.nmfs.noaa.gov.
FOR FURTHER INFORMATION CONTACT:
Craig Wingert at the above address, at
562/980–4021, or Marta Nammack at
301/713–1401 ext. 180.
SUPPLEMENTARY INFORMATION:
Organization of the Final Rule
This Federal Register notice describes
the final critical habitat designations for
seven ESUs of West Coast salmon and
steelhead listed under the ESA. The
pages that follow summarize the
comments and information received in
response to proposed designations
published on December 10, 2004 (69 FR
71880), describe any changes from the
proposed designations, and detail the
final designations for seven ESUs. To
assist the reader, the content of this
notice is organized as follows:
I. Background and Previous Federal Action
II. Summary of Comments and
Recommendations
Notification and General Comments
Identification of Critical Habitat Areas
Economics Methodology
Weighing the Benefits of Designation vs.
Exclusion
Effects of Designating Critical Habitat
ESU-specific Issues
III. Summary of Revisions
IV. Methods and Criteria Used to Identify
Critical Habitat
Salmon Life History
Identifying the Geographical Area
Occupied by the Species and Specific
Areas within the Geographical Area
Primary Constituent Elements
Special Management Considerations or
Protections
Unoccupied Areas
Lateral Extent of Critical Habitat
Military Lands
Critical Habitat Analytical Review Teams
V. Application of ESA Section 4(b)(2)
Exclusions Based on ‘‘Other Relevant
Impacts’’
Impacts to Tribes
Impacts to Landowners with Contractual
Commitments to Conservation
Exclusions Based on National Security
Impacts
Exclusions Based on Economic Impacts
VI. Critical Habitat Designation
VII. Effects of Critical Habitat Designation
Section 7 Consultation
Activities Affected by Critical Habitat
Designation
VIII. Required Determinations
IX. References Cited
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I. Background and Previous Federal
Action
We are responsible for determining
whether species, subspecies, or distinct
population segments of Pacific salmon
and steelhead (Oncorhynchus spp.) are
threatened or endangered, and for
designating critical habitat for them
under the ESA (16 U.S.C. 1531 et seq).
To qualify as a distinct population
segment, a Pacific salmon or steelhead
population must be substantially
reproductively isolated from other
conspecific populations and represent
an important component in the
evolutionary legacy of the biological
species. According to agency policy, a
population meeting these criteria is
considered to be an Evolutionarily
Significant Unit (ESU) (56 FR 58612,
November 20, 1991).
We are also responsible for
designating critical habitat for species
listed under our jurisdiction. Section 3
of the ESA defines critical habitat as (1)
specific areas within the geographical
area occupied by the species at the time
of listing, on which are found those
physical or biological features that are
essential to the conservation of the
listed species and that may require
special management considerations or
protection, and (2) specific areas outside
the geographical area occupied by the
species at the time of listing that are
essential for the conservation of a listed
species. Our regulations direct us to
focus on ‘‘primary constituent
elements,’’ or PCEs, in identifying these
physical or biological features. Section
7(a)(2) of the ESA requires that each
Federal agency shall, in consultation
with and with the assistance of NMFS,
ensure that any action authorized,
funded or carried out by such agency is
not likely to jeopardize the continued
existence of an endangered or
threatened salmon or steelhead ESU or
result in the destruction or adverse
modification of critical habitat. Section
4 of the ESA requires us to consider the
economic impacts, impacts on national
security, and other relevant impacts of
specifying any particular area as critical
habitat.
The timeline for completing the
critical habitat designations described in
this Federal Register notice was
established pursuant to litigation
between NMFS and the Pacific Coast
Federation of Fishermen’s Associations,
Institute for Fisheries Resources, the
Center for Biological Diversity, the
Oregon Natural Resources Council, the
Pacific Rivers Council, and the
Environmental Protection Information
Center (PCFFA, et al.) and is subject to
a Consent Decree and Stipulated Order
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of Dismissal (Consent Decree) approved
by the D.C. District Court. A complete
summary of previous court action
regarding these designations can be
found in the proposed rule (69 FR
71880; December 10, 2004).
In keeping with the Consent Decree,
on December 10, 2004 (69 FR 71880),
we published proposed critical habitat
designations for two ESUs of Chinook
salmon and five ESUs of O. mykiss. (For
the latter ESUs we used the species’
scientific name rather than ‘‘steelhead’’
because at the time they were being
proposed for revision to include both
anadromous (steelhead) and resident
(rainbow/redband) forms of the
species—see 69 FR 33101, June 14,
2004). The seven ESUs addressed in the
proposed rule were: (1) California
Coastal Chinook salmon; (2) Northern
California O. mykiss; (3) Central
California Coast O. mykiss; (4) SouthCentral Coast O. mykiss; (5) Southern
California O. mykiss; (6) Central Valley
spring run Chinook salmon; and (7)
Central Valley O. mykiss. The comment
period for the proposed critical habitat
designations was originally opened
until February 8, 2005. On February 7,
2005 (70 FR 6394), we announced a
court-approved Amendment to the
Consent Decree which revised the
schedule for completing the
designations and extended the comment
period until March 14, 2005, and the
date to submit final rules to the Federal
Register as August 15, 2005.
In the critical habitat proposed rule
we stated that ‘‘the final critical habitat
designations will be based on the final
listing decisions for these seven ESUs
due by June 2005 and thus will reflect
occupancy ‘‘at the time of listing’’ as the
ESA requires.’’ All of these ESUs had
been listed as threatened or endangered
between 1997–2000, but in 2002 we
announced that we would reassess the
listing status of these and other ESUs
(67 FR 6215; February 11, 2002). We
recently published final listing
decisions for the two Chinook salmon,
but not for the five ESUs of O. mykiss
(70 FR 37160; June 28, 2005). Final
listing determinations for these five
ESUs are expected by December 2005
(70 FR 37219; June 28, 2005). However,
the Consent Decree governing the
schedule for our final critical habitat
designations requires that we complete
final designations for those of the seven
ESUs identified above that are listed as
of August 15, 2005. Because
anadromous forms (i.e., ‘‘steelhead’’) of
the five O. mykiss ESUs have been listed
since 1997–2000 (see summary in June
14, 2004 Federal Register notice, 69 FR
33103), we are now issuing final critical
habitat designations for them in this
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notice in accordance with the Consent
Decree. We are able to do so because in
developing critical habitat designations
for this species we have focused on the
co-occurring range of both the
anadromous and resident forms.
Therefore, both the proposed and final
designations were restricted to the
species’ anadromous range, although we
did consider and propose to designate
some areas occupied solely by resident
fish in upper Alameda Creek in the San
Francisco Bay area. We focused on the
co-occurring range due to uncertainties
about: (1) The distribution of resident
fish outside the range of co-occurrence,
(2) the location of natural barriers
impassable to steelhead and upstream of
habitat areas proposed for designation,
and (3) the final listing status of the
resident form. Section 4(a)(3)(B) of the
ESA provides for the revision of critical
habitat designations as appropriate, and
we will do so (if necessary) after making
final listing determinations for these
five O. mykiss ESUs. Moreover, we
intend to actively revise critical habitat
as needed for all seven ESUs to keep
them as up-to-date as possible.
In an Advance Notice of Proposed
Rulemaking (ANPR) (68 FR 55926;
September 29, 2003), we noted that the
ESA and its supporting regulations
require the agency to address a number
of issues before designating critical
habitat: ‘‘What areas were occupied by
the species at the time of listing? What
physical and biological features are
essential to the species’ conservation?
Are those essential features ones that
may require special management
considerations or protection? Are areas
outside those currently occupied
‘essential for conservation’? What are
the benefits to the species of critical
habitat designation? What economic and
other relevant impacts would result
from a critical habitat designation, even
if coextensive with other causes such as
listing? What is the appropriate
geographic scale for weighing the
benefits of exclusion and benefits of
designation? What is the best way to
determine if the failure to designate an
area as critical habitat will result in the
extinction of the species concerned?’’
We recognized that ‘‘[a]nswering these
questions involves a variety of
biological and economic
considerations’’ and therefore were
seeking public input before issuing a
proposed rule. As we stated in the
proposed rule that followed: ‘‘We
received numerous comments in
response to the ANPR and considered
them during development of this
proposed rulemaking. Where applicable,
we have referenced these comments in
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this Federal Register notice as well as
in other documents supporting this
proposed rule.’’ In the proposed rule,
we described the methods and criteria
we applied to address these questions,
relying upon the unique life history
traits and habitat requirements of
salmon and steelhead.
In issuing the final rule, we
considered the comments we received
to determine whether a change in our
proposed approach to designating
critical habitat for salmon and steelhead
was warranted. In some instances, we
concluded based on comments received
that a change was warranted. For
example, in this final rule we have
revised our approach to allow us to
consider excluding areas covered by
habitat conservation plans in those
cases where the benefits of exclusion
outweigh the benefits of designation.
In other instances, we believe the
approach taken is supported by the best
available scientific information, and that
given the time and additional analyses
required, changes to the methods and
criteria we applied in the proposed rule
were not feasible. We recognize there
are other equally valid approaches to
designating critical habitat and for
answering the myriad questions
described above. Nevertheless, issuance
of the final rule for designating critical
habitat for these ESUs is subject to a
Court Order that requires us to submit
the final regulation to the Federal
Register no later than August 15, 2005,
less than 5 months after the close of the
public comment period. Taking
alternative approaches to designating
critical habitat would have required a
retooling of multiple interrelated
analyses and undertaking additional
new analyses in support of the final
rule, and was not possible given the
time available to us. We will continue
to study alternative methods and criteria
and may apply them in future
rulemakings designating critical habitat
for these or other species.
II. Summary of Comments and
Recommendations
As described in agency regulations at
50 CFR 424.16(c)(1), in the critical
habitat proposed rule we requested that
all interested parties submit written
comments on the proposals. We also
contacted the appropriate Federal, state,
and local agencies, scientific
organizations, and other interested
parties and invited them to comment on
the proposed rule. To facilitate public
participation we made the proposed
rule available via the internet as soon as
it was signed (approximately 2 weeks
prior to actual publication) and
accepted comments by standard mail
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and fax as well as via e-mail and the
internet (e.g., www.regulations.gov). In
addition, we held four public hearings
between January 13, 2005, and February
1, 2005, in the following locations:
Arcata, Rohnert Park, Sacramento, and
Santa Barbara, CA. We received 3,762
written comments (3,627 of which were
form letters or in the form of e-mails
with nearly identical verbiage) during
the comment period on the proposed
rule.
In December 2004, the Office of
Management and Budget (OMB) issued
a Final Information Quality Bulletin for
Peer Review establishing minimum peer
review standards, a transparent process
for public disclosure, and opportunities
for public input (70 FR 2664; January
14, 2005). The OMB Peer Review
Bulletin, implemented under the
Information Quality Act (Pub. L. 106–
554), is intended to provide public
oversight on the quality of agency
information, analyses, and regulatory
activities, and applies to information
disseminated on or after June 16, 2005.
Prior to publishing the proposed rule we
submitted the initial biological
assessments of our Critical Habitat
Analytical Review Teams (hereafter
referred to as CHART) to state comanagers and asked them to review
those findings. These co-manager
reviews resulted in some changes to the
CHARTs’ preliminary assessments (e.g.,
revised fish distribution as well as
conservation value ratings) and helped
to ensure that the CHARTs’ revised
findings (NMFS, 2004b) incorporated
the best available scientific data. We
later solicited technical review of the
entire critical habitat proposal
(biological, economic, and policy bases)
from several independent experts
selected from the academic and
scientific community, Native American
tribal groups, Federal and state agencies,
and the private sector. We also solicited
opinions from three individuals with
economics expertise to review the draft
economics analysis supporting the
proposed rule. All three of the
economics reviewers and one of the
biological reviewers submitted written
opinions on our proposal. We have
determined that the independent expert
review and comments received
regarding the science involved in this
rulemaking constitute adequate prior
review under section II.2 of the OMB
Peer Review Bulletin (NMFS, 2005b).
We reviewed all comments received
from the peer reviewers and the public
for substantive issues and new
information regarding critical habitat for
the various ESUs, and we address them
in the following summary. Peer
reviewer comments were sufficiently
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similar to public comments that we
have responded to them through our
general responses below. For
readers’convenience we have assigned
comments to major issue categories and
where possible have combined similar
comments into single comments and
responses.
Notification and General Comments
Comment 1: Some commenters raised
concerns or complained about the
adequacy of public notification and time
to comment.
Response: We made all reasonable
attempts to communicate our
rulemaking process and the critical
habitat proposal to the affected public.
Prior to the proposed rule we published
an ANPR in which we identified issues
for consideration and evaluation, and
solicited comments regarding these
issues and information regarding the
areas and species under consideration
(68 FR 55926; September 29, 2003). We
considered comments on the ANPR
during our development of the proposed
rule. As soon as the proposed rule was
signed on November 29, 2004 (2 weeks
before actual publication in the Federal
Register), we posted it and supporting
information on the agency’s internet site
to facilitate public review, and we have
provided periodic updates to that site
(see ADDRESSES). In response to
numerous requests—in particular from
plaintiffs as well as private citizens,
counties, farm bureaus, and state
legislators in Washington—the original
60-day public comment period was
extended by 30 days (70 FR 6394;
February 7, 2005) to allow additional
time for the public to submit comments
on the critical habitat proposals.
Additionally, we realize that the
statute provides a short time frame for
designating critical habitat. Congress
amended the ESA in 1982 to establish
the current time frame for designation.
In doing so, Congress struck a balance
between the recognition that critical
habitat designations are based upon
information that may not be
determinable at the time of listing and
the desire to ensure that designations
occur in a timely fashion. Additionally,
the ESA and supporting regulations
provide that designations may be
revised as new data become available to
the Secretary. We recognize that where
the designation covers a large
geographic area, as is the case here, the
short statutory time frame requires a
short period for the public to consider
a great deal of factual information. We
also recognize that this designation
takes a new approach by considering
relative conservation value of different
areas and applying a cost-effectiveness
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framework. In this notice we are
announcing our intention to consider
revising the designations as new habitat
conservation plans and other
management plans are developed, and
as other new information becomes
available. Through that process we
anticipate continuing to engage the
interested public and affected
landowners in an ongoing dialogue
regarding critical habitat designations.
Comment 2: Some commenters
disagreed with our decision to vacate
the February 2000 critical habitat
designations for these ESUs.
Response: We believe that the issues
identified in a legal challenge to our
February 2000 designations warranted
withdrawing that rule. Developing a
cost-effectiveness approach, designed to
achieve the greatest conservation at the
least cost, is in keeping with longstanding Executive direction on
rulemaking and is a responsible and
conservation-oriented approach to
implementing section 4(b)(2) of the
ESA. In addition, we had new and better
information in 2004 than we had in
2000, such as the information of fish
distribution and habitat use that was
generated by agency fishery biologists.
The ESA requires that we use the best
available information, and the
distribution data is the best information
currently available. Finally, the
litigation challenging our 2000
designation also challenged the lack of
specificity in our designation of the
riparian area, leading us to consider
whether there was a better approach
that was more consistent with our
regulations and with the best available
information.
Comment 3: Some commenters stated
that we should wait to publish final
critical habitat designations until after
final listing determinations have been
made and the final hatchery listing
policy is published.
Response: The ESA states that the
Secretary shall designate critical habitat,
defined as areas within or outside the
geographical area occupied by the
species at the time of listing and using
the best available information (emphasis
added). These designations follow that
statutory mandate and have been
completed on a schedule established
under a Consent Decree. Also, the final
hatchery listing policy and final listing
determinations for several salmon ESUs
were published on June 28, 2005 (70 FR
37160 and 37204) in advance of the
completion of this final critical habitat
designation. For reasons described
above in the ‘‘Background and Previous
Federal Action’’ section, we are now
making final designations for those
listed salmon and steelhead ESUs in the
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Southwest Region that are subject to the
Consent Decree and listed as of the date
of this designation.
Identification of Critical Habitat Areas
Comment 4: Several commenters
contended that we can only designate
areas that are essential for species
conservation.
Response: Section 3(5)(A) of the ESA
has a two-pronged definition of critical
habitat: ‘‘(i) the specific areas within the
geographical area occupied by the
species, at the time it is listed * * * on
which are found those physical or
biological features (I) essential to the
conservation of the species and (II)
which may require special management
considerations or protection; and (ii)
specific areas outside the geographical
area occupied by the species, at the time
it is listed * * * upon a determination
by the Secretary that such areas are
essential for the conservation of the
species’ (emphasis added). As described
in this rule and documented in the
reports supporting it, we have strictly
applied this definition and made the
requisite findings. We requested and
received comments on various aspects
of our identification of areas meeting
this definition and address those here.
Only those areas meeting the definition
were considered in the designation
process. Comments regarding the
section 4(b)(2) process, in which we
considered the impacts of designation
and whether areas should be excluded,
are addressed in a subsequent section.
Comment 5: In the proposed rule we
considered occupied streams within a
CALWATER Hydrologic Subarea (HSA)
as the ‘‘specific area’’ in which the
physical or biological features essential
to conservation of the ESUs were found.
We also used these watershed
delineations as the ‘‘particular areas’’—
the analytical unit—for purposes of the
section 4(b)(2) analysis. In the proposed
rule we requested public comment on
whether considering exclusions on a
stream-by-stream approach would be
more appropriate. Some commenters
believed that the watershed scale was
too broad for making critical habitat
designations and suggested that a
smaller watershed or a stream-by-stream
approach was more appropriate. Some
commenters believed that we should
conduct a reach-by-reach assessment in
their watersheds.
Response: Our ESA section 4(b)(2)
report (NMFS, 2005c) acknowledges
that the delineation of both specific
areas and particular areas should be as
small as practicable, to ensure our
designations are not unnecessarily
broad and to carry out congressional
intent that we fully consider the impacts
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of designation. For reasons described in
the section below on ‘‘Methods and
Criteria Used to Identify Critical
Habitat,’’ we continue to believe that the
specific facts of salmon biology and life
history make CALWATER HSA
watersheds in California an appropriate
scale to use in delineating the ‘‘specific’’
areas in which physical or biological
features are found. We also believe
consideration of the impacts of
designation on an HSA watershed scale
results in a meaningful section 4(b)(2)
balancing process. Moreover,
congressional direction requires that
designations be completed in a very
short time frame by a specified
deadline, ‘‘based on such data as may be
available at that time.’’ Given that short
time frame and the geographic extent of
salmon critical habitat, the HSA
watershed was the smallest practicable
area we were able to analyze.
Comment 6: Some commenters
believed we applied the definition of
‘‘specific areas within the geographical
area occupied by the species at the time
it is listed’’ too narrowly. In their views,
this led to two errors—failure to
designate all ‘‘accessible’’ stream
reaches and failure to designate riparian
and upstream areas. Commenters felt
that the ‘‘best scientific data available’’
support a conclusion that salmon and
steelhead will occupy all accessible
streams in a watershed during a period
of time that can be reasonably construed
as ‘‘at the time it is listed.’’ One
commenter stated that ‘‘[w]hether a
particular stream reach is occupied
cannot be determined with certainty
based on ‘‘occupation’’ data alone,
especially for fragmented, declining, or
depressed populations of fish.’’ The
commenter pointed to the rationale
provided in our 2000 rule for
identifying occupied areas as all areas
accessible within a subbasin (a 4th field
watershed, using U.S. Geological Survey
(USGS) terminology): ‘‘NMFS believes
that adopting a more inclusive,
watershed based description of critical
habitat is appropriate because it (1)
recognizes the species’ use of diverse
habitats and underscores the need to
account for all of the habitat types
supporting the species’ freshwater and
estuarine life stages, from small
headwater streams to migration
corridors and estuarine rearing areas; (2)
takes into account the natural variability
in habitat use that makes precise
mapping problematic (e.g., some
streams may have fish present only in
years with abundant rainfall) (65 FR
7764; February 16, 2000).’’
Some commenters believe that in
delineating ‘‘specific areas within the
geographical area occupied by the
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species,’’ we need not confine ourselves
to areas that are literally ‘‘occupiable’’
by the species in that we should
designate riparian and upstream areas. If
there are physical or biological features
essential to conservation to be found
within a broadly defined ‘‘geographical
area occupied by the species,’’ we have
the duty to delineate specific areas in a
way that encompasses them. Some
argued that limiting the designation to
the stream channel fails to recognize the
biological and hydrological connections
between streams and riparian areas and
would lead to further degradation of the
latter. Some commenters suggested that
we use a fixed distance (e.g., 300 feet
(91.4 m) if a functional description is
not used. Some requested that we adopt
the ‘‘functional zone’’ description for
lateral extent used in the 2000
designations (65 FR 7764; February 16,
2000), while other commenters felt that
our reference to habitat linkages with
upslope and upstream areas was vague
and wondered whether we were
actually using the old approach anyway.
Other commenters believed that using
the line of ordinary high water or
bankfull width was appropriate and
noted that this would remove prior
ambiguities about which areas were
designated. Other commenters
supported the approach taken in this
designation, to identify specific areas
occupied by the species and not broadly
designate ‘‘all areas accessible,’’ some
commenting that this was a more
rigorous assessment and more in
keeping with the ESA.
Response: The approach we took in
the proposed designation is different
from the approach we took in the
vacated 2000 designation for a variety of
reasons. The ESA directs that we will
use the best scientific data available in
designating critical habitat. Our
regulations also provide direction:
‘‘[e]ach critical habitat will be defined
by specific limits using reference points
and lines as found on standard
topographic maps of the area * * *
Ephemeral reference points (e.g., trees,
sand bars) shall not be used in defining
critical habitat.’’ (50 CFR 424.12(c)).
With respect to our approach for
identifying ‘‘the geographical area
occupied by the species,’’ we recognize
that the available fish and habitat use
distribution data are limited to areas
that have been surveyed or where
professional judgment has been applied
to infer distribution, and that large areas
of watersheds containing fish may not
have been observed or considered. We
also recognize there have been many
instances in which previously
unobserved areas are found to be
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occupied once they are surveyed.
Nevertheless, we believe the extensive
data compiled by agency biologists,
which was not available when we
completed the 2000 designations,
represents the best scientific
information currently available
regarding the geographical area
occupied by the species. Moreover, the
CHARTs had an opportunity to interact
with the state fish biologists with the
California Department of Fish and Game
(CDFG) to confirm the accuracy of the
data. We also believe the approach we
have taken in this designation better
conforms to the regulatory direction to
use ‘‘specific limits’’ for the designation.
The approach we used in 2000 used
subbasin boundaries to delineate
‘‘specific areas,’’ which arguably met the
requirement to use ‘‘specific limits,’’ but
we believe using latitude-longitude
endpoints in stream reaches, as we have
done here, better adheres to the letter
and spirit of our regulations.
With respect to our approach of
limiting the designation to the occupied
stream itself, not extending the
designation into the riparian zone or
upstream areas, we acknowledge that
our regulations contemplate situations
in which areas that are not literally
occupiable may nevertheless be
designated. Paragraph (d) of 50 CFR
424.12 gives as an example a situation
in which areas upland of a pond or lake
may be designated if it is determined
that ‘‘the upland areas were essential to
the conservation of an aquatic species
located in the ponds and lakes.’’ For this
designation, however, given the vast
amount of habitat under consideration
and the short statutory time frames in
which to complete the designation, we
could not determine ‘‘specific limits’’
that would allow us to map with
accuracy what part of the riparian zone
or upstream area could be considered to
contain PCEs. As an alternative, we
considered the approach we used in
2000, which was to designate riparian
areas that provide function, but
concluded that approach may not have
been entirely consistent with the
regulatory requirement to use ‘‘specific
limits.’’ We believe limiting the
designation to streams will not
compromise the ability of an ESA
section 7 consultation to provide for
conservation of the species. Section 7
requires Federal agencies to ensure their
actions are not likely to destroy or
adversely modify critical habitat.
Actions occurring in the riparian zone,
upstream areas, or upland areas all have
the potential to destroy or adversely
modify the critical habitat in the stream.
Although these areas are not themselves
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designated, Federal agencies must
nevertheless meet their section 7
obligations if they are taking actions in
these areas that ‘‘may affect’’ the
designated critical habitat in the stream.
Even though these designations are
restricted to the stream itself, we will
continue to be concerned about the
same activities we have addressed in
past consultations.
Comment 7: Several commenters
believed we incorrectly applied the
definition of ‘‘specific areas outside the
geographical area occupied by the
species.’’ In the view of some, we failed
our duty under the ESA by not making
a determination that we had identified
as critical habitat enough areas
(occupied and unoccupied) to support
conservation. In the view of others, it
was this failure that led to one of the
errors described in the previous
comment—the failure to designate all
‘‘accessible stream reaches.’’ Many
commenters expressed concern about
statements made in the press that the
change from ‘‘all areas accessible’’ to
areas documented as occupied led to a
90-percent reduction in critical habitat.
Other commenters supported the
approach taken in this designation, to
identify specific areas occupied by the
species and not broadly designate ‘‘all
areas accessible,’’ some commenting
that this was a more rigorous assessment
and more in keeping with the ESA.
Response: Section 3(5)(A)(I) of the
ESA requires us to identify specific
areas within the geographical area
occupied by the species that contain
physical or biological features that may
require special management
considerations or protection. Section
3(5)(A)(ii) requires that specific areas
outside the geographical area occupied
by the species only fall within the
definition of critical habitat if the
Secretary determines that the area is
essential for conservation. Our
regulations further provide that we will
designate unoccupied areas ‘‘only when
a designation limited to [the species’]
present range would be inadequate to
ensure the conservation of the species
(50 CFR 424.12(e)).’’ The ESA requires
the Secretary to designate critical
habitat at the time of listing. If critical
habitat is not then determinable, the
Secretary may extend the period by 1
year, ‘‘but not later than the close of
such additional year the Secretary must
publish a final regulation, based on such
data as may be available at that time,
designating, to the maximum extent
prudent, such habitat.’’
At the present time, we do not have
information allowing us to determine
that the specific areas within the
geographical area occupied by the
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species are inadequate for conservation,
such that unoccupied areas are essential
for conservation. We anticipate revising
our critical habitat designations in the
future as additional information
becomes available through recovery
planning processes.
Comment 8: Some commenters
questioned the adequacy of our
identification of PCEs, in particular the
lack of specificity.
Response: To determine the physical
or biological features essential to
conservation of these ESUs, we first
considered their complex life cycle. As
described in the ANPR and proposed
rule, ‘‘[t]his complex life cycle gives rise
to complex habitat needs, particularly
during the freshwater phase (see review
by Spence et al., 1996).’’ We considered
these habitat needs in light of our
regulations regarding criteria for
designating critical habitat. Those
criteria state that the requirements
essential to species’ conservation
include such things as ‘‘space * * *
[f]ood, water, air, light, minerals, or
other nutritional or physiological
requirements * * * cover or shelter.’’
They further state that we are to focus
on the ‘‘primary constituent elements’’
such as ‘‘spawning sites, feeding sites,
* * * water quality or quantity,’’ etc. In
the ANPR and proposed rule we
identified the features of the habitat that
are essential for the species to complete
each life stage and are therefore
essential to its conservation. We
described the features in terms of sites
(spawning, rearing, migration) that
contain certain elements.
Comment 9: In the proposed rule we
requested comments on the extent to
which specific areas may require special
management considerations or
protection in light of existing
management plans. Several commenters
stated that lands covered by habitat
conservation plans or other management
or regulatory schemes do not require
special management considerations or
protection. Others commented that even
where management plans are present,
there still may be ‘‘methods or
procedures useful’’ for protecting the
habitat features.
Response: The statutory definition
and our regulations (50 CFR 424.02 and
424.12) require that specific areas
within the geographical area occupied
by the species must contain ‘‘physical or
biological features’’ that are ‘‘essential to
the conservation of the species,’’ and
that ‘‘may require special management
considerations or protection.’’ As
described in the proposed rule, and
documented in the reports supporting it,
we first identified the physical or
biological features essential to
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conservation (described in our
regulations at 50 CFR 424.12(b)(5) as
‘‘primary constituent elements’’ or
PCEs). We next determined the ‘‘specific
areas’’ in which those PCEs are found
based on the occupied stream reaches
within a CALWATER HSA watershed.
We used this watershed-scale approach
to delineating specific areas because it
is relevant to the spatial distribution of
salmon and steelhead, whose innate
homing behavior brings them back to
spawn in the watersheds where they
were born (Washington Department of
Fisheries et al., 1992; Kostow, 1995;
McElhany et al., 2000). We then
considered whether the PCEs in each
specific area (watershed) ‘‘may require
special management considerations or
protection.’’
We recognize there are many ways in
which ‘‘specific areas’’ may be
delineated, depending upon the biology
of the species, the features of its habitat
and other considerations. In addressing
these comments, we considered whether
to change the approach described in our
proposed rule and instead delineate
specific areas based on ownership. The
myriad ownerships and state and local
regulatory regimes present in any
watershed, as well as the timing issues
discussed previously, made such an
approach impractical for this
rulemaking, as noted in section I,
‘‘Background and Previous Federal
Action,’’ above. While there are other
equally valid methods for identifying
areas as critical habitat, we believe that
the watershed scale is an appropriate
scale for identifying specific areas for
salmon and steelhead, and for then
determining whether the PCEs in these
areas may require special management
considerations or protections. We will
continue to study this issue and
alternative approaches in future
rulemakings designating critical habitat.
Comment 10: One commenter stated
that we could not designate any
unoccupied areas if we had excluded
any occupied areas, relying on the
regulatory provision cited in a previous
comment and response.
Response: The comment assumes that
all habitat areas are equivalent and
exchangeable, which they are not. An
area may be essential for conservation
because it was historically the most
productive spawning area for an ESU
and unless access to it is restored, the
ESU will not fully recover to the point
that the protections of the ESA are no
longer necessary. This area will be
essential regardless of whether some
other specific area has been excluded.
Comment 11: Several commenters
supported the designation of
unoccupied areas above dams and some
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believed that by not designating these
areas we will make it more difficult to
achieve fish passage in the future. They
further noted that excluding these
presently blocked areas now may
promote habitat degradation that will
hinder conservation efforts should
passage be provided in the future.
Several commenters identified areas
above specified dams as being essential
for conservation.
Response: At the present time, we do
not have information allowing us to
determine that the specific areas within
the geographical area occupied by the
species are inadequate for conservation
nor that currently unoccupied areas
above dams are essential for
conservation. The Southwest Region is
actively involved in a multi-year, largescale recovery planning effort in
California that involves scientific teams
(called technical recovery teams or
TRTs) which are in the process of
identifying ESU population structure,
population viability criteria, and ESU
level biological viability or recovery
goals. These recovery planning efforts
are developing information which will
inform our decisions about whether
unoccupied habitat will be needed to
facilitate conservation beyond what is
currently occupied by the ESUs
addressed in this rulemaking. Until
these efforts are more fully developed,
we cannot make the specific
determinations required under the ESA
to designate critical habitat in
‘‘unoccupied’’ areas. We use our
authorities under the ESA and other
statutes to advocate for salmon passage
above impassible dams where there is
evidence such passage would promote
conservation. This is not the same,
however, as making the determinations
required by the statute and our
regulations to support designation.
Comment 12: In the proposed rule we
requested comments regarding the use
of professional judgment as a basis for
identifying areas occupied by the
species. Some commenters indicated
that it was appropriate to accept the
professional judgment of fish biologists
who are most familiar with fish habitat
within a watershed. Others believed that
limiting the definition of occupied
stream reaches to only those where fish
presence has been observed and
documented is overly narrow and fails
to consider a number of conditions that
affect species distribution, including
natural population fluctuations and
habitat alterations that affect
accessibility or condition (e.g., dewatering stream reaches). These
commenters also argued that defining
occupied reaches should be based on a
broad time scale that takes into account
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52493
metapopulation processes such as local
extinction and recolonization, adding
along with other commenters that many
streams have not been adequately
surveyed and species may frequent
stream reaches but not actually be
observed by a biologist at the time that
critical habitat is being assessed.
Response: We relied on distribution
and habitat use information developed
by our agency fishery biologists from a
wide range of sources, including the
CDFG, to determine which specific
stream reaches were occupied by each
ESU. The data sets we developed
defined occupancy based on field
observations from stream surveys, and,
in some cases, professional judgment
based on the expert opinion of area
biologists. In all cases the exercise of
professional judgment included the
consideration of habitat suitability for
the particular species. We received
several comments on our proposed rule
regarding the accuracy of the
distribution data in specific locations,
and, where we could confirm that the
information provided by the commenter
was accurate, we accepted it as the best
available information and adjusted our
designation. We view designation of
critical habitat as an ongoing process
and expect to adjust the designations as
necessary as new information or
improved methods become available.
Comment 13: Some commenters
addressed the CHART process although
few recommended changes to the
CHARTs’ ratings of watershed
conservation values. Some supported
the process used, in particular the
recognition that not all habitats have the
same conservation value for an ESU and
that this in turn allows for a more
meaningful exclusion assessment under
section 4(b)(2) of the ESA. One
commenter contended that the CHART
assessments were compromised by
restricting them to consider only the
stream channel rather than upslope
areas as well.
Response: The CHART process was an
important part of our analytical
framework in that it allowed us to
improve our analysis of the best
available scientific data and to provide
watershed-specific conservation ratings
useful for the Secretary’s exercise of
discretion in balancing whether the
benefits of exclusion outweigh the
benefits of designation under section
4(b)(2) of the ESA. We do not believe
that designating only the stream channel
compromised the CHARTs’ ability to
assess watershed conservation values.
As noted in the CHART report, the
CHARTs employed a scoring system to
assess (among other area characteristics)
the quality, quantity, and distribution of
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PCEs within a watershed. The PCEs we
have defined for these ESUs are found
within occupied stream channels, and
therefore, it is appropriate to focus our
assessment on those areas. The CHART
scoring did include a factor related to
the potential improvement of existing
PCEs and thereby allowed the CHARTs
to consider the ability of a watershed to
contribute PCEs via natural processes
such as recruitment of large wood and
substrate, flow regulation, floodplain
connectivity, etc. We recognize that
salmon habitat is dynamic and that our
present understanding of areas
important for conservation will likely
change as recovery planning sheds light
on areas that can and should be
protected and restored. We intend to
actively update these designations as
needed so that they reflect the best
available scientific data and
understanding.
Comment 14: Some commenters
questioned whether the CHARTs
considered the work of the various
Technical Recovery Teams (TRTs) and
suggested that the CHART assessments
should be reviewed by the TRTs.
Response: Where information had
been developed by the TRTs, the
CHARTs did consider that information
in their assessments. The CHARTs also
solicited input and comments from the
TRTs on their distribution and habitat
use information as well as their
watershed conservation assessments.
We believe, therefore, that we have been
able to integrate much of the TRT
findings to date into our final critical
habitat designations. Given their
priorities (i.e., providing crucial
recovery planning criteria and guidance)
and the time constraints under which
we needed to complete the critical
habitat assessments, TRT members
could not participate on the CHARTs
directly. We recognize that recovery
planning is an ongoing process and that
new information from the TRTs and
recovery planning stakeholders may
result in changes to our critical habitat
assessments in the future.
Economics Methodology
Comment 15: Several commenters
stated that the economic analysis
overestimated the actual costs of critical
habitat designation by including costs
that should be attributed to the baseline.
For example, commenters asserted that
costs associated with listing and
application of the jeopardy requirement
should not be included in the analysis.
Commenters also asserted that costs that
would have occurred under Pacific
Fisheries (PACFISH) or the Northwest
Forest Plan should be excluded from the
analysis. One commenter also stated
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that costs associated with existing
critical habitat designations for salmon
or other endangered species should be
considered baseline impacts.
Response: Regarding costs associated
with listing and application of ESA
section 7’s jeopardy requirement, the
economic analysis follows the direction
of the New Mexico Cattlegrowers
decision, in which the Court of Appeals
for the Tenth Circuit called for ‘‘a full
analysis of all of the economic impacts
of a critical habitat designation,
regardless of whether those impacts are
attributable coextensively to other
causes (New Mexico Cattle Growers’
Association v. U.S. Fish and Wildlife
Service, 248 F.3d 1277, 10th Cir. 2001).
Consistent with this decision, the
economic analysis includes incremental
impacts, those that are solely
attributable to critical habitat
designation and would not occur
without the designation, as well as
coextensive impacts, or those that are
associated with habitat-modifying
actions covered by both the jeopardy
and adverse modification standards
under section 7 of the ESA. We do not
think this overestimate of costs creates
a bias in our 4(b)(2) balancing, however,
for two reasons. On the ‘‘benefit of
designation’’ side of the balance, we
consider the benefit of designation to be
the entire benefit that results from
application of section 7’s requirements
regarding adverse modification of
critical habitat, regardless of whether
application of the jeopardy requirement
would result in the same impact.
Moreover, the cost-effectiveness
approach we have adopted allows us to
consider relative benefits of designation
or exclusion and prioritize for exclusion
areas with a relatively low conservation
value and a relatively high economic
cost. With such an approach it is most
important that we are confident our
analysis has accurately captured the
relative economic impacts, and we
believe it has.
In many cases, the protections
afforded by PACFISH, the Northwest
Forest Plan and other regulations are
intertwined with those of ESA section 7.
In cases where the specific regulation or
initiative driving the salmon and
steelhead conservation efforts is
uncertain, we considered it as an ESA
section 7 impact and examined the
record of consultations with the affected
agencies and based our analysis on the
habitat protection measures routinely
incorporated into the consultations. The
economic analysis therefore assumes
that the impacts of these types of habitat
protection measures are attributable to
the implementation of section 7. In
these instances, to the extent that
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conservation burdens on economic
activity are not, in fact, resulting from
section 7 consultation, the economic
analysis may overstate costs of the
designation. We took this possibility
into account in conducting the 4(b)(2)
balancing of benefits. Conservation
efforts clearly engendered by other
regulations are included in the
regulatory baseline. For example,
Federal lands management activities in
the Northwest Forest Plan planning area
are affected by PACFISH. As a result,
some projects that would have affected
salmon habitat will not be proposed,
and therefore will not be subject to
section 7 consultation. These changes in
projects are considered baseline and are
not included as a cost of section 7 in the
economic analysis.
Commenters correctly note that there
are designations currently in place
protecting critical habitat for salmon
(e.g., Sacramento River winter run
chinook salmon, Central California
Coastal coho salmon). We
acknowledged this in our proposed rule,
but also noted that the presence of those
existing designations weighs equally on
both sides of the 4(b)(2) balance—that
is, the existing designations also could
be considered as part of the baseline for
determining the benefit of designation
for the ESUs addressed in the present
rule. This concern is also addressed by
the cost-effectiveness approach we have
adopted since it relies on relative
benefits of designation and exclusion
rather than absolute benefits.
Comment 16: One commenter and one
peer reviewer noted that the economic
analysis assigns costs to all activities
within the geographic boundary of the
HSA watersheds, though not all
activities in this area will lead to an
ESA section 7 consultation or are
equally likely to have economic
impacts. By doing this, the agency
assumed that if the stream reaches
currently occupied by salmon were
designated as critical habitat, then
activities throughout the watershed
would be affected, whether or not they
are adjacent to critical habitat stream
reaches.
Response: It is possible for activities
not directly adjacent to the proposed
stream reaches to affect salmon and
steelhead or their habitat (for example,
by increasing risk of erosion or
decreased water quality), and, therefore,
such activities may be subject to
consultation and modification. Thus, we
believe the HSA watersheds represent a
reasonable proxy for the potential
boundary of consultation activities. In
some cases the revised economic
analysis applies costs less broadly by
refining the geographic scale for certain
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activities. For example, the analysis of
pesticide impacts has been refined and
are now calculated based on occupied
stream mile estimates within a
watershed.
Comment 17: One commenter
asserted that the draft report inflates its
cost estimates by repeatedly choosing
the high-end of a range of costs, while
a peer reviewer suggested using the
mid-range as a representative cost
estimate was problematic.
Response: In determining likely costs
associated with modifications to
activities that would benefit salmon and
steelhead, the economic analysis
identifies a range of costs using
available data from, for example, agency
budgets, documented conversations
with stakeholders, and published
literature. The full range of costs of
these activities is presented in the
economic analysis, and individual
watersheds are generally ranked in
terms of cost impact by the midpoint of
the cost range, as opposed to the high
end. While we recognize that a formal
sample of projects costs based on the
consultation record or other sources is
a better approach in theory, available
data did not allow such an approach. In
gathering the cost information that was
available, we avoided using outliers and
sought to construct a typical range of
costs.
Comment 18: Some commenters
asserted that the economic analysis fails
to account for regional economic
interactions between watersheds. One
commenter stated that this would result
in an overstatement of the costs, while
other commenters state that this would
underestimate the costs. One peer
reviewer suggested using regional
economic models to address these
interactions.
Response: We acknowledge that
modifications to economic activities
within one watershed may affect
economic activities in other watersheds.
The economic analysis discusses the
potential for regional economic impacts
associated with each of the potentially
affected activities. Impacts are assigned
to particular areas (watersheds) based
on where they are generated as opposed
to felt. That is, if the designation of a
watershed causes impacts in multiple
nearby watersheds, and exclusion of the
impact-causing watershed would
remove those economic impacts from
the region, the economic analysis
appropriately assigns the total cost
impact to the impact-causing watershed.
This method of assigning impacts is
most useful to us in deciding the
relative cost-effectiveness of excluding
particular areas from critical habitat
designation. As we acknowledge in
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NMFS (NMFS 2005b), the economic
analysis does not explicitly analyze the
potential for these regional interactions
to introduce cumulative economic
impacts. Data are not available to
support such an effort, nor would the
results necessarily be applicable at the
level of a particular watershed. If these
impacts in fact exist, our results are
likely to be biased downward, in that
we have likely underestimated the costs
of critical habitat designation at the
level of the ESU. At the level of a
watershed, however, the potential error
is smaller. For this reason, we do not
believe the lack of a regional modeling
framework introduces a significant bias
into the results for particular
watersheds.
Comment 19: Several commenters
stated that the economic analysis
underestimates the actual costs of the
rule by excluding several categories of
costs from the estimates. One
commenter stated that the New Mexico
Cattlegrowers decision specifically
requires a full analysis of all impacts,
including those resulting from the
species’ listing. One comment argued
that assessment of impacts stemming
from activities occurring outside the
designated area should be included,
including indirect and regional impacts.
Another commenter stated that the
analysis should consider direct,
indirect, and induced economic impacts
including: changes in property values,
property takings, water rights impacts,
business activity and potential
economic growth, commercial values,
county and state tax base, public works
project impacts, disproportionate
economic burdens on society sections,
impacts to custom and culture, impacts
to other endangered species,
environmental impacts to other types of
wildlife, and any other relevant impact.
Response: As noted in a previous
response, the Court in the New Mexico
Cattlegrowers decision called for ‘‘a full
analysis of all of the economic impacts
of a critical habitat designation,
regardless of whether those impacts are
attributable coextensively to other
causes.’’ (emphasis added) The
economic analysis conducted for this
rule evaluated direct costs associated
with the designation of critical habitat
and includes: (1) Direct coextensive
impacts, or those that are associated
with habitat-modifying actions covered
by both the jeopardy (listing) and
adverse modification (critical habitat)
standards; and (2) direct incremental
impacts, or those that are solely
attributable to critical habitat
designation.
We acknowledge that designation of
critical habitat may also trigger
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economic impacts outside of the direct
effects of ESA section 7 or outside of the
watersheds subject to the economic
analysis. For example, state or local
environmental laws may contain
provisions that are triggered if a state- or
locally regulated activity occurs in
Federally-designated critical habitat.
Another possibility is that critical
habitat designation could have ‘‘stigma’’
effects, or impacts on the economic
value of private land not attributable to
any direct restrictions on the use of the
land. Our economic analysis did not
reveal significant economic impacts
from stigma effects for the designation
of salmon and steelhead. Further,
significant impacts of critical habitat on
an industry may lead to broader regional
economic impacts. All of these types of
impacts are considered in the analysis,
although it was not possible to estimate
quantitative impacts in every case. We
took these considerations into account
in balancing benefits under section
4(b)(2).
We acknowledge that designation of
critical habitat may also trigger impacts
on customs, culture, or other wildlife
species. We concluded that data were
not presently available that would allow
us to quantify these impacts, at the scale
of this designation, for the economic
analysis. Our analysis was further
circumscribed by the short time frames
available, and our primary focus on
conservation benefits to the listed
species that are the subject of this
designation. We took this limitation into
account in the balancing of benefits
under section 4(b)(2).
Comment 20: Several commenters
indicated that the economic analysis
should include a discussion of the
impact of changes in flow regimes on
water users, specifically in the timing of
water flow through dams and water
withdrawal or diversion constraints.
Among potentially affected water users
are crop irrigators and other agricultural
water users, regulators and consumers
of public water supply in the region,
and in particular, water users of the
Central Valley Project and State Water
Project, among others. Similarly, several
commenters stated that the analysis
should include an analysis of impacts of
changes to operations that result in
increased spill at hydropower dams on
the cost of power in the region. These
commenters are concerned that
excluding these costs underestimates
total economic impact. One commenter
pointed out that low flow years and
drought years are not considered in the
economic impacts, and consideration of
varying water year types is especially
relevant to estimating impacts of
instream flow augmentation. Another
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commenter pointed out that existing,
economically feasible alternate sources
of water may not be available to water
users, and thus economic costs could be
large. One commenter estimated the
potential loss of agricultural income that
would result from a reduction in water
availability to a specific region. One
commenter stated that if requisite
minimum instream flows are developed
that correspond to the proposed critical
habitat designation, they could be
analyzed using the CALVIN model
developed by the University of
California.
Response: While economic impacts
would clearly result from future changes
to water supply availability, the amount
of water within particular areas that
may be diverted from activities such as
irrigation, flood control, municipal
water supply, and hydropower, for the
purposes of Pacific salmon and
steelhead conservation, and thus the
requisite timing and volume of
minimum instream flows, has not been
determined for most facilities. Many
biological and hydrologic factors are
considered in determining flow
requirements through dams for Pacific
salmon and steelhead, and the impacts
of altering flow regimes to meet these
requirements are highly site-specific.
For example, the impact of increasing
spill at a hydropower project depends
on the level and timing of the spill, and
on the method by which any lost power
generation is replaced. Similarly, at a
water supply facility, the impact of
increasing spill depends on the size and
timing of the spill, but also depends on
the specific water rights held at the
facility and by downstream users,
including the priority, volume, timing,
and particular use of those water rights.
The extent to which any future
changes in flow may be attributable to
the designation of critical habitat, as
opposed to the listing or other wildliferelated regulations, is also unclear. The
interrelated nature of dam and diversion
projects with hydrology across river
systems makes it very difficult to
attribute flow-related impacts for
salmon and steelhead conservation to
specific watersheds. As a result, a
comprehensive prospective analysis of
the economic impacts of potential
restrictions on water use by these
activities would be highly speculative.
We acknowledge this limitation of the
economic analysis. However, the
revised economic analysis does include
an expanded discussion of what is
known about the potential impacts of
changes in flow regimes on hydropower
production and prices and water
diversions on irrigation based on
historical examples.
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Comment 21: Some commenters
expressed concern that the economic
analysis does not address cumulative
costs of multiple layers of regulation on
economic activities.
Response: Our economic analysis
estimates costs associated with
conducting ESA section 7 consultation
to ensure Federal agency actions are not
likely to destroy or adversely modify
critical habitat. We did not have
information available at the scale of this
designation to determine the marginal
cost or benefit of such a consultation, in
addition to any state or local review that
may occur, nor did the commenters
provide data that would allow us to
make such a determination.
Comment 22: One commenter stated
that the economic analysis fails to factor
in subsidies given to industries such as
livestock grazing, hydropower
operations, and irrigation activities,
which minimizes true costs to the
public. Another commenter further
stated that the analysis does not
distinguish between several
countervailing cost elements, including
‘‘socialized costs’’ (costs Congress has
decided that the public should bear,
such as costs to Federal activities),
actual costs to private entities, incentive
costs, subsidies, and offsetting costs. As
a result, for Federal programs, the
analysis miscategorizes activities that
benefit a small but favored sector of
society, but that cause costs to the larger
society. The analysis assumes that costs
to these activities are costs to society in
general.
Response: The analysis attempts to
measure true social costs associated
with implementing the final critical
habitat rule. To accomplish this, the
analysis uses the measurement of the
direct costs associated with meeting the
regulatory burden imposed by the rule
as the best available proxy for the
measurement of true social costs. We
agree that it is relevant to consider
appropriate countervailing or net cost
impacts, where possible, in determining
the benefit of exclusion. Where data are
available, our analysis attempts to
capture the net economic impact (i.e.,
the increased regulatory burden less any
discernable offsetting market gains), of
ESA section 7 efforts imposed on
regulated entities and the regional
economy. For example, in the economic
analysis, the revised impact estimates
for pesticide use restrictions explicitly
net out agriculture subsidy payments in
the estimation of lost agricultural
profits.
Comment 23: Several commenters
indicated that the designation of critical
habitat will impose an administrative
burden on affected parties, including
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private, Federal, state and local entities.
One commenter stated that the increase
in paperwork as a result of re-initiating
consultation on potential impacts to
critical habitat for projects that have
already been through ESA section 7
consultation is a major concern.
Response: We do consider that all
activities may be subject to future
consultation, regardless of whether past
consultation occurred on these
activities. Designation of critical habitat
may result in reinitiating consultation
on activities that were subject to
previous consultation to ensure that the
adverse modification requirement is
addressed in addition to the jeopardy
requirement. The economic analysis
estimates the level of administrative
effort associated with ESA section 7
consultations, whether those
consultations concern a new activity or
readdress the impacts of a previously
reviewed activity. The revised economic
analysis includes a refined estimate of
administrative costs associated with
consultations on West Coast salmon and
steelhead.
Comment 24: Some commenters
stated that the economic analysis
estimates impacts using a constant percapita income basis and that doing so is
likely to underestimate the impacts on
rural communities.
Response: Per-capita income is not
explicitly factored into the watershed
specific quantitative impact estimates in
the economic analysis. The commenter
is highlighting that equal costs in any
given watersheds will not likely result
in the same relative economic burden to
residents of those watersheds. This is
because the ratio of costs of the
designation to income may vary across
watersheds. In lower income areas, the
cost of implementing modifications to
projects for the benefit of salmon and
steelhead may be more burdensome
relative to higher income areas. We did
consider the extent to which costs of
designation within a watershed are
likely to be borne locally. In addition,
information on distribution of wealth
across the designation is provided
contextually in the economic analysis
and this information is weighed in
considering the benefits of exclusion of
particular areas.
Comment 25: One commenter stated
that the analysis does not attempt to
explain or quantify with any level of
precision what additional costs are
required by ESA section 7 consultation
for design and/or operational
modifications or mitigation measures.
Response: The economic analysis
focused on the impacts of section 7
consultation on economic activities by
first identifying the types of activities
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occurring that may be subject to section
7 consultation. The analysis then
estimated the regulatory burden placed
upon these activities as a result of
section 7 consultation. The burden
estimate is based upon a review of past
modifications to those activities
undertaken for the benefit of salmon
and steelhead, interviews with NMFS’
consulting biologists, affected parties,
and available documents and literature.
This research on the potential costs of
these modifications then determined a
typical range of costs for potential
project modifications that may be
associated with section 7 consultation
in the future.
Comment 26: One commenter stated
that the economic analysis relied
extensively on the agency’s consultation
history for economic impact estimates.
Similarly, another commenter asserted
that past costs are not good indicators of
future costs due to streamlining of the
consultation process (for example, for
fire management) on Federal lands. One
commenter stated that the economic
analysis assumes that the population
growth and economy of the impact areas
are stagnant. The analysis should
evaluate population and economic
growth on a regional, State, and county
basis, and evaluate the degree to which
the listing of salmon and steelhead may
have contributed to any population and
economic decline.
Response: The economic analysis
does not solely rely on the consultation
history to estimate economic impacts.
The analysis includes estimated costs
associated with compliance with
salmon conservation activities produced
by regulated entities, including private,
state, and Federal agencies, as well as
published literature, where information
was available. The economic analysis
does not uniformly assume that all
activities and associated consultations
will occur at the same rate in future
years as in past years. Instead, the
economic analysis projects the most
likely level of future activity using a
broad spectrum of planning documents,
geographical data, and interviews with
planners and other stakeholders.
Further, the economic analysis does not
quantify retrospective impacts of
salmon and steelhead conservation
because the focus of the analysis is on
future impacts associated with the
critical habitat areas identified in this
rulemaking. It should also be noted that
consultations conducted by NMFS do
not include cost estimates of
implementing recommended actions.
The analysis also presents detailed
information on the current estimated
population and population density
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within each of the particular areas in the
proposed critical habitat designation.
Comment 27: One comment letter
questioned whether there exists an
acceptable or unacceptable level of
negative economic impact to
communities, landowners, or local
governments and whether the
government must consider the impacts
that their decisions will have on local
economies.
Response: The economic analysis
provides information regarding the
impact to potentially affected economic
activities of the proposed critical habitat
designation. This information was used
to identify the particular areas according
to their relative cost burden. We then
weighed this information against the
relative conservation value of the
particular areas considering the
economic and any other relevant impact
of designating critical habitat. Further,
concurrent with the economic analysis,
we prepared an analysis of potential
impacts to small entities, including
small businesses and government. This
analysis identified the number of small
businesses and governments likely
impacted by the proposed critical
habitat using county-specific data on the
ratio of small businesses to total
businesses in each potentially affected
economic sector.
Comment 28: Some commenters
stated that the economic analysis used
data that are overly broad or made
assumptions across geographic areas
that are too far reaching. For example,
one commenter stated that the economic
analysis assumes that the necessity and
scope of modifications will be constant
across ESUs for most activities, when in
reality, these are likely to vary
substantially.
Response: For each activity, the
economic analysis examines the
probability of consultation and the
likelihood of modification. A variety of
activity-specific information sources
were used to forecast the frequency and
geographic distribution of potentially
affected activities. That is, frequency of
consultation was not always assumed to
be uniform across ESUs. The economic
analysis does not, however, assume that
costs increase in areas of overlapping
ESUs. In other words, the presence of
critical habitat for multiple ESUs is not
expected to generate a greater impact
than if the particular area is critical
habitat for only a single ESU.
Examination of the consultation history
did not reveal differences in requests for
modification to projects (reasonable and
prudent alternatives) among the ESUs.
We recognize, however, that the broad
scope and scale of the analysis required
us to make simplifying assumptions in
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order to complete the designations in a
timely fashion.
Comment 29: Several commenters and
a peer reviewer expressed concern that
the economic analysis failed to consider
the full range of economic benefits of
salmon habitat conservation, and
therefore, provided a distorted picture
of the economic consequences of
designating versus excluding habitat
areas. Similarly, commenters expressed
concerns that the economic impact of
not designating particular areas to
fishers and investors in recovery efforts
should be considered in the economic
analysis. Commenters specifically cited
the lack of consideration in the
economic analysis of the potential
benefits of critical habitat designation
on: (1) Decreased risk of extinction; (2)
benefits to other aquatic and riparian
species; (3) water quality; (4) flood
control values; (5) recreation; (6)
commercial fishing; (7) fish harvest for
tribal uses; and (8) increased public
education.
Response: As described in the
economic analysis and ESA section
4(b)(2) report, we did not have
information available at the scale of this
designation that would allow us to
quantify the benefits of designation in
terms of increased fisheries. Such an
estimate would have required us to
determine the additional number of fish
likely to be produced as a result of the
designation, and would have required
us to determine how to allocate the
economic benefit from those additional
fish to a particular watershed. Instead,
we considered the ‘‘benefits of
designation’’ in terms of conservation
value ratings for each particular area
(see ‘‘Methods and Criteria Used to
Designate Critical Habitat’’ section). We
also lacked information to quantify and
include in the economic analysis the
economic benefit that might result from
such things as improved water quality
or flood control, or improved condition
of other species.
Moreover, we did not have
information at the scale of this
designation that would allow us to
consider the relative ranking of these
types of benefits on the ‘‘benefits of
designation’’ side of the 4(b)(2) balance.
Our primary focus was to determine,
consider, and balance the benefits of
designating these areas to conservation
of the listed species. Given the
uncertainties involved in quantifying or
even ranking these ancillary types of
benefits, we were concerned that their
consideration would interject an
element of uncertainty into our primary
task.
Comment 30: One commenter
asserted that the economic analysis did
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not consider the importance of
agriculture in California and how many
communities rely upon the agriculture
industry to survive. A number of
commenters further stated that the
analysis should address impacts on
agriculture of a judicially imposed
moratorium on pesticide use near
salmon-bearing streams. The inability to
use pesticides on farmland could result
directly in decreases in crop yields.
More specifically, the commenters
believed that the economic analysis
underestimates the impacts of the
Washington Toxics litigation
(Washington Toxics Coalition, et al. v.
EPA, No. 04–35138) limiting pesticide
use around salmon-supporting waters
and suggests that the economic analysis
should analyze the impact of this
injunction.
Response: Regarding impacts to
agricultural communities, we
considered impacts to small businesses
in our Regulatory Flexibility Act
analysis. We did not otherwise
separately consider economic impacts to
various economically or culturally
defined communities in the economic
analysis or in the ESA section 4(b)(2)
balancing process. For example, we also
did not separately consider impacts of
designation or exclusion on coastal
fishing communities. As with the
consideration of ancillary
unquantifiable benefits of designation
described above, we were concerned
that including a consideration of these
ancillary benefits of exclusion would
inject an unacceptable level of
uncertainty into our analysis.
We agree that the draft economic
analysis did not adequately consider the
impact of pesticide restrictions on the
agricultural industry. The revised
economic analysis therefore includes
refined estimates of potential lost profits
associated with reduced crop yields as
a result of implementing pesticide
restrictions across the critical habitat
designation. The analysis assumes that
the agricultural net revenue generated
by land within certain distances of
salmon-supporting waters would be
completely lost. That is, the analysis
assumes that no changes in behavior are
undertaken to mitigate the impact of
pesticide restrictions. This assumption
may lead to overestimated impacts of
restricting pesticide use. On the other
hand, the analysis may underestimate
the impact of pesticide restrictions by
assuming that farmers outside the
designated areas (e.g., upstream) will
not be restricted in their activities.
Comment 31: Several commenters
stated that impacts associated with
changes in the operations of the
hydropower projects should be
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included, including impacts from
projects such as Englebright Dam,
Oroville Dam, and Santa Felicia Dam.
Response: The historical record shows
evidence that modifications to
hydropower projects in consideration of
listed salmon and steelhead can affect
the level of hydropower generation and
generating capacity, thus affecting
power prices. Flow regimes for purposes
of salmon and steelhead conservation
have been implemented at various
projects associated with a number of
regulations, including the listing of
salmon and steelhead. As mentioned
previously, however, the level of
increased flow or spill over the dams
within particular areas that may be
requested associated with critical
habitat for all hydropower projects is
uncertain at this time, and a prospective
analysis of the impacts of such efforts
would be highly speculative. Many
biological and hydrologic factors are
considered in determining flow
requirements through dams for salmon
and steelhead, and the impacts of
altering flow regimes to meet these
requirements are highly site-specific.
For example, the impact of increasing
spill at a hydropower project depends
on the level and timing of the spill, and
on the method by which any lost power
generation is replaced.
The extent to which any future
changes in flow may be attributable to
the designation of critical habitat, as
opposed to the listing or other wildliferelated regulations, is also unclear. The
interrelated nature of dam and diversion
projects with hydrology across river
systems makes it very difficult to
attribute flow-related impacts from
salmon and steelhead conservation to
specific watersheds. We acknowledge
this limitation of the economic analysis.
The revised economic analysis includes
an expanded discussion of the potential
impacts of changes in flow regimes on
hydropower operations.
Comment 32: One commenter stated
that the Initial Regulatory Flexibility
Analysis needs more citations regarding
the applied sources of information.
Response: We have provided
appropriate citations in the Final
Regulatory Flexibility Analysis.
Comment 33: One commenter stated
that the Small Business Regulatory
Enforcement Fairness Act (SBREFA)
analysis assumes that most compliance
costs would be borne by third parties
when, in fact, a significant portion of all
ESA section 7 related costs are not
borne by those entities, but rather are
borne by the Bureau of Reclamation
(BOR).
Response: In many cases it is
uncertain who will bear the costs of
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modification. The potentially burdened
parties associated with modifications to
activities are identified in the economic
analysis. The BOR may, in fact, bear the
cost of modifications to BOR dams,
Federal land management activities, and
so forth. Where information is not
available on a per-project basis
regarding the potentially affected party,
the analysis takes a conservative
approach, assuming that impacts may be
borne by private entities, a portion of
which may be small entities.
Weighing the Benefits of Designation
Versus Exclusion
Comment 34: Several commenters
supported the use of a cost-effectiveness
framework, one commenter explicitly
objected to it, and some commenters
had concerns with the way we applied
it. One commenter asserted that the
economic analysis ‘‘would have been
very different’’ if we had evaluated the
absolute conservation value of an area
‘‘with or without [section] 7
requirements,’’ rather than relative
conservation values. One commenter
asserted that ‘‘[w]ithout any target level
of conservation for designation, the
framework does not guarantee that areas
necessary for conservation will be
designated.’’ Another commenter
asserted that weighing quantitative
economic costs against qualitative
habitat ratings prejudiced the ESA
section 4(b)(2) analysis in favor of
excluding areas lacking a high
conservation value. Several commenters
suggested that the 4(b)(2) process could
benefit from more explanation regarding
how the process was applied.
Response: We believe the comparison
of benefits provides the Secretary useful
information as to the benefits of any
particular inclusion or exclusion. The
Secretary has discretion in balancing the
statutory factors, including what weight
to give those factors. The ESA provides
the Secretary with the discretion to
exclude areas based on the economic
impact, or any other relevant impact, so
long as a determination is made that the
benefits of exclusion outweigh the
benefits of designation, and so long as
the exclusion will not result in
extinction of the species concerned.
Subsequent to publication of this rule,
we will undertake a review of the
methods and criteria applied in this
rule. If the Secretary determines the
critical habitat designations should be
modified as a result of that review, we
will propose a revised designation with
appropriate opportunity for notice and
comment.
Comment 35: In the proposed rule we
identified a number of potential
exclusions that we were considering but
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were not at that time proposing,
including Federal lands subject to the
Northwest Forest Plan and PACFISH.
Many commenters opposed these
potential exclusions. Some disagreed
that designation of critical habitat is
unnecessary or of diminished
importance in light of existing
management constraints, contending
that such a position is contrary to the
ESA’s conservation purpose and our
implementing regulations and citing
recent court decisions bearing on this
issue. Several commenters indicated
that because these ESUs are still listed,
existing regulatory and voluntary
mechanisms are inadequate and also
noted that we concluded as such in our
2000 designations. Some commenters
believed that the assumptions
underlying such exclusions were
unjustifiable and potentially disastrous
for salmon recovery. Some commenters
noted that the lack of specificity
regarding which areas might be
excluded as well as the lack of clear
exclusion standards seriously hindered
the public’s ability to comment on the
proposed exclusions. In contrast, several
commenters supported the potential
exclusions mentioned in the proposed
rule. Some commenters contended that
designating critical habitat on these
Federal lands was duplicative with
existing ESA section 7 consultation
processes, inefficient (e.g., citing costs
of re-initiating consultation), and offers
no additional conservation benefit to the
listed ESUs. One commenter believed
that excluding Federal lands would be
consistent with our exclusion of lands
subject to Integrated Natural Resource
Management Plans (INRMPs) since
existing land management plans provide
similar protections. This commenter
also cited the USFWS’’ exclusion of
Federal lands for bull trout (69 FR
59996; October 6, 2004) and provided
information supporting the belief that
we should make the same determination
for salmon and steelhead ESUs.
Response: Section 4(b)(2) provides the
Secretary with discretion to exclude
areas from the designation of critical
habitat if the Secretary determines that
the benefits of exclusion outweigh the
benefits of designation, and the
Secretary finds that exclusion of the
area will not result in extinction of the
species. In the proposed rule, and the
reports supporting it, we explained the
policies that guided us and provided
supporting analysis for a number of
proposed exclusions. We also noted a
number of additional potential
exclusions, explaining that we were
considering them because the Secretary
of the Interior had recently made similar
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exclusions in designating critical habitat
for the bull trout: ‘‘On October 6, 2004,
the FWS issued a final rule designating
critical habitat for the bull trout * * *.
The Secretary of the Interior found that
a number of conservation measures
designed to protect salmon and
steelhead on Federal, state, tribal and
private lands would also have
significant beneficial impacts to bull
trout. Therefore, the Secretary of the
Interior determined that the benefits of
excluding those areas exceeded the
benefits of including those areas as
critical habitat. The Secretary of
Commerce has reviewed the bull trout
rule and has recognized the merits of
the approach taken by the Secretary of
the Interior to these emerging issues.’’
We acknowledged, in the proposed rule,
however, that we lacked the analysis to
propose these potential exclusions for
West Coast salmon and steelhead: At
this time, the Secretary of Commerce
still ‘‘has not had an opportunity to
fully evaluate all of the potential
exclusions, the geographical extent of
such exclusions, or compare the benefits
of these exclusions to the benefits of
inclusion.’’ Our regulations require that
our proposed and final rules provide the
data upon which the rule is based (50
CFR 424.16; 50 CFR 424.18).
Recently, in response to the
Department of Interior’s request, a
District Court has remanded the bull
trout rule to the Department of Interior
for further rulemaking. Alliance for the
Wild Rockies and Friends of the Wild
Swan v. David Allen and United States
Fish and Wildlife (CV 04–1812). In
seeking the remand the Department of
Interior noted that it intends to
reconsider the 4(b)(2) exclusions in the
proposed rule and that it recently issued
a Federal Register notice seeking
comment on those exclusions (70 FR
29998; May 25, 2005). In response, we
received extensive comment from those
supporting and opposing these potential
exclusions. Based on our review of the
information received and the short time
between the close of the comment
period and the court-ordered deadline
for completing this rulemaking, we are
unable to conclude at this time that the
benefits of excluding these areas
outweigh the benefits of designation,
with the exception of areas covered by
two habitat conservation plans,
discussed below.
Nevertheless, we will continue to
study this issue and alternative
approaches in future rulemakings
designating critical habitat. In
particular, we intend to analyze the
planning and management framework
for each of the ownership categories
proposed for consideration for
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exclusion. In each case, we envision
that the planning and management
framework would be evaluated against a
set of criteria, which could include at
least some or all of the following:
1. Whether the land manager has
specific written policies that create a
commitment to protection or
appropriate management of the physical
or biological features essential to longterm conservation of ESA-listed salmon
and steelhead.
2. Whether the land manager has
geographically specific goals for
protection or appropriate management
of the physical or biological features
essential to long-term conservation of
ESA-listed salmon and steelhead.
3. Whether the land manager has
guidance for land management activities
designed to achieve goals for protection
or appropriate management of the
physical or biological features essential
to long-term conservation of ESA-listed
salmon and steelhead.
4. Whether the land manager has an
effective monitoring system to evaluate
progress toward goals for protection or
appropriate management of the physical
or biological features essential to longterm conservation of ESA-listed salmon
and steelhead.
5. Whether the land manager has a
management framework that will adjust
ongoing management to respond to
monitoring results and/or external
review and validation of progress
toward goals for protection or
appropriate management of the physical
or biological features essential to longterm conservation of ESA-listed salmon
and steelhead.
6. Whether the land manager has
effective arrangements in place for
periodic and timely communications
with NOAA on the effectiveness of the
planning and management framework in
reaching mutually agreed goals for
protection or appropriate management
of the physical or biological features
essential to long-term conservation of
ESA-listed salmon and steelhead.
Comment 36: In the proposed rule we
requested comments on the potential
exclusion of lands subject to
conservation commitments by state and
private landowners reflected in habitat
conservation plans (HCPs) approved by
NMFS. Some commenters (none
however with NMFS-approved HCPs)
concurred with the potential exclusion
of lands covered by an HCP, believing
that we would not likely secure
additional conservation benefits by
designating these areas as critical
habitat. Some commenters
acknowledged the potential educational
benefits of designation but asserted that
designating HCP lands could have an
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unintended consequence of damaging
existing and future cooperative
relationships. These commenters
additionally noted that HCPs have
already undergone extensive
environmental review and ESA section
7 consultation and been found to not
likely jeopardize the species.
Several commenters disagreed with
the potential exclusion of lands covered
by HCPs, believing it would be contrary
to the ESA, and some cited recent
litigation bearing on this issue (e.g.,
Center for Biological Diversity v. Norton,
240 F. Supp. 2d 1090 (D. Ariz. 2003);
Gifford Pinchot Task Force v. FWS, 378
F. 3d 1059 (9th Cir. 2004). One
commenter did not support such
exclusions because of the belief that
there are no guarantees the plans will
remain in place when, for example,
ownership changes or landowners
change their minds. Some commenters
believed that we failed to adequately
describe the benefits of designation as
they pertain to these potential
exclusions.
Response: The analysis required for
these types of exclusions, as with all
others, first requires careful
consideration of the benefits of
designation versus the benefits of
exclusion to determine whether benefits
of exclusion outweigh benefits of
designation. The benefit of designating
critical habitat on non-Federal areas
covered by an approved HCP or another
type of conservation agreement depends
upon the type and extent of Federal
activities expected to occur in that area
in the future. Activities may be initiated
by the landowner, such as when the
landowner seeks a permit for bank
stabilization, water withdrawal, or
dredging. Where the area is covered by
an HCP, the activity for which a permit
is sought may or may not be covered by
the HCP. For example, an HCP covering
forestry activities may include
provisions governing construction of
roads, but may not include provisions
governing bank stabilization or pesticide
application. The activity may be
initiated by the Federal agency without
any landowner involvement, such as
when a Federal agency is involved in
building a road or bridge, dredging a
navigation channel, or applying a
pesticide on Federal land upstream of
the HCP-covered area. In analyzing the
benefits of designation for these HCPcovered areas, we must consider which
Federal activities are covered by the
HCP and which are not. Where activities
are covered by the HCP, we must
consider whether an ESA section 7
consultation on that particular activity
would result in beneficial changes to the
proposed action over and above what is
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achieved under the HCP. Designation
may also benefit the species by notifying
the landowner and the public of the
importance of an area to species’
conservation.
On the other side of the balance are
the benefits of exclusion. We believe the
primary benefits of exclusion are related
to the conservation benefits to the
species that come from conservation
agreements on non-Federal land. If a
landowner considers exclusion from
critical habitat as a benefit, exclusion
may enhance the partnership between
NMFS and the landowner and thus
enhance the implementation of the HCP
or other agreement. If other landowners
also consider exclusion from critical
habitat as a benefit, our willingness to
exclude such areas may provide an
incentive for them to seek conservation
agreements with us. Improved
implementation of existing
partnerships, and the creation of new
conservation partnerships, would
ultimately benefit conservation of the
species.
Conservation agreements with nonFederal landowners enhance species
conservation by extending species’
protections beyond those available
through other ESA provisions. ESA
section 7 applies only to Federal agency
actions. Section 7 consultation
requirements protect listed salmon and
steelhead on Federal lands and
whenever a Federal permit or funding is
involved in non-Federal actions, but its
reach is limited. The vast majority of
activities occurring in riparian and
upland areas on non-Federal lands do
not require a Federal permit or funding
and are not addressed by section 7. In
contrast, instream activities generally do
require a Federal permit, and therefore,
are subject to the requirements of
section 7. The ability of the ESA to
induce landowners to adopt
conservation measures lies instead in
the take prohibitions of sections 9(a)
and 4(d). Many landowners have chosen
to put conservation plans in place to
avoid any uncertainty regarding
whether their actions constitute ‘take’.
Beginning in 1994, when we released
our draft HCP Handbook for public
review and comment, we have pursued
policies that provide incentives for nonFederal landowners to enter into
cooperative partnerships, based on a
view that we can achieve greater
species’ conservation on non-Federal
land through HCPs than we can through
coercive methods (61 FR 63854;
December 2, 1996). Before we approve
an HCP and grant an incidental take
permit, we must conduct a rigorous
analysis under ESA section 10. The HCP
must specify the impact likely to result
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from take, what steps the applicant will
take to minimize and mitigate such
impacts, and the funding available to
implement such steps. The applicant
must have considered alternative
actions and explained why other
alternatives are not being pursued, and
we may require additional actions
necessary or appropriate for the
purposes of the plan. Before an HCP can
be finalized, we must conclude that any
take associated with implementing the
plan will be incidental, that the impact
of such take will be minimized and
mitigated, that the plan is adequately
funded, and that the take will not
appreciably reduce the likelihood of the
survival and recovery of the species in
the wild. The HCP undergoes
environmental analysis under the
National Environmental Policy Act
(NEPA), and we conduct a section 7
consultation with ourselves to ensure
granting the permit is not likely to
jeopardize the continued existence of
the species or destroy or adversely
modify designated critical habitat.
Based on comments received, we
could not conclude that all landowners
view designation of critical habitat as
imposing a burden on the land, and
exclusion from designation as removing
that burden and thereby strengthening
the ongoing relationship. Where an HCP
partner affirmatively requests
designation, exclusion is likely to harm
rather than benefit the relationship. We
anticipate further rulemaking in the
near future to refine these designations,
for example, in response to
developments in recovery planning. In
order to aide in future revisions, we will
affirmatively request information from
those with approved HCPs regarding the
effect of designation on our ongoing
partnership. We did not consider
pending HCPs for exclusion, both
because we do not want to prejudge the
outcome of the ongoing HCP process,
and because we expect to have future
opportunities to refine the designation
and consider whether exclusion will
outweigh the benefit of designation in a
particular case.
Comment 37: We received a request
from the Sonoma County Grape Growers
Association and the United
Winegrowers for Sonoma County to
consider a determination to exclude all
occupied areas in Sonoma County from
critical habitat for California coastal
chinook and central California coast O.
mykiss based on the conservation value
of a suite of cooperative and voluntary
conservation efforts being implemented
and developed by local government and
the private sector, primarily the
viticultural industry, in Sonoma
County.
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Response: These efforts may currently
provide a significant conservation
benefit to the listed species, and offer
the promise of even greater benefits in
the future. The measures include the
Vineyard Erosion and Sedimentation
Control Ordinance adopted by the
Sonoma County Board of Supervisors;
the Fish Friendly Farming Program; the
North Sonoma County Agricultural
Reuse Project; the planned Russian
River Property Owners Association
Fisheries Management Plan; the
Integrated Pest Management/Organic
Grape Production initiatives; and the
Code of Sustainable Winegrowing
Practices. The submission can be found
electronically at https://
swr.nmfs.noaa.gov/.
The request suggests the benefits of
excluding the area covered by these
measures from critical habitat may
outweigh the benefits of including it as
critical habitat because it provides
conservation measures on private land
in an area dominated by private
ownership, which is generally beyond
the reach of ESA section 7, and may
therefore provide a greater benefit for
the species than a critical habitat
designation. Private landowners would
be encouraged to participate in these
voluntary programs if their lands were
excluded from critical habitat.
We received this request on July 21,
2005, so we did not have time to
evaluate this request as part of this
rulemaking process, and could not defer
the rule to accommodate a review
because we are under court order to
submit this final rule to the Federal
Register by August 15, 2005. However,
we are committed to working with local
governments and private landowners in
cooperative conservation efforts under
Executive Order (E.O.) 13352 (August
26, 2004). As stated above, we anticipate
further rulemaking in the near future to
refine these designations. Accordingly,
we expect to complete an evaluation of
the conservation benefits of the
measures described by the Sonoma
County Grape Growers Association and
the United Wine growers for Sonoma
County by the end of 2005. If we find
that in light of the conservation value of
these measures, the benefit of excluding
these private lands outweighs the
benefits of including them as critical
habitat, we will act promptly to propose
a revision to this designation.
Comment 38: Some commenters
addressed the exclusion of Indian
Lands. All of the commenting Tribes
and the Bureau of Indian Affairs (BIA)
reiterated their support for the
exclusions.
Response: This final rule maintains
the exclusion of Indian lands for the
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reasons described in the ‘‘Exclusions
Based on Impacts to Tribes’’ section
below.
Comment 39: A few commenters
addressed our assessment of INRMPs
and the exclusion of Department of
Defense (DOD) areas due to impacts on
national security. DOD agencies
supported the exclusion of military
lands based on both the development of
INRMPs as well as national security
impacts, while other commenters did
not support such exclusions. One
commenter argued that we should not
use the general ‘‘national security’’
language in ESA section 4(b)(2) to
remove our obligation to comply with
the demand for adequate INRMPs.
Response: Pursuant to section
4(a)(3)(B)(i) of the ESA (16 U.S.C.
1533(a)(3)(B)(i)), we contacted the DOD,
and, after evaluating the relevant
INRMPs, we concluded that, as
implemented, they provide conservation
benefits greater than or equal to what
would be expected to result from an
ESA section 7 consultation. We also
determined that two of these INRMP
sites (Camp Pendleton and Vandenberg
Air Force Base) should be excluded
from designation due to potential
impacts on national security. See the
‘‘Military Lands’’ and the ‘‘Exclusions
Based on National Security Impacts’’
sections below.
Effects of Designating Critical Habitat
Comment 40: Some commenters
noted that the success of watershed
management and restoration efforts is
dependent on critical habitat
protections, noting that designations
assist local recovery planning efforts
and provide leverage in obtaining
funding and cooperation. Several
commenters expressed concern that
excluding areas from designation,
particularly areas identified in existing
recovery efforts as important for salmon,
would undermine ongoing regional and
local recovery planning efforts by
signaling that these areas are not
important for recovery.
Response: We acknowledge that
critical habitat designations can serve an
important educational role and that they
can assist local recovery planning and
implementation efforts. The ESA
requires that we use the best available
scientific data to evaluate which areas
warrant designation and that we balance
the benefits of designation against the
benefits of excluding particular areas. In
so doing, it is possible that some areas
subject to ongoing restoration activities
may have been excluded from
designation. However, such exclusions
do not indicate that the areas are
unimportant to salmon or steelhead, but
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instead reflects the practical result of
following the ESA’s balancing of
benefits as required under section
4(b)(2). We are hopeful that the
information gathered and the analyses
conducted to support these final
designations (such as species
distribution, watershed conservation
value, and economic impacts from
section 7 consultations) will be viewed
as valuable resources for local recovery
planners. As recovery planning
proceeds and we determine that
additional or different areas warrant
designation or exclusion, we can and
will make needed revisions using the
same rulemaking process.
Comment 41: Several commenters
asked for clarification regarding how we
will make adverse modification
determinations in ESA consultations.
One commenter also suggested that a
finding of adverse modification would
need to be contingent on the habitat
conditions existing at the time of
designation. They noted that, where
such conditions are the result of past
and present management actions, and
where those existing conditions would
not be altered through proposed future
actions, it is their belief that
consultation on such future actions
would result in a ‘‘no adverse
modification’’ determination.
Response: In Gifford Pinchot Task
Force v. United States Fish and Wildlife
Service, 378 F. 3d 1059 (9th Cir. 2004),
the Court of Appeals for the Ninth
Circuit Court ruled that the USFWS’
regulatory definition of ‘‘destruction or
adverse modification’’ of critical habitat,
which is also NMFS’ regulatory
definition (50 CFR 402.02), is contrary
to law. Pending issuance of a new
regulatory definition, we are relying on
the statutory standard, which relates
critical habitat to conservation of the
species. The related point raised by one
commenter regarding the relevance of
habitat conditions at the time of listing
when making an adverse modification
determination cannot be answered in a
generic way and would depend on the
facts associated with a specific
consultation.
Comment 42: Some commenters
objected to the potential land use
regulations that critical habitat
designation would prompt, citing
specific cases where local agencies have
imposed buffers and/or other
restrictions to protect ESA-listed fish.
Response: The ESA requires that we
designate critical habitat and these
designations follow that statutory
mandate and have been completed on a
schedule established under a Consent
Decree. Whether and if local
jurisdictions will implement their
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authorities to issue land use regulations
is a separate matter and is not under our
control.
Comment 43: Several commenters
believed that we fail to (or inadequately)
address required determinations related
to a number of laws, regulations, and
executive orders, including the NEPA,
Regulatory Flexibility Act, and Data
Quality Act.
Response: Our response to each of
these issues are described below, and
we also direct the reader to the
‘‘Required Determinations’’ section to
review our response to each of the
determinations relevant to this
rulemaking.
(a) NEPA—We believe that in Douglas
County v. Babbitt, 48 F.3d 1495 (9th Cir.
1995), cert. denied, 116 S. Ct. 698 (1996)
the court correctly interpreted the
relationship between NEPA and critical
habitat designation under the ESA. The
Court of Appeals for the Ninth Circuit
rejected the suggestion that
irreconcilable statutory conflict or
duplicative statutory procedures are the
only exceptions to application of NEPA
to Federal actions. The court held that
the legislative history of the ESA
demonstrated that Congress intended to
displace NEPA procedures with
carefully crafted procedures specific to
critical habitat designation. Further, the
Douglas County Court held that the
critical habitat mandate of the ESA
conflicts with NEPA in that, although
the Secretary may exclude areas from
critical habitat designation if such
exclusion would be more beneficial
than harmful, the Secretary has no
discretion to exclude areas from
designation if such exclusion would
result in extinction. The court noted
that the ESA also conflicts with NEPA’s
demand for impact analysis, in that the
ESA dictates that the Secretary ‘‘shall’’
designate critical habitat for listed
species based upon an evaluation of
economic and other ‘‘relevant’’ impacts,
which the court interpreted as narrower
than NEPA’s directive. Finally, the
court, based upon a review of precedent
from several circuits including the Fifth
Circuit, held that an environmental
impact statement is not required for
actions that do not change the physical
environment.
(b) Regulatory Flexibility Act—We
have prepared a final regulatory
flexibility analysis that estimates the
number of regulated small entities
potentially affected by this rulemaking
and the estimated coextensive costs of
section 7 consultation incurred by small
entities. As described in the analysis,
we considered various alternatives for
designating critical habitat for these
seven ESUs. After considering these
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alternatives in the context of the ESA
section 4(b)(2) process of weighing the
benefits of exclusion against the benefits
of designation, we determined that our
current approach to designation
provides an appropriate balance of
conservation and economic mitigation
and that excluding the areas identified
in this rulemaking would not result in
extinction of the ESUs. Our final
regulatory flexibility analysis estimates
how much small entities will save in
compliance costs due to the exclusions
made in these final designations.
(c) Data Quality Act—One commenter
asked if we had complied with the Data
Quality Act. We have reviewed this rule
for compliance with that Act and found
that it complies with NOAA and OMB
guidance.
(d) Negotiated Rulemaking Act (5
U.S.C. 561 et seq.)—One commenter
asserted that we should have engaged in
negotiated rulemaking to issue this final
critical habitat designation. This is an
interesting idea and could be pursued in
future critical habitat rulemaking.
However, because a court approved
consent decree governs the time frame
for completion of this final rule, we do
not feel that there was ample time to
comply with the numerous processes
defined in the Negotiated Rulemaking
Act for this rulemaking. For example,
the Negotiated Rulemaking Act provides
that if the agency decides to use this
tool it must follow Federal Advisory
Committee Act procedures for selection
of a committee, conduct of committee
activities, as well as specific
documentation processes (See
Negotiated Rulemaking Source Book,
1990).
(e) Intergovernmental Cooperation
Act—One commenter asserted that we
did not properly and fully coordinate
with local governments and did not
comply with the Intergovernmental
Cooperation Act. First, the commenter
did not provide a statutory citation for
the Intergovernmental Cooperation Act.
Although we are reluctant to speculate
on that Act, we believe the comment is
in reference to the Intergovernmental
Cooperative Act, Public Law 90–577, 82
Stat. 1098 (1968) as amended by Public
Law 97–258 (1982) (codified at 31
U.S.C. 6501–08 and 40 U.S.C. 531–35
(1988)). This Act addresses Federal
grants and development assistance.
Accordingly, we do not find it relevant
to the mandatory designation of critical
habitat under the ESA. To the extent
that the commenter’s concern is
assuring that state, local and regional
viewpoints be solicited during the
designation process, the ESA and our
implementing regulations provides for
public outreach (16 U.S.C. 1533
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(b)(3)(A); 50 CFR 424.16). As noted in
response to Comment 1, we actively
sought input from all sectors beginning
with an ANPR (68 FR 55926; September
29, 2003) and culminating in four public
hearings to facilitate comment from the
interested public in response to the
proposed rule. In addition we met with
several local governments and made
ourselves available to meet with others.
(f) National Historic Preservation Act
(NHPA)—One commenter asserted that
we failed to comply with the NHPA (16
U.S.C. 470–470x–6). The NHPA does
not apply to this designation. The
NHPA applies to ‘‘undertakings.’’
‘‘Undertakings’’ are defined under the
implementing regulations as ‘‘a project,
activity or program funded in whole or
in part under the direct or indirect
jurisdiction of a Federal agency,
including those carried out by or on
behalf of a Federal agency; those carried
out with Federal financial assistance;
those requiring a Federal permit, license
or approval; and those subject to State
or local regulation administered
pursuant to a delegation or approval by
a Federal agency.’’ (emphasis added) (36
CFR 800.16). The mandatory
designation of specific areas pursuant to
the criteria defined in the ESA does not
constitute an ‘‘undertaking’’ under the
NHPA.
(g) Farmland Protection Policy Act
(FPPA)—One commenter asserted that
we failed to comply with FPPA (7
U.S.C. 4201). The FFPA does not apply
to this designation. The FPPA applies to
Federal programs. Federal programs
under the Act are defined as ‘‘those
activities or responsibilities of a
department, agency, independent
commission, or other unit of the Federal
Government that involve: (A)
Undertaking, financing, or assisting
construction or improvement projects;
or (B) acquiring, managing or disposing
of Federal lands and facilities. The
designation of critical habitat does not
constitute a ‘‘Federal program’’ under
the FFPA.
(h) Unfunded Mandates Reform Act—
One commenter asserted that we failed
to properly conduct and provide an
unfunded mandates analysis because,
the commenter contended, we based our
decision solely on public awareness of
the salmon listings. This is not the case.
In the proposed rule, we found that the
designation of critical habitat is not
subject to the Unfunded Mandates
Reform Act (2 U.S.C. 1501 et seq.) and
explained in detail why this is the case.
(i) Federalism—One commenter
asserted that we failed to properly
comply with E.O. 13132. In the
proposed rule, we found that the
designation of critical habitat does not
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have significant Federalism effects as
defined under that order, and, therefore,
a Federalism assessment is not required.
We find nothing in the commenter’s
assertions to warrant changing our
original determination.
(j) Takings—One commenter disputed
our conclusion in the proposed rule that
the designations would not result in a
taking. The commenter offered no
information or analysis that would
provide a basis for a different
conclusion.
(k) Civil Justice Reform—One
commenter asserted that we failed to
properly conduct and provide a Civil
Justice Reform analysis pursuant to E.O.
12988, the Department of Commerce has
determined that this final rule does not
unduly burden the judicial system and
meets the requirements of sections 3(a)
and 3(b)(2) of the E.O. We are
designating critical habitat in
accordance with the provisions of the
ESA. This final rule uses standard
property descriptions and identifies the
PCEs within the designated areas to
assist the public in understanding the
habitat needs of the 12 salmon and
steelhead ESUs.
ESU-Specific Issues
ESU Specific Comments—California
Coastal Chinook Salmon
Comment 44: One private timberland
owner commented that the freshwater
distribution of Chinook salmon that we
developed and used for their land
ownership had errors in occupancy and/
or upstream distribution limits. The
landowner provided us with
distribution information they had
developed for their ownership so that
the distribution information and
resulting final critical habitat
designation for this ESU would be more
accurate.
Response: Following a review of this
new information by the CHART, we
incorporated it into our database and
made changes in the mapped
distribution of this ESU for the
commenter’s land ownership. The new
information changed the distribution of
Chinook in the following streams and
Calwater HSAs: Maple Creek (110810),
Little River (110820), and the Mad River
(110920 and 110930). Overall, these
changes in distribution were minor and
increased the total occupied stream
miles for this ESU by only 0.6 mi (1.0
km). Based on a reassessment by the
CHART, these changes in distribution
did not change the occupancy status
(i.e. occupied to unoccupied or vice
versa) or conservation value of any of
the affected HSAs, and therefore, the
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economic analysis did not require
revision.
Comment 45: A few commenters
questioned why there was no proposed
critical habitat connecting those
portions of the mainstem Eel River in
HSA 111142 with the high value habitat
areas in the upper tributaries of the
middle Fork Eel River in HSA 111172.
Response: In the proposed rule, HSA
watershed 111171 was proposed for
exclusion based on high economic cost
(high benefit of exclusion) and relatively
low benefit of designation. However,
because the upper tributaries of the
middle Fork Eel in HSA 111172 were
rated as having high conservation value,
the mainstem middle Fork Eel in HSA
111171 should have been designated as
a migratory corridor to provide
connectivity between critical habitat
farther downstream in the mainstem Eel
River and the high value tributaries that
were proposed for designation. This was
an error that has been corrected in the
final rule. The final designation
excludes HSA 111171 as was the case in
the proposed rule, but designates the
mainstem of the middle Fork Eel River,
which serves as a migratory corridor for
the high value upstream tributaries, as
critical habitat.
Comment 46: A commenter
questioned the conservation ratings and
proposed designations for five of the
seven occupied HSAs comprising the
Mendocino Coast Subbasin (HU 1113).
The commenter specifically questioned
the historic and current presence of
Chinook in these watersheds and
thought any Chinook that did occur in
these watersheds were likely strays from
other watersheds.
Response: The CHART considered
these comments and reviewed its
original assessments. It concluded that
its original conservation value ratings
were appropriate based on the ranking
criteria that were used and the
information that was available, and that
these areas met the definition of critical
habitat under the ESA. Accordingly, the
conservation value ratings for these
HSA watersheds were not changed.
Based on the ESA section 4(b)(2)
analysis conducted for the final rule,
however, HSA watershed 111350
(Navarro River) in this Subbasin was
excluded from the final designation for
this ESU.
Comment 47: One commenter
questioned the proposed designation of
critical habitat for this ESU in the
Austin Creek HSA (111412) and Mark
West HSA (111423), based on the view
that neither watershed supported a
historically self sustaining run and that
Chinook in both streams were most
likely strays from other watersheds.
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Response: The CHART considered
this comment and reviewed its original
assessments. It concluded that its
original conservation value ratings were
appropriate based on the ranking
criteria that were used and the
information that was available, and that
these areas met the definition of critical
habitat under the ESA. Accordingly, the
conservation value ratings for these
HSA watersheds were not changed.
Based on the ESA section 4(b)(2)
analysis conducted for the final rule,
however, HSA 111423 (Mark West
Creek) in this Subbasin was excluded
from the final designation for this ESU.
Comment 48: A property owners’
association on the Russian River that
controls land adjacent to portions of the
Russian River in HSAs 111425 and
111424 requested that its lands be
excluded from the final designations for
California Coastal Chinook (and Central
California Coast steelhead) because it
has developed a Watershed
Management Plan to manage its lands
and because the benefits of excluding its
lands outweigh the benefits of including
them in the designation.
Response: We are very supportive of
the development and implementation of
this plan and have in fact participated
in its development. However, we do not
think this plan qualifies as the basis for
excluding these lands from the final
designation for either ESU at present,
since it is not completed. Once the plan
is completed, we will evaluate it to
determine whether the benefits of
excluding the habitat areas in question
will outweigh the benefits of
designation. In making this assessment
we will evaluate the plan in the same
manner as we would evaluate an
approved habitat conservation plan (see
Impacts to Landowners with
Contractual Commitments to
Conservation section). If we determine
that the benefits of exclusion outweigh
the benefits of designation, then we will
initiate the appropriate rulemaking to
refine the critical habitat designations.
ESU Specific Comments—Northern
California Steelhead
Comment 49: Two private timberland
owners commented that the freshwater
distribution of steelhead that we
developed and used for their land
ownership had errors in occupancy and/
or upstream distribution limits. Both
landowners provided us with
distribution information they had
developed for their ownership so that
the fish distribution information we
used for the final critical habitat
designation for this ESU would be more
accurate.
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Response: Following a review of this
new information by the CHART, we
incorporated it into our database and
made changes in the mapped
distribution of this ESU for the
commenters’ land ownership. The new
information from one of the landowners
changed the distribution of steelhead in
the following streams and Calwater
HSAs: Maple Creek (110810), Redwood
Creek (110720), Little River (110820),
Mad River (110920 and 110930), and
several small streams including Rocky
Gulch, Washington Gulch, Jacoby Creek,
Freshwater Creek, and Salmon Creek
(111000). Overall, these changes in
distribution were minor and increased
the total occupied stream miles for this
ESU by only 1.1 mi (1.8 km). The
changes in distribution did not affect
the occupancy or conservation value
rating for any of these HSAs. The new
information from the other landowner
changed the distribution of steelhead in
the following streams and HSAs: SF Eel
(111132, 111133), Usal Creek (111311),
Wages Creek (111312), Ten Mile River
(111313), Mill Creek, Pudding Creek
and the Noyo River (111320), Big River
(111330) and Salmon Creek (111340).
Overall, this new information decreased
the occupied stream miles for the ESU
by approximately 17 miles and affected
8 HSAs. Based on a re-assessment by the
CHART, these changes in distribution
did not change the occupancy status
(i.e. occupied to unoccupied or vice
versa) or conservation value of any of
the affected HSAs, and therefore, the
economic analysis did not require
revision.
ESU Specific Comments—Central
California Coast Steelhead
Comment 50: One commenter
requested that San Francisquito Creek
and Los Trancos Creek in HSA 220550
be excluded from the critical habitat
designation for this ESU because of the
economic impact of designation and
because neither creek requires special
management considerations. A second
commenter requested that San
Francisquito Creek not be designated
because of the regulatory burden and
because the economic impacts on water
supply were not included in the
economic analysis. The second
commenter also identified a labeling
error concerning West Union Creek.
Response: We disagree with the first
commenter and believe that these
streams do require special management
considerations. Both streams have
extensive zones of healthy riparian
vegetation and habitat and support
significant steelhead populations in the
San Francisco Bay area. These relatively
healthy habitats and populations are
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unique to the San Francisco Bay area,
and therefore, the CHART believes they
require special management
considerations. The commenter has
many programs in place that benefit
both creeks, but there are also many
unresolved habitat issues that remain to
be addressed. For example, on Los
Trancos Creek a poorly designed fish
ladder needs to be replaced, and several
other fish passage issues remain. In
addition, NMFS and CDFG have
discussed the inadequate bypass flows
on Los Trancos Creek below the
commenter’s water diversion for the
past several years, but have yet to
resolve the issue. Special management
considerations are also necessary to
address ongoing and expanding impacts
of urbanization on the San Francisco
Peninsula. We considered the impacts
of designating the HSA watershed
containing these creeks in the proposed
rule and again using a revised procedure
for the final rule. Based on the ESA
section 4(b)(2) analysis used for the final
rule, we concluded that the benefits of
including this HSA watershed in the
designation (medium conservation
value to the ESU) outweighed the
benefits of excluding it from the
designation. On the basis of this
analysis, therefore, we do not think
there will be an unwarranted regulatory
burden placed on these commenters or
any other entities that may need to
obtain Federal permits and consult with
NMFS in this HSA watershed. We
acknowledge the comment that water
supply impacts were not considered in
the proposed rule or in the revised
4(b)(2) process for the final rule, but we
have addressed water supply impacts as
a general issue in greater detail in the
final economic analysis for this rule.
Comment 51: One commenter argued
that Suisun and Wooden Valley Creeks
in HSA 220722 do not provide suitable
habitat for steelhead and that
designation is not justified because
surrounding HSAs were not proposed
for designation.
Response: We disagree with the
commenter and believe that Suisun and
Wooden Valley Creeks currently
support a population of steelhead and
do provide suitable habitat for rearing,
spawning and migration (and thus, the
PCEs that support these habitat uses).
The reports cited by the commenter
include a discussion of limiting factors
in Suisun Creek, but also include
several favorable findings regarding
steelhead habitat conditions in the
watershed. These findings suggest that
there is suitable habitat for steelhead in
the watershed and that steelhead
spawned in Suisun Creek in 2000–2001.
Based on the information available,
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therefore, we believe that the medium
conservation rating originally made by
the CHART for this HSA watershed is
appropriate. The revised ESA section
4(b)(2) exclusion analysis conducted for
the final rule, however, considered
section 7 opportunities within HSA
watersheds and adjusted the benefits of
inclusion in critical habitat accordingly.
In the case of this HSA, this reconsideration resulted in a reduced
assessment of the benefits of designating
this watershed. Based on this revised
benefit of designation in the final 4(b)(2)
analysis, we have concluded that the
benefits of excluding this HSA from the
designation outweigh the benefits of
designating it. Accordingly, this HSA
watershed and the streams in question
have been excluded from the final
critical habitat designation.
Comment 52: Several commenters
raised issues concerning our proposal to
include the upper Alameda Creek
watershed (which supports resident O.
mykiss considered to be part of this
ESU; see 69 FR 33101; June 14, 2004) in
the critical habitat designation for this
ESU. Comments ranged from support for
designation of this watershed to
requests that it not be designated. Issues
were raised about the adequacy of the
economic analysis supporting the ESA
section 4(b)(2) analysis, the mapped
distribution of proposed critical habitat
in the watershed, the suitability of the
habitat in upper Alameda Creek for
steelhead, and the lack of access for
steelhead.
Response: We recognize that the
upper Alameda Creek watershed (HSA
220430) is not accessible to anadromous
steelhead; however, the CHART treated
this watershed as occupied in the
analysis supporting the proposed rule
because there are resident O. mykiss
populations in the upper watershed that
we had previously proposed for
inclusion in this ESU (69 FR 33101). In
its original analysis, the CHART
concluded that this watershed had high
conservation value to the ESU,
contained the requisite PCEs to support
the ESU, and that special management
considerations were required to protect
these PCEs. Based on this assessment
and the original 4(b)(2) analysis which
considered the benefits of including this
watershed against the benefits of
excluding it, we proposed to include it
in the designation, as well as a
migratory corridor to San Francisco Bay
through a portion of the adjacent
watershed (HSA 220420) that was
proposed for exclusion. We recently
invoked a statutory 6-month extension
on our final listing determination for
this ESU (70 FR 37219) based on
concerns raised by the USFWS, and,
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therefore, at the time of publication of
this final critical habitat rule, these
resident populations of O. mykiss will
not be included in this ESU and listed.
Because our original proposal was
premised on the upper Alameda Creek
watershed being occupied by resident
fish that were part of this ESU and a
final listing determination concerning
these populations will not be made
before December 2005, we have not
included this watershed in the final
critical habitat designation for this ESU.
A decision about whether to designate
this watershed as critical habitat for this
ESU will be made concurrently with the
final listing determination for this ESU
in December 2005.
Comment 53: One commenter
opposed inclusion of the Guadelupe
River/Los Gatos Creek watershed in the
proposed critical habitat designation for
this ESU.
Response: The watershed (HSA
220540) containing the upper portion of
Guadelupe River and Los Gatos Creek
was not included in the proposed
designation. Occupied habitat in this
watershed was excluded from the
proposed rule based on the ESA section
4(b)(2) analysis which concluded that
the economic benefits of exclusion
outweighed the biological benefits of
inclusion. The watershed unit (HSA
220550) which contains the lower
portion of the Guadelupe River,
however, was included in the proposed
designation. It is also included in the
final critical habitat designation for this
ESU because the biological benefits of
including the occupied stream habitat in
this watershed outweigh the economic
benefits of its exclusion.
Comment 54: One commenter argued
that Arroyo Corte Madera del Presidio
Stream in HSA watershed 220320
should be designated as critical habitat
for this ESU because it is occupied by
this ESU. The same commenter also
questioned the exclusion of HSA
220330 from the proposed designation.
Response: Exclusion of this stream
from proposed critical habitat in HSA
220320 was the result of a technical
mapping error in the proposed rule. The
CHART evaluated this stream for the
proposed rule and concluded it was
occupied and met the definition of
critical habitat. Accordingly, it has been
included in the final designation for this
ESU. Occupied habitat in HSA 220330
was excluded from the proposed rule
and in this final rule based on the
results of the 4(b)(2) analysis, which
indicated the economic benefits of
exclusion outweighed the biological
benefits of including these stream
reaches in the designation for this ESU.
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Comment 55: One commenter argued
that occupied habitat in HSA 220330 in
the east Bay of San Francisco should be
designated as critical habitat for this
ESU.
Response: Occupied habitat
(Codornices Creek) in this HSA was
excluded from the proposed designation
because the conservation value of this
habitat was judged by the CHART to be
low (low habitat quantity and quality,
low restoration potential, no unique
attributes, and small population size),
and the economic benefits of excluding
this habitat outweighed the biological
benefits of designation. The CHART did
not receive any new information to
change its previous determination, and,
therefore, reaffirmed that it has low
conservation value and that its
exclusion would not impede the
conservation of this ESU.
Comment 56: One commenter
recommended that several additional,
but small, stream reaches in the San
Francisquito watershed, as well as an
unoccupied habitat above an impassable
dam (Searsville Dam), be designated as
critical habitat for this ESU.
Response: Based on a review of the
information provided by the
commenter, the CHART concluded that
some additional stream reaches in this
watershed should be considered
occupied, meet the definition of critical
habitat, and should be designated as
critical habitat. Because this watershed
was not excluded from the designation
as a result of the final ESA 4(b)(2)
analysis, additional stream reaches
qualifying as critical habitat have been
added to the final designation. These
include: a short reach of Corte Madera
Creek to the base of Searsville Dam,
approximately 2.5 mi (4 km) of West
Union Creek above the confluence with
Bear Creek, a short reach of Bear Gulch
Creek up to the California Water Service
Upper Diversion Dam, a small portion of
Squealer Gulch above the confluence
with West Union Creek, and a small
portion of McGarvey Gulch above the
confluence with West Union Creek.
Comment 57: One commenter
requested the exclusion of several
streams in Hydrologic Unit 3304 from
the critical habitat designation,
including Laguna Creek, Liddell Creek,
Majors Creek, Arana Gulch, San Lorenzo
River, Branciforte Creek, Newell Creek,
and Zayante Creek because the
commenter believes the benefits of
excluding these areas outweigh the
benefits of designating them. The
rationale is that: (1) The commenter is
developing an HCP that will address
these streams and a designation could
hinder its completion; and (2) a
designation would increase the
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regulatory costs and burdens on the city
beyond those already in place. The
commenter also raised concerns about
the regulatory uncertainty associated
with critical habitat because of the 2004
Gifford Pinchot case.
Response: We disagree with the
commenter and continue to believe that
the benefits of including these streams
in the critical habitat designation
outweigh the benefits of excluding
them. For the proposed critical habitat
designation, the CHART evaluated the
HSA watersheds containing the streams
identified by the commenter (HSAs
330411 and 330412) and concluded that
the occupied streams in both HSAs had
high conservation value for this ESU
and that there was a need for special
management consideration or
protections. Based on this assessment
and the results of the ESA section
4(b)(2) analysis conducted for the
proposed designation, including the
consideration of potential economic
impacts, we concluded that the benefits
of designating the occupied streams in
both watersheds were higher than the
benefits of excluding them. The
commenter did not provide any new
scientific information to change our
assessment of the benefits of designating
these streams, and thus we continue to
believe they have a high biological value
to the ESU. As part of the 4(b)(2)
analysis conducted for the final rule,
however, we did reduce our assessment
of the benefit of designating occupied
habitat in these two HSA watersheds
because they both met a ‘‘low section 7
leverage’’ profile, which we believed
reduced the benefits of section 7
consultation (see discussion in Critical
Habitat Analytical Review Teams
section).
We continue to be supportive of the
commenter’s efforts to develop an HCP
and believe completion of an HCP that
meets the requirements of section 10 of
the ESA will provide substantial
benefits to steelhead and its habitat in
these streams. However, negotiations are
still ongoing, and an HCP has not been
completed. Until an HCP is completed
and an incidental take permit is issued,
the potential conservation benefits to
steelhead and its habitat are uncertain.
For this reason, we believe it is
premature to consider the potential
benefits of such a conservation plan in
the 4(b)(2) analysis for this final
designation. Whether or not the
commenter would experience an
increased regulatory burden or higher
costs with a critical habitat designation
in place is uncertain. Even without
critical habitat in place, the commenter
is likely to incur costs associated with
ESA section 7 consultations,
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development of an HCP, and/or efforts
to avoid take. We did consider the
economic impacts of critical habitat
designation in both the proposed and
final rules and in doing so analyzed the
full costs of section 7 implementation,
not just the costs associated with critical
habitat implementation. In approaching
the economic analysis this way, we
believe that we have likely overstated
the economic impacts of critical habitat
designation. The final 4(b)(2) analysis
for this designation considered both the
reduced benefit of including HSA
watersheds 330411 and 330412 and the
final economic impacts for these
watersheds. Based on our consideration
of this information, we concluded that
the benefits of designating the occupied
stream reaches in HSAs 330411 and
330412, including the streams of
concern to the commenter, outweighed
the benefits of excluding them from the
final designation.
ESU Specific Comments—South-Central
Coast Steelhead
Comment 58: One commenter
questioned the conservation value of the
San Benito watershed (HSA 330550)
and also argued that unoccupied habitat
areas above Uvas Creek Dam were not
essential for the conservation of this
ESU.
Response: The San Benito watershed
unit (HSA 330550) was rated as having
medium conservation value to this ESU
by the CHART based on factors used to
conduct the conservation value rating
and ranking effort. For the proposed
critical habitat ESA section 4(b)(2)
analysis, therefore, we attributed a
medium benefit of designation to this
watershed unit. For the final
designation, we conducted a revised
4(b)2 analysis that modified the
biologically based conservation value
scores if they met a ‘‘low section 7
leverage’’ profile which we believe
reduce the benefits of section 7
consultation (see discussion in Critical
Habitat Analytical Review Teams
section). In the case of HSA 330550, we
determined that there was relatively low
section 7 leverage which reduced the
benefits of section 7 consultation, and
therefore, reduced the benefit of
inclusion from medium to low. Based
on this low benefit level and
comparatively high economic costs
associated with section 7 consultations
in this watershed unit, this watershed
was considered for possible exclusion.
However, the CHART reviewed the
available biological and other
information for this watershed unit and
concluded that its exclusion would
impede the conservation of this ESU.
This determination was based on the
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size of the San Benito River and its
contribution of habitat to the Pajaro
River Basin, the level of section 7
activity occurring in the watershed, and
the San Benito River’s potential
contribution to the recovery of this ESU.
Accordingly, we have included the San
Benito watershed unit HSA 330550 in
the final critical habitat designation.
In the proposed critical habitat
designation, the CHART did conclude
that the unoccupied habitat above the
Uvas Creek Dam ‘‘may’’ be essential for
conservation of this ESU. We recognize,
however, that there are several issues
related to providing fish passage over
this dam and also believe it is premature
to include this unoccupied habitat area
in the critical habitat designation until
ongoing recovery planning efforts have
progressed to the point where they
support a determination that these areas
are essential to the conservation of this
ESU.
Comment 59: One commenter
questioned whether the apparent
exclusion of a portion of the drainage
into Morro Bay was based on a
consideration of land ownership.
Response: The identification and
conservation rating of occupied habitat
that was eligible for designation used
only biological and ecological criteria,
including information regarding
presence of steelhead and habitat
condition. Land ownership was not a
consideration in the conservation rating
process nor in the section 4(b)(2)
analysis that identified areas for
exclusion based on a balancing of the
benefits of designation against the
economic costs of designation. In
reviewing the proposed critical habitat
designation maps in response to this
comment, however, we discovered a
technical mapping error in Los Osos
Creek. An upstream portion of Los Osos
Creek was proposed for designation in
HSA 331023, but the lower portion of
the creek which enters into Morro Bay
was inadvertently excluded from the
designation. We have corrected this
error in the final designation.
Comment 60: One commenter
recommended exclusion of San Luis
Obispo Creek from the designation for
this ESU based on the management
plans and existing agreements already
in place which provide protection for
the creek and steelhead. The commenter
also raised questions about the validity
of the economic impact analysis used
for the proposed critical habitat
designation process in light of costs
incurred as a result of ESA section 7
consultation on a water reuse project.
Response: The commenter and other
local agencies have undertaken
numerous efforts to conserve and
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improve existing habitats within the San
Luis Obispo Creek watershed, though
some efforts were a result of regulatory
requirements to compensate for the
adverse effects of proposed actions.
However, these conservation efforts
have been confined to localized areas
and provide no reliable ability to
effectively protect existing suitable
habitat for steelhead and improve
currently degraded habitats. We have
not conducted a review to determine
whether the existing local conservation
and management efforts (e.g.,
conservation easements, creek set-back
ordinance, sewer ordinance) contain
measures that would be expected to
protect existing suitable habitat for
steelhead, and, therefore, the possible
benefits that existing management plans
may have for the conservation of
steelhead and their habitat is unknown.
We have, however, reviewed the draft
Creeks and Waterway Management Plan
(i.e., the Environmental Impact
Statement), which describes
management and protection of streams
within the San Luis Obispo Creek
watershed, and concluded that many of
the ‘‘management’’ activities (e.g., use of
rock riprap, removal of woody debris,
creation or modification of channels,
and in-channel detention
enhancements) in the plan would create
conditions unfavorable for long-term
survival and reproduction of steelhead
within the San Luis Obispo Creek
watershed and, in turn, the entire ESU.
Based on these considerations and other
information regarding activities
potentially affecting steelhead habitat in
the San Luis Obispo Creek watershed,
we disagree with the commenter and
continue to believe there is a need for
special management considerations or
protections of occupied stream habitat
in the San Luis Obispo Creek watershed.
Accordingly, the final designation for
this ESU includes all occupied stream
reaches in HSA 331024, including San
Luis Obispo Creek.
We acknowledge that the economic
analysis used in the ESA section 4(b)(2)
analysis for the proposed designation
did not address water supply and flow
modification related projects
adequately. The final economic analysis
prepared for this designation addresses
these issues more completely, though it
does not specifically address the water
reuse project. Rather than understate the
costs of critical habitat designation, we
believe that the economic analyses
prepared for the proposed and final
designations actually overestimate the
incremental economic costs associated
with critical habitat designation. In our
economic analyses, we estimated the
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total cost of ESA section 7 consultation
for specific project types anticipated to
occur in the foreseeable future based on
information from Federal agencies and
other sources. We believe that much of
the estimated costs can be attributable to
the presence of listed fish and the
jeopardy analysis in section 7
consultation. Indeed, the costs cited by
the commenter for its water reuse
project were associated with a section 7
consultation that addressed the
presence of listed steelhead in the
watershed, not critical habitat. Although
consideration of critical habitat adverse
modification in the consultation on the
water reuse project may have resulted in
additional project changes, we do not
think they are likely to be significant.
Comment 61: Several commenters
were confused about whether West
Corral de Piedra Creek, an upstream
tributary to Pismo Creek (HSA 331026),
was included in the proposed
designation, and whether areas above a
local dam (the Righetti Dam) on this
creek were included in the designation.
Some commenters also argued that
habitat above the Righetti Dam was of
high quality for steelhead and should be
included in the critical habitat
designation. One commenter also
requested that an unnamed tributary of
West Corral de Piedra Creek be
designated, while a second commenter
requested that it not be designated.
Response: West Corral de Piedra
Creek was included in the proposed
designation and has also been included
in the final designation for this ESU.
The maps used to depict occupied
stream habitat and the proposed critical
habitat, however, did not properly label
West Corral de Piedra Creek, hence the
confusion of the commenters. We have
corrected this problem in the maps
depicting the final designation. The
designated critical habitat in West
Corral de Piedra Creek, however, does
not include habitat above the Righetti
Dam. Although the habitat appears to be
of high quality and would likely support
steelhead spawning, we are uncertain
whether adult fish can pass over the
dam. Accordingly, we treated the area
above the Rhighetti Dam as unoccupied
habitat and, since a determination that
it is essential to the conservation of the
ESU had not been made, we have not
included it in the final designation for
this ESU. In evaluating the areas of
occupancy, habitat conditions, and
conservation value of this HSA
watershed, the CHART reviewed the
available information about the
unnamed tributary to West Corral de
Piedra Creek. The CHART concluded it
was unoccupied and had poor habitat
conditions, and, since, a determination
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that it is essential to the conservation of
the ESU has not been made, it has
likewise not been included in the final
designation.
Comment 62: Another commenter
argued that West Corral de Piedra Creek
is likely unoccupied by steelhead
because of an impassable barrier on
Pismo Creek downstream of West Corral
de Piedra Creek (and the Righetti Dam),
and, therefore, should not be designated
as critical habitat. The commenter also
criticized the economic analysis for not
addressing impacts on irrigation and
instream flow resulting from critical
habitat designation. Lastly, the
commenter argued that habitat area
above the Righetti Dam should not be
designated.
Response: The potential barrier in
question is an existing fish ladder on
Pismo Creek downstream of West Corral
de Piedra Creek. The extent to which
the ladder precludes adult steelhead is
unclear, but we do not think it is a
complete barrier. There is existing
information indicating the presence of
juvenile steelhead in West Corral de
Piedra Creek downstream of Righetti
Dam and above the Pismo Creek ladder
which suggests steelhead can pass the
existing fish ladder. In addition, direct
observations of the fish ladder suggest it
is capable of passing adult steelhead
even though the design is not ideal and
ladder operation may become impaired
by inorganic and organic debris. Based
on the available information, therefore,
the CHART considered West Corral de
Piedra to be occupied habitat for
steelhead up to, but not above, the
Rhigetti Dam. Accordingly, this reach of
West Corral de Piedra is included in the
final critical habitat designation for this
ESU. We acknowledge that the
economic analysis prepared for the
proposed critical habitat designation did
not adequately address economic
impacts related to changes in instream
flow or agricultural flows. The final
economic analysis made additional
efforts to address this issue, though
potential flow changes at the Righetti
Dam was not a part of that analysis. As
noted in the previous response, the
habitat area above the Righetti Dam is
not considered occupied by steelhead
though habitat conditions are
considered favorable for steelhead
spawning. For this reason, the habitat
area above Righetti Dam is not included
in the final designation of this ESU.
Comment 63: One commenter argued
that Arroyo Grande Creek should not be
included in the designation because it is
not essential for conservation, numerous
dams on the creek have altered habitat
conditions for steelhead, existing
protections are in place and thus there
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is no need for special management
considerations, and previous
determinations by Federal and State
agencies have concluded that activities
at Oceano SVRA do not adversely
impact steelhead or their habitat. The
commenter cited the final draft HCP for
Arroyo Grande Creek as an existing
mechanism for managing the creek, and
suggested designation of critical habitat
was unnecessary because it would cause
confusion among stakeholders and
agencies regarding the management of
the area for steelhead. Another
commenter argued that designation of
the mouth of Arroyo Grande Creek may
impact recreational uses in that area,
and thereby result in significant
economic impacts to local governments
and businesses.
Response: The CHART determined
that Arroyo Grande Creek met the
definition of critical habitat, and was
therefore eligible for designation, based
on an extensive review of information,
including observations and information
obtained from site visits and field
studies. This information allowed the
CHART to identify the geographic areas
occupied by steelhead and confirm that
the creek contains physical and
biological features essential to
conservation. A draft HCP prepared by
the San Luis Obispo County Flood
Control and Water Conservation District
Zone 3 (District) provides information
regarding the quality and quantity of
habitats in Arroyo Grande Creek for
steelhead and discusses the abundance
of steelhead. Although this ESU has a
broad geographic distribution, there are
relatively few representative streams in
the southern portion of the ESU where
steelhead actively spawn and rear.
Arroyo Grande Creek is one of the few
streams at the southern portion of the
subject ESU where age-0 and older
juvenile steelhead occur during summer
and fall, and sexually ripe adults occur
in winter and early spring. There are
numerous streams in San Luis Obispo
County, but a disproportionate number
in the southern portion of the subject
ESU currently do not appear suitable for
steelhead owing in part to improper
land-use activities. Arroyo Grande Creek
is one of the notable exceptions. On the
basis of this information, the CHART
determined that the HSA watershed
containing Arroyo Grande Creek had
medium conservation value and that it
was essential for the conservation of the
ESU.
Based on information available to us,
the only dam which is a full barrier to
steelhead in Arroyo Grande Creek is
Lopez Dam. Its presence and operation
have certainly contributed to declines in
the quality and quantity of habitat for
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steelhead, but evidence indicates that
steelhead still use Arroyo Grande Creek
for spawning and rearing. More
importantly, the effects of Lopez Dam
on steelhead and its habitat in Arroyo
Grande Creek underscore the need for
special management considerations or
protections in this watershed.
The purpose of the HCP in question
is essentially to address the ‘‘take’’ of
steelhead and other federally listed
species associated with operation of
Lopez Dam, not to manage the Arroyo
Grande Creek as a whole. More
importantly, the current draft HCP does
not ensure that essential habitat
functions necessary for long-term
species survival would be attained
through the proposed conservation
program. For instance, the flow regime
proposed in the draft HCP is
conditioned upon reservoir-operation
constraints, and, therefore, is not
ecologically meaningful. The HCP
requires considerable revision before
being suitable for adoption in the
application phase, and years may pass
before it is ultimately approved and an
incidental take permit issued.
The commenter is correct that we
have determined through informal ESA
section 7 consultations with the U.S.
Army Corps of Engineers (COE) that offroad vehicle crossings of the creek at the
mouth (a sandy tidally influenced area)
are not likely to adversely affect
steelhead. However, the decision to
include Arroyo Grande Creek in the
designation was not predicated on
whether previous activities, such as offroad vehicle use, did or did not
adversely affect the species. Rather,
NMFS performed an extensive review
and analysis to identify those habitats
that are essential for conservation of the
species and determined that Arroyo
Grande Creek (including the creek
mouth) is one such habitat area for this
ESU. Inclusion of the creek mouth in
the critical habitat designation is
necessary because the mouth is an
essential migratory habitat linking
upstream spawning and rearing areas
with the ocean.
Based on our past consultation
experience in this area, we do not think
that designation of the Arroyo Grande
Creek, including the creek mouth, is
likely to result in restricted recreational
crossings of the creek mouth or cause
significant economic impacts to local
governments and businesses. Although
not definitive on the outcome of future
consultations, previous consultations
involving such crossings have
determined that steelhead were not
likely to be adversely affected and that
the value of the creek mouth as a
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migration corridor for steelhead was not
likely to be diminished.
Comment 64: One commenter (CDFG)
recommended that the conservation
value of the HSA watersheds containing
Arroyo de la Cruz (HSA 331012) and
San Carpoforo (HSA 331011) creeks
should be high because of the quality
and quantity of steelhead habitat and
the potential risks to these resources in
the future.
Response: We agree with CDFG that
the quality of steelhead habitat is high
for both of these streams. However, the
CHART considered a range of factors in
assessing the conservation value of the
HSA watersheds containing these
streams, and on the basis of that
analysis, concluded that a medium
conservation value was appropriate for
both watersheds. Based on the available
information, we continue to believe that
these two HSA watersheds have a
medium conservation value to this ESU
relative to other HSA occupied
watersheds in the range of the ESU.
Both HSA watersheds had a relatively
low economic benefit of exclusion, and
therefore, all occupied habitat in both
watersheds, including the two streams
in question, are included in the final
critical habitat designation for this ESU.
ESU Specific Comments—Southern
California Steelhead
Comment 65: Several commenters
raised questions about whether or not
the Sisquoc River and some of its
tributaries are occupied by steelhead,
and whether there are PCEs to support
steelhead in this watershed. At least one
commenter argued that any O. mykiss in
this watershed were hatchery plants.
One commenter criticized the economic
analysis for the HSA containing the
Sisquoc River watershed, and another
was concerned that recreational fishing
in one tributary would be adversely
affected by a critical habitat designation.
Response: The CHART reconsidered
whether the Sisquoc River and its
tributaries should be considered
occupied based on the issues raised by
these commenters. Based on a
reassessment of the available
information (primarily the Stoecker and
Stoecker 2003 barrier assessment for the
Sisquoc River), the CHART concluded
that the Sisquoc River and its tributaries
(HSA 331220) should be considered
occupied, and that this watershed
contains PCEs supporting migration,
spawning and rearing habitat. We
recognize that flows in the Santa Maria
River watershed are constrained by the
operation of Twitchell Dam and that
migration opportunities into the Sisquoc
River are limited. For this reason,
steelhead access to this watershed is not
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available in all years, and occupancy of
the watershed will be on a more
infrequent, rather than annual, basis.
Nevertheless, migration opportunities
do occur in wet years when high flows
breach the sand bar at the mouth of the
Santa Maria River, and steelhead can
and do migrate into the middle and
upper reaches of the Sisquoc River
watershed where over-summering/
rearing habitat and spawning habitat
occurs. Although rainbow trout may
well have been planted in some areas
historically, we are not aware of any
current planting of fish except in
Manzana Creek. Accordingly, we do not
believe the vast majority of steelhead in
the watershed are of hatchery origin. A
revised economic impact analysis was
prepared for the final critical habitat
designation. Although it may not
address all site specific potential
economic impacts within each HSA
watershed, we believe this analysis does
consider the vast majority of projected
activities which are subject to ESA
section 7 consultation in each
watershed and that it provides a
reasonable basis for conducting an ESA
section 4(b)(2) analysis. More detailed
responses to comments on the economic
analysis were presented earlier in this
final rule. Lastly, the designation of
critical habitat for this ESU is not
expected to affect recreational fishing
activities in this watershed because
such activities are not subject to section
7 of the ESA and are unlikely to affect
critical habitat. Nevertheless, such
activities do need to ensure that they do
not result in the ‘‘take’’ of listed
steelhead.
Comment 66: One commenter
questioned whether specific streams
(Santa Agueda and Alamo Pintado, both
tributaries to the lower Santa Ynez River
in HSA 331440, and Santa Monica
Creek in HSA 331534) should be
designated as critical habitat.
Response: We have re-examined the
available information supporting the
inclusion of these tributaries in the
proposed designation and concluded
that although these streams may
occasionally support steelhead, there is
not sufficient information to consider
them occupied for the purposes of this
designation process. Accordingly, these
tributaries were not considered
occupied in the final critical habitat
designation and a determination that
they were essential to the conservation
of the ESU was not made, so they have
been removed from the final critical
habitat designation and associated
maps.
Comment 67: Many commenters
responded to our request for comments
regarding the designation of unoccupied
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habitat above Bradbury, Matilija,
Casitas, Santa Felicia and Rindge Dams.
Several commenters recommended that
these areas be designated because they
are essential for the conservation of this
ESU, while several other commenters
were opposed to designating these
unoccupied habitats. Some commenters
were confused or misunderstood that
we were only requesting information
and thought we had proposed to
designate these areas as critical habitat.
Response: As part of the proposed
rule development process, the CHART
was asked to identify unoccupied areas
above dams within the range of this ESU
that ‘‘may’’ be essential for its
conservation. Based on its assessment,
the CHART identified the unoccupied
habitat found above the five dams listed
above. The proposed rule did not
include these unoccupied areas in the
proposed designation for this ESU, but
rather solicited public comment on our
determination that these unoccupied
areas ‘‘may’’ be essential for
conservation of this ESU. As stated
elsewhere in this rule, we believe that
it is premature to designate such areas
at this time, and that any designation of
unoccupied areas above dams or in
other areas must await the completion
of technical recovery planning efforts
that are currently underway. Our
expectation is that the technical
recovery planning process will provide
the scientific foundation to support the
inclusion of unoccupied habitat areas in
any critical habitat designation. Once
the technical recovery planning is
completed, we intend to revisit the
designation of unoccupied habitat and
will use information provided by
commenters to inform any subsequent
proposal.
Comment 68: A large number of
commenters were opposed to the
inclusion of any portion of Rincon
Creek in the critical habitat designation.
They argued that steelhead did not
occupy the stream, the habitat was
unsuitable, and the economic impacts of
designation would be significant. Some
commenters were confused and thought
that Rincon Creek upstream from the
Highway 101 culvert had been
proposed.
Response: The proposed designation
of Rincon Creek only included that
portion of the creek that is seaward of
the Highway 101 culvert. The culvert is
considered a complete barrier to
steelhead migration, and therefore, areas
upstream of the culvert are considered
unoccupied. We continue to believe that
the lagoon and that portion of Rincon
Creek seaward of the culvert is
periodically occupied and meets the
definition of critical habitat.
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Accordingly, this habitat reach was
considered in the final ESA section
4(b)(2) analysis and has been retained in
the final critical habitat designation for
this ESU. Efforts are underway to
improve fish passage at this culvert, and
the designation of critical habitat
downstream may support those efforts.
If fish passage is successfully
implemented at this location and
steelhead reoccupy Rincon Creek
upstream from the Highway 101 culvert,
we will reconsider the possibility of
designating critical habitat in the newly
occupied habitat area.
Comment 69: Camp Pendleton Marine
Corps Base and Vandenberg Air Force
Base both provided supplementary
comments and information to support
the exclusion of their facilities from the
final critical habitat designation for this
ESU, based on the conservation benefits
provided by their respective INRMPs.
Both DOD facilities also provided
information supporting the national
security related impacts of a critical
habitat designation on their activities
and operations.
Response: As discussed elsewhere in
this final rule, we have concluded that
the INRMPs for both of these facilities
provide conservation benefits to this
steelhead ESU, and, therefore, the areas
subject to these INRMPs are not eligible
for designation pusuant to section
4(a)(3)(B)(i) of the ESA. Information
provided by both DOD facilities
concerning the impacts of critical
habitat designation on their activities
and operations support the view that
designation of habitat will likely reduce
the readiness capability of both the
Marine Corps and Air Force, both of
which are actively engaged in training,
maintaining, and deploying forces in the
current war on terrorism. On this basis,
we also concluded that the benefits of
excluding these facilities from the
critical habitat designation for this ESU
outweighed the benefits of designation.
Comment 70: Several commenters
raised questions about steelhead access
to, and occupancy in, upper San
Antonio Creek (a tributary to the
Ventura River) and its tributaries (e.g.,
Reeves, Thatcher, Gridley, Ladera, and
Senior Canyon Creeks). These
commenters argued that a migration
impediment at the Soule Park golf
course blocks steelhead access upstream
and that the only occupied habitat in
the San Antonio Creek watershed is
downstream from that location.
Response: We agree with the
commenters that steelhead access to
some portions of upper San Antonio
Creek watershed are in fact blocked and
should not be considered occupied
habitat for the purposes of this critical
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habitat designation. For example, most
of Thatcher Creek and Reeves Creek are
presently inaccessible because of a
passage impediment at Boardman Road
on Thatcher Creek, and, therefore, these
habitat reaches are clearly unoccupied
by steelhead at present. Similarly,
steelhead access into Gridley Canyon
Creek, Senior Canyon Creek, and the
lower portion of Thatcher Creek was
blocked until this past winter when
storms washed out a passage
impediment at the Soule Park golf
course. Although the passage
impediment at the Soule Park golf
course is no longer present, we have no
information at present indicating that
steelhead occur in the habitat reaches
upstream of the former impediment to
migration. Based on this information,
we concluded it is appropriate to
consider all stream reaches in the upper
San Antonio Creek watershed above the
Soule Park golf course to be unoccupied
for the purposes of this critical habitat
designation. We have revised our fish
distribution maps accordingly and also
removed these areas from the final
critical habitat designation. It should be
noted, however, that steelhead may now
begin to occupy areas above the Soule
Park golf course, and that efforts are
underway to provide fish passage for
steelhead at the Boardman Road
location. If steelhead do access these
currently unoccupied habitat areas, we
will reconsider the exclusion of these
areas from critical habitat for this ESU.
Comment 71: Some commenters
questioned the distribution of occupied
habitat and the proposed designation of
occupied habitat in Hydrologic Unit
4901, particularly with regard to the
upstream endpoints in San Juan Creek,
Trabuco Creek (a tributary of San Juan
Creek), and Devil’s Canyon (a tributary
of San Mateo Creek). Other commenters
supported the proposed designation of
habitat in the San Juan Creek and
Trabuco Creek watersheds.
Response: We have reviewed the
information provided by the
commenters, re-evaluated the
information used in developing the
proposed designation, and also
consulted with CDFG regarding the
upstream limit of the distribution of
steelhead in San Juan Creek and
Trabuco Creek. After considering this
information, we have substantially
modified the upstream distribution
limits of steelhead occupancy in
Trabuco and San Juan Creeks.
According to CDFG, the Trabuco Creek
crossing under I–5 in San Juan
Capistrano is a complete barrier to
steelhead. Therefore, the occupied
habitat reach in Trabuco Creek is now
considered to end at the I–5 crossing
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which is in HSA 490127. As a result of
this distributional change, three HSA
watershed units in upper Trabuco Creek
that were previously considered
occupied and proposed for designation
(HSAs 490121, 490123, and 490122) are
no longer considered occupied. Because
these watersheds are not occupied and
a determination that they are essential
to the conservation of the species had
not been made, they are not included in
the final critical habitat designation.
The I–5 does not serve as a barrier to
steelhead migration in San Juan Creek.
However, the upstream distributional
limit of steelhead according to CDFG is
basically at the I–5 bridge based on the
available anecdotal information. As a
result of this distributional change,
three HSA watersheds upstream from
this location that were previously
considered occupied and proposed for
designation (HSAs 491028, 490126, and
490125) are no longer considered
occupied; and, because a determination
that they are essential to the
conservation of the ESU has not been
made, they are not included in the final
designation for this ESU. Those portions
of Trabuco and San Juan Creeks that are
occupied and occur in HSA 490127 as
described above were considered
eligible for designation and were
considered in the final ESA section
4(b)(2) analysis. Based on this analysis,
we concluded that the benefits of
including the occupied habitat reaches
in HSA 490127 outweighed the benefits
of their exclusion, and, therefore, we
have included these habitat areas in the
final designation.
Comment 72: One commenter
questioned why Pole Creek, a tributary
to the Santa Clara River, was included
in the proposed critical habitat
designation when the habitat conditions
were poor and there was little
information indicating it was occupied.
Response: Based on information from
the commenter and observations by
agency biologists, we have reassessed
the appropriateness of including Pole
Creek in the final designation. We
recognize that habitat conditions in Pole
Creek are poor and upstream passage
through the existing concrete channel in
the lower portion of the creek is highly
unlikely. Accordingly, we have
concluded that Pole Creek should be
considered unoccupied. Because it is
considered unoccupied and we have not
made a determination that it is essential
for conservation, it is not included in
the final critical habitat designation.
Comment 73: One commenter
questioned why critical habitat was not
proposed in the Santa Clara River
upstream from its confluence with Piru
Creek.
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Response: The CHART did not
consider that portion of the Santa Clara
to be occupied, and we did not make a
determination that it was essential for
the conservation of the ESU; thus it was
not considered further in the critical
habitat analysis.
ESU Specific Comments—Central
Valley Spring Run Chinook
Comment 74: Two commenters
provided information regarding the
distribution of occupied spring run
Chinook habitat and habitat use, and
recommended that additional critical
habitat be designated in the upper
Sacramento River Basin for this ESU.
One commenter indicated that we
should designate several west-side
tributaries to the upper Sacramento
River in the vicinity of Redding (HSA
550810) as critical habitat because these
streams provide significant non-natal
rearing and refugia habitat, especially
since Shasta and Keswick Dams block
access to hundreds of miles of historic
rearing and refugia habitat. Another
commenter recommended that small
intermittent tributaries used for natal
rearing in the Sacramento River, as well
as lower Butte Creek, should be
designated as critical habitat.
Response: The CHART reviewed the
information provided by these
commenters for the upper Sacramento
River tributaries and concluded that it
did not change the previously
determined distribution of occupied
habitat for this ESU. The CHART
reassessed the conservation value of
occupied habitat in HSA 550810 based
on the new information and concluded
that the conservation value of some
reach specific tributaries was less than
previously thought to be the case, but
that the overall conservation value for
the HSA remained high. All occupied
spring run Chinook habitat in HSA
550810 was proposed for designation,
and, as a result of the final ESA section
4(b)(2) analysis, this habitat has been
included in the final designation for this
ESU. The CHART agreed with the
commenter that intermittent tributaries
to the Sacramento River are used for
non-natal rearing and that lower Butte
Creek is important for the conservation
of this ESU. In fact, the CHART
previously analyzed these occupied
habitat areas and rated them as having
high conservation value. These areas
were proposed for designation and are
also included in the final designation
for this ESU.
Comment 75: One commenter
recommended that the lower American
River from the outfall of the Natomas
Main Drainage Canal downstream to the
confluence with the Sacramento River
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be designated because it is used for nonnatal rearing (HSA 551921). The
argument was that this habitat provides
spawning, rearing and migration values
for spring run Chinook that may require
special management considerations.
Response: The HSA watershed
(551921) containing the lower American
River was originally rated by the
CHART as having medium conservation
value and was excluded from the
proposed designation because of
relatively high economic costs. In
response to these comments, the
CHART reassessed the conservation
value of this HSA and determined that
it should be rated as having a high
conservation value to the ESU.
Information provided by the commenter
demonstrated the importance of the
lower American River for non-natal
rearing and the high improvement
potential of the habitat conditions from
ongoing restoration projects. In
addition, the lower American River may
be used during high winter flows for
rearing and refugia by multiple
populations of spring Chinook in the
central valley (e.g., Feather and Yuba
Rivers). Additionally, the commenter
suggested that special management
considerations may be required to
maintain and improve habitat
conditions and the conservation value
of this HSA for spring run Chinook. In
particular, special management
considerations may be necessary to
address flood control, residential and
commercial development, agricultural
management, and habitat restoration.
Based on the change in conservation
value and the final ESA section 4(b)(2)
analysis, we concluded that all
occupied habitat in HSA 551921,
including the lower American River,
should be designated as critical habitat
for this ESU.
Comment 76: A commenter also
recommended that the lower Bear River
(HSA 551510) from the mouth of Dry
Creek downstream to its confluence
with the Feather River be designated as
critical habitat because it is used for
non-natal rearing and will require
special management to maintain habitat
value for this ESU.
Response: The HSA watershed
(551510) containing the lower Bear
River was originally considered
unoccupied by the CHART, and its
conservation value was not rated. Based
on the information provided by the
commenter, the CHART has reclassified
the lower Bear River as occupied habitat
for spring run Chinook. Information
provided by the commenter indicates
that the lower Bear River is used for
non-natal rearing and that habitat values
are likely to increase in the near future
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as a result of planned restoration
projects that will improve the condition
of several PCEs. The CHART applied the
PCE factor ranking criteria and rated the
lower Bear River as having high
conservation value to this ESU,
primarily because: (1) the habitat area is
likely to be used by at least two
populations (i.e., Feather and Yuba
River); (2) non-natal rearing represents a
unique life-history strategy that is
essential for the conservation of the
species (contributing to improved
growth conditions); (3) the habitat
serves as a refugia from high water
conditions and catastrophic events; and
(4) there is high improvement potential
for this habitat from ongoing restoration
efforts. Based on information from the
commenter, the lower Bear River will
require special management efforts to
protect and maintain habitat values for
this ESU. Special management
considerations are likely to include
flood control, residential and
commercial development, agricultural
management, and habitat restoration.
Because this HSA is now considered
occupied, contains the necessary PCEs,
and has a need for special management
considerations, it was considered
eligible for designation in the final ESA
section 4(b)(2) analysis conducted for
this designation. Based on the results of
the final 4(b)(2) analysis, we concluded
that the benefits of including this area
in the designation outweighed the
benefits of its exclusion. Accordingly,
occupied habitat in HSA 551510 is now
included in the final critical habitat
designation for this ESU.
Comment 77: Several commenters
recommended that portions of the San
Joaquin River and its major tributaries
below impassable mainstem dams be
designated as critical habitat for this
ESU either because of future efforts to
restore habitat or because of
unpublished information from CDFG
indicating specific habitat areas were
occasionally occupied by spring run
Chinook. These areas include the San
Joaquin River from its confluence with
the Merced River upstream to Friant
Dam, the Tuolumne River downstream
of La Grange Dam, the Merced River
downstream of Crocker Huffman Dam,
and the Stanislaus River downstream of
Goodwin Dam.
Response: The recommendation to
designate the San Joaquin River above
the confluence with the Merced River
confluence was primarily based on the
historical occupancy of this habitat
reach by spring Chinook and the
expectation that future efforts will be
undertaken to restore habitat in this
reach. We recognize that this habitat in
the San Joaquin River was historically
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used by spring Chinook; however, it has
been unoccupied for more than half a
century. Moreover, plans to restore
flows and habitat conditions
downstream of Friant Dam are
uncertain, and significant passage
impediments and flow alterations in the
San Joaquin above the Merced River
confluence present potentially
significant obstacles to future
restoration success. Because this habitat
is currently unoccupied and no
determination has been made that it is
essential for the conservation of this
ESU, we have not included it in the
final critical habitat designation.
The CHART reviewed information
provided by the commenters regarding
occupancy of the Tuolumne, Merced,
and Stanislaus Rivers by spring Chinook
and concluded there was insufficient
data to consider them occupied.
Although the CHART did evaluate these
as unoccupied areas for the proposed
critical habitat designation and
concluded that they ‘‘may’’ be essential
for the conservation of spring run
Chinook ESU, we believe it is premature
to include these unoccupied areas in the
critical habitat designation for this ESU
until ongoing recovery planning efforts
provide information sufficient to make a
determination that these areas are
essential to the conservation of this
ESU. Because these tributary rivers to
the San Joaquin River are currently
unoccupied and recovery planning
efforts do not yet support a
determination that these areas are
essential for the conservation of this
ESU, we have not included them in the
final critical habitat designation.
Comment 78: One commenter argued
that the lower Feather River below
Oroville Dam should not be designated
because of the introgression of fall run
Chinook and spring run Chinook by the
Feather River hatchery.
Response: We disagree with the
commenter and believe that the lower
Feather River below Oroville Dam
should be designated as critical habitat.
The extant Feather River population of
spring-run Chinook salmon represents a
legacy population of the fish that
historically used the upper Feather
River prior to construction of Oroville
Dam, and it is an important population
to conserve and protect because of its
potential contribution to ESU recovery.
This habitat area was proposed for
critical habitat because the CHART
considered it occupied by spring run
Chinook, it contains PCEs, and it
requires special management
considerations for activities such as
flood control, flow and temperature
management, residential and
commercial development, agricultural
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management, and habitat restoration.
HSA 551540, which contains much of
the lower Feather River below Oroville
Dam, was rated as having high
conservation value by the CHART for
the proposed designation, and that
determination was not changed as a
result of these comments. Based on the
results the final ESA section 4(b)(2)
analysis, occupied habitat in HSA
551540, including the lower Feather
River below Oroville Dam, is included
in the final critical habitat designation
for this ESU.
Comment 79: Some commenters
contended that NMFS should not
designate any critical habitat for spring
run Chinook in the Sacramento River,
its major tributaries (i.e. Feather River),
the Sacramento-San Joaquin Delta, or
the Suisun-San Francisco Bay complex
because existing protective efforts and
mechanisms are sufficient to protect the
ESU.
Response: We disagree with these
commenters. These habitat areas
comprise the entire freshwater and
estuarine range of this ESU, contain one
or more PCEs that are essential to the
conservation of the ESU, including
migration, holding, spawning, rearing,
and refugia habitat, and require special
management considerations or
protections beyond those protective
efforts that are already in place or
available. For these reasons, they were
considered for designation through this
rulemaking process. In the course of the
analysis supporting this rulemaking, we
evaluated the quantity, quality and
diversity of PCEs within the occupied
portions of these waterbodies by
watershed unit, assessed the benefits of
designating these watershed units, and
finally weighed the benefits of
designation against the benefits of
exclusion by watershed unit. The
resultant critical habitat designation in
this final rule, therefore, meets the
definition of critical habitat and also
represents that habitat which contains
PCEs that we believe are essential for
the conservation of this ESU.
Comment 80: One commenter
recommended that several areas
proposed for designation in the
Sacramento River basin below
impassable barriers not be designated in
the final rule. These areas include: (1)
the South Fork Cow Creek watershed
because it is not occupied; (2) specific
streams in the Tehama Hydrologic Unit
(5504) including HSAs 550410 and
550420 because they do not support
populations of spring run Chinook and
also lack cool, deep pools for summer
holding habitat; (3) specific streams in
the Whitmore Hydrologic Unit (5507)
including HSAs 550711 and 550722
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because they do not support
populations of spring run Chinook and
also lack cool, deep pools for summer
holding habitat; and (4) specific streams
in the Redding Hydrologic Unit (5508)
and HSA 550810 because they do not
support a population of spring run
Chinook and lack cool, deep pools for
summer holding habitat.
Response: The CHART re-evaluated
the South Fork Cow Creek based on
these comments and agreed that it is
unoccupied and therefore reclassified
its occupancy status accordingly.
Because the HSA containing South Fork
Cow Creek (HSA 550731) is now
considered unoccupied and we have not
made a determination that it is essential
to the conservation of the ESU, it was
excluded from further consideration in
the analysis and has not been included
as critical habitat in the final
designation for this ESU.
The CHART, however, disagreed with
the commenter’s recommendation to
exclude the identified streams and
HSAs in the Tehama (5504), Whitmore
(5507), and Redding (5008) Hydrologic
Units. The recommendation was based
on the lack of cool, deep pools for
summer holding habitat that is essential
for adult holding, spawning, and
summer rearing. The CHART’s previous
assessment of the conservation value of
these streams and watershed units,
however, was based on their use during
winter and early-spring months for nonnatal rearing by juvenile spring-run
Chinook. Though current use is likely
low, it is expected to increase in the
near future as a result of habitat
restoration and range expansion in
Battle and Clear Creeks. The CHART
concluded these streams provide several
PCEs that are important for juvenile
non-natal rearing, which represents a
unique life-history strategy that is
essential for the conservation of this
ESU because of its contribution to
improved growth conditions and refugia
from high water and catastrophic
events. In addition, the CHART
concluded that these streams will
require special management efforts for
flood control, residential and
commercial development, agricultural
management, and habitat restoration to
protect and maintain the conservation
value of these habitats for spring-run
Chinook. Based on these factors, the
CHART rated most of the occupied
HSAs in these three Hydrologic Units as
having high conservation value to the
ESU. After consideration of these
comments, the CHART concluded there
was no reason to change its previous
assessment of spring Chinook
distribution, habitat use, or conservation
value for these streams and Hydrologic
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Units. Accordingly, the occupied
streams in these Hydrologic Units and
associated HSAs were considered in the
final 4(b)(2) analysis for this final
designation.
Comment 81: Two commenters
questioned the historical and current
habitat use and occupancy of Putah,
Alamo, and Ulatis Creeks by spring run
Chinook and thus whether they should
be designated as critical habitat.
Response: The proposed critical
habitat designation for spring run
Chinook did not include any of these
three creeks, because the CHART
considered all of them to be unoccupied
in its original assessment and we had
not made a determination that they were
essential to the conservation of the ESU.
The commenters likely were confused
because these creeks all occur in the
Valley Putah-Cache Hydrologic Unit
(HSAs 551100 and 551120), and some
portions of this Hydrologic unit were
included in the proposed designation
because they are occupied, have the
requisite PCEs, may need special
management considerations, and were
not excluded as a result of the original
ESA section 4(b)(2) exclusion process
that led to the proposed rule. The
CHART did not receive any new
information indicating these creeks are
occupied, so they were not reconsidered
and are not included in the final critical
habitat designation for this ESU.
Comment 82: Several commenters
indicated that habitat above major
impassable rim dams on tributaries to
the San Joaquin River (Stanislaus,
Tuolumne, and Merced Rivers) do not
contain habitat that would support
spring run Chinook and/or that the
feasibility of providing fish passage for
spring run Chinook has not been
adequately evaluated.
Response: Although the CHART did
evaluate these as unoccupied areas for
the proposed critical habitat designation
and concluded that some of the reaches
above the rim dams ‘‘may’’ be essential
for the conservation of spring run
Chinook, we believe it is premature to
include these unoccupied areas in the
critical habitat designation for this ESU
until ongoing recovery planning efforts
provide technical information
supporting a determination that one or
more of these areas are essential to its
conservation and recovery. Because
these tributary rivers to the San Joaquin
River are currently unoccupied and
recovery planning efforts do not yet
support a determination that these areas
are essential for the conservation of this
ESU, we have not included them in the
final critical habitat designation.
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ESU-Specific Comments—Central
Valley Steelhead
Comment 83: One commenter
recommended that we designate several
west-side tributaries to the Sacramento
River in the vicinity of Redding (HSA
550810) as critical habitat for this ESU
because they are used as spawning and/
or rearing habitat.
Response: The CHART reviewed the
new information provided by the
commenter and concluded that several
of these streams are seasonally occupied
and most likely used by steelhead as
non-natal rearing habitat with
occasional use as spawning habitat, and
that they contain PCEs supporting nonnatal habitat use. The CHART
considered these additional occupied
habitat areas important for steelhead
because they are likely to be used by
several populations (e.g., upper
Sacramento River, Clear Creek, and Cow
Creek), and because non-natal rearing
represents a unique life-history strategy
that is essential for the conservation
since it contributes to improved growth
conditions and serves as a refugia from
high water and catastrophic events. The
CHART concluded that these streams
may require special management
considerations to address activities such
as flood control, residential and
commercial development, agricultural
management, and habitat restoration,
and, therefore, evaluated the
conservation value of these occupied
habitat stream reaches and the overall
HSA. This reassessment concluded that
the conservation value of the additional
occupied stream reaches ranged from
low to high, but that the overall
conservation value of HSA watershed
550810 remained high to the ESU.
Based on the results of the final ESA
section 4(b)(2) analysis, all occupied
habitat in HSA 550810, including
several stream reaches recommended by
the commenter, is designated as critical
habitat in the final rule.
Comment 84: One commenter
recommended that we should designate
upper little Dry Creek, a tributary to
Butte Creek, as critical habitat for this
ESU.
Response: The CHART originally
evaluated the conservation value of
upper Dry Creek (HSA 552110) as being
low, and it was proposed for exclusion
in the proposed rule based on the
results of the ESA section 4(b)(2)
analysis. In response to these comments,
the CHART re-assessed the conservation
value of this HSA and concluded it
should be changed from low to medium.
The original low rating was strongly
influenced by the low number of stream
miles in the HSA. The remainder of
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little Dry Creek is located downstream
in HSA 552040, which was rated as
having a high conservation value by the
CHART because of the number of
occupied stream miles, its high
restoration potential, and its use by
multiple populations of steelhead. In its
reassessment of the conservation value
of HSA 552110, the CHART placed
more emphasis on the restoration
potential of this reach of upper little Dry
Creek and the potential for the stream
reach to support life history stages of
high importance (i.e., spawning adults
and over summering juveniles) for this
ESU. Based on the increased
conservation value of this HSA 552110
(increased from low to medium) and the
results of the final ESA section 4(b)(2)
analysis, the upper little Dry Creek has
been included in the final critical
habitat designation for this ESU.
Comment 85: One commenter
recommended that we designate the
lower Bear River as critical habitat for
Central Valley steelhead from its
confluence with Dry Creek downstream
to its confluence with the Feather River
because it is used for non-natal rearing
and will require special management
considerations to maintain habitat value
for the ESU.
Response: The CHART originally
evaluated the conservation value of
HSA 551510, which contains the lower
Bear River, as being low, and it was
proposed for exclusion in the proposed
critical habitat rule based on the results
of the ESA section 4(b)(2) analysis
conducted for that rulemaking. In
response to the information provided by
the commenter, the CHART re-assessed
the conservation value and concluded
that the overall conservation value for
this HSA is medium rather than low. As
a result of the revised 4(b)(2) analysis
conducted for the final rule, however,
this HSA watershed was considered to
have a medium benefit of designation
and a relatively high benefit of
exclusion (ie., high cost relative to
benefit), making it potentially subject to
exclusion from the final designation.
However, the CHART felt the lower
portion of the Bear River within this
HSA was important because the habitat
is likely to be used for non-natal rearing
by several populations (i.e., Feather and
Yuba River populations) and because
non-natal rearing represents a unique
life-history strategy that is essential for
conservation since it contributes to
improved growth conditions and serves
as a refugia from high water and
catastrophic events. Therefore the
CHART concluded the benefit of
including this area out weighed the
benefit of excluding this area and we
have included HSA 551510, which
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includes the lower Bear River, in the
final critical habitat designation for this
ESU.
Comment 86: One commenter
recommended that the Cosumnes River
should be designated as critical habitat
for this ESU based on unpublished
documentation of steelhead presence.
Response: The original analysis
conducted by the CHART for the
proposed rule considered the Cosumnes
River to be occupied, but its assessment
concluded that the HSA watersheds
(553111, 553221, 553223 and 553224)
containing this river system were of low
conservation value. Based on this
assessment and the results of the ESA
section 4(b)(2) analysis conducted for
the proposed rule, the Cosumnes River
and all other occupied habitat in these
four watersheds were excluded from the
proposed designation. The commenter
did not provide any new information
warranting a change in our proposed
rule, and, therefore, the Cosumnes River
and these four watersheds have been
excluded from the final designation for
this ESU.
Comment 87: Several commenters
recommended that we designate the San
Joaquin River from its confluence with
the Merced River to Friant Dam as
critical habitat for this ESU.
Response: The recommendations to
designate the San Joaquin River above
the confluence with the Merced River
were primarily based on the historical
occupancy of this habitat reach by
steelhead and the expectation that
future efforts will be undertaken to
restore habitat in this reach. We
recognize that this habitat in the San
Joaquin River was historically used by
steelhead, but we consider it presently
unoccupied. Moreover, plans to restore
flows and habitat conditions
downstream of Friant Dam are
uncertain, and significant passage
impediments and flow alterations in the
San Joaquin River above the Merced
confluence present significant obstacles
to future restoration success. Because
this habitat is currently unoccupied,
and ongoing recovery planning efforts
have not identified areas in this reach of
the San Joaquin River as being essential
for the conservation of this ESU, we
have not included it in the final critical
habitat designation.
Comment 88: Two commenters
recommended that we designate Dry
Creek, a tributary to the Yuba River, as
critical habitat for Central Valley
steelhead.
Response: The commenters
incorrectly interpreted the proposed
designation. Dry Creek, a tributary to the
Yuba River, occurs in two HSA
watersheds (551712 and 551713).
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52513
However, the vast majority of this creek
occurs within HSA 551712. The CHART
originally concluded that watershed
551712 had a high conservation value
and that watershed 551713 had a low
conservation value. Based on this
assessment and the original ESA section
4(b)(2) analysis, the proposed
designation for this ESU included all
occupied habitat in HSA 55172,
including Dry Creek, but did exclude a
small portion of Dry Creek occurring in
HSA 551713 because of high economic
costs. We did not receive any new
information warranting a change in the
proposed critical habitat with respect to
Dry Creek, and, therefore, the final
critical habitat designation for this ESU
only includes that portion of Dry Creek
contained in HSA 551712.
Comment 89: Some commenters
contended that we should not designate
any critical habitat for steelhead in the
Sacramento River, San Joaquin River or
its major tributaries, the SacramentoSan Joaquin Delta, or the Suisun-San
Francisco Bay complex because existing
protective efforts and mechanisms are
sufficient to protect the ESU.
Response: We disagree with these
commenters. These waterbodies
comprise the entire freshwater and
estuarine range of this ESU, contain one
or more PCEs that are essential to the
conservation of the ESU, including
migration, holding, spawning, rearing,
and refugia habitat, and may require
special management beyond those
protective efforts that are already in
place or available. For these reasons,
they were considered for designation
through this rulemaking process. In the
course of this rulemaking, we evaluated
the quantity, quality, and diversity of
PCEs within the occupied portions of
these waterbodies by watershed unit,
assessed the benefits of designating
these watershed units, and finally
weighed the benefits of designation
against the benefits of exclusion by
watershed unit. The resultant critical
habitat designation in this final rule,
therefore, meets the definition of critical
habitat and also contains PCEs that we
believe are essential for the conservation
of this ESU.
Comment 90: One commenter
recommended that we should not
designate several streams in the upper
Sacramento River (Red Bluff [550420
and Spring Creek [550440] HSAs) as
critical habitat for Central Valley
steelhead because they are low elevation
streams without sufficient flow duration
or suitable habitat to support the
species.
Response: We disagree with the
commenter’s recommendation to
exclude specific streams in these two
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HSAs. The CHART has evaluated these
streams and recognizes that they have
limited flow duration. However, the
team also concluded the streams in
question support important winter and
early spring non-natal rearing habitat for
steelhead and thus contain PCEs that are
important for juvenile rearing. The
CHART previously rated both HSAs as
having an overall high conservation
value for this ESU and does not believe
the comments warrant a revision in any
of its previous conclusions regarding
these two HSAs. Based on the CHART’s
previous conclusions and the results of
the final ESA section 4(b)(2) analysis
conducted for this rule, all occupied
habitat in these two HSAs is included
in the final designation for this ESU.
Comment 91: Some commenters
argued that there was no basis for
proposing to designate critical habitat
for Central Valley steelhead in the
Calaveras, Stanislaus, Tuolumne, or
Merced Rivers.
Response: We disagree with the
commenters. The CHART concluded
that the HSA watersheds containing
these rivers were occupied by steelhead,
contained PCEs supporting the species
for spawning, rearing and/or migration,
and that there may be a need for special
management considerations. On this
basis, these rivers met the definition of
occupied critical habitat, and, therefore,
were eligible for designation. We
weighed the benefits of including these
areas in the designation against the
benefits of their exclusion in the
original ESA section 4(b)(2) analysis for
the proposed rule, and again in a
revised analysis for the final rule. In
both instances, the benefits of
designating the HSA watersheds
containing these rivers outweighed the
benefits of their exclusion. Accordingly,
the HSA watershed containing these
rivers were included in the proposed
critical habitat designation and are also
included in the final designation for this
ESU.
Comment 92: One commenter argued
that the Old River and Paradise Cut
channels in the San Joaquin Delta
Subbasin or Hydrologic Unit (5544) do
not meet the definition of critical habitat
for Central Valley steelhead.
Response: We disagree with the
commenter. The CHART concluded that
all of the estuarine habitat in this
Hydrologic Unit, including the Old
River and Paradise Cut channels, is used
by steelhead smolts for rearing and
migration from upstream freshwater
rivers. On this basis the CHART
considered the entire Hydrologic Unit to
be occupied and to contain PCEs for
rearing and migration that are essential
to the conservation of this ESU. The
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CHART also concluded that agricultural
water and municipal water withdrawals,
entrainment associated with water
diversions, invasive/non-invasive
species management, and point and
non-point source water pollution could
affect these PCEs and that there was a
need for special management
considerations. Based on all of the
available information, the CHART rated
this Hydrologic Unit as having high
conservation value for the ESU. Based
on the CHART’s assessment and the
original ESA section 4(b)(2) analysis
conducted for the proposed rule, this
Hydrologic Unit was proposed for
designation. We have received no new
information warranting a change in this
proposal, and, therefore, all occupied
habitat in this Hydrologic Unit
including the Old River and Paradise
Cut channels are included in the final
critical habitat designation for this ESU.
Comment 93: One commenter
recommended designating critical
habitat above major dams in the central
valley to ensure these habitats were
protected and to encourage
implementation of fish passage above
these dams.
Response: As part of the proposed
critical habitat designation process, the
CHART did evaluate many unoccupied
areas above dams in the central valley
as potential critical habitat, and
concluded that some of the reaches
above the rim dams ‘‘may’’ be essential
for the conservation of steelhead.
Although the CHART believes these
areas may be essential for conservation,
and we recognize the historical
importance of many of these areas to
steelhead, we believe it is premature to
include these unoccupied areas in the
final designation for this ESU until
ongoing recovery planning efforts
provide technical information to
support a determination that any such
areas are essential to its conservation
and recovery. Because these above-dam
habitat areas are currently unoccupied
and recovery planning efforts do not yet
support a determination that any
specific areas are essential for the
conservation of this ESU, we have not
included them in the final critical
habitat designation. As recovery
planning efforts mature and sufficient
information is available to make a
determination about whether any of
these areas are essential for conservation
of this ESU, we will conduct additional
rulemaking as appropriate.
Comment 94: Two commenters
addressed the issue of designating
critical habitat above the Solano
Irrigation District Dam on Putah Creek.
One commenter argued that habitat
between the Solano Irrigation Dam and
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Monticello Dam on Putah Creek should
be designated as critical habitat for
steelhead even though it is unoccupied
because: Suitable spawning and rearing
habitat exists for steelhead above the
dam; providing fish passage is likely to
be economically and logistically
feasible; and Central Valley steelhead
populations are constrained by the lack
of accessible habitat. The other
commenter argued that this habitat
should not be designated because of
problems associated with providing
passage.
Response: The CHART considered the
information provided by these
commenters and concluded that the
unoccupied area above Solano Irrigation
Dam may contain PCEs that would
support steelhead and that providing
passage would likely be feasible.
However, the CHART did not make a
determination about whether this above
dam area may be essential for the
conservation of this ESU. As noted
previously, we believe it is premature to
include any unoccupied areas above
dams in the final critical habitat
designation for this ESU until ongoing
recovery planning efforts identify those
specific unoccupied areas that are
essential to its conservation and
recovery. Because the habitat above the
Solano Irrigation Dam is currently
unoccupied and recovery planning
efforts do not yet support a
determination that this area is essential
for the conservation of this ESU, we
have not included this area in the final
critical habitat designation.
ESU-Specific Comments—Central
Valley Spring Run Chinook and Central
Valley Steelhead
Comment 95: One commenter argued
that west-side tributaries in Glenn
County, and in particular Stony Creek,
should not be designated as critical
habitat for either spring-run Chinook
salmon or steelhead because these
habitats are unoccupied and water
temperatures are too warm to support
salmonids.
Response: We disagree with the
commenter. The CHART has evaluated
the available information, particularly
with regard to Stony Creek (HSA
550410), and concluded that this stream
is occupied by both spring run Chinook
and steelhead. Juvenile spring run
Chinook have been consistently
documented using Stony Creek as
rearing habitat since 2001 (Corwin and
Grant, 2004), as well as in previous
years (Maslin and McKinney, 1994).
Similarly, juvenile steelhead have been
periodically documented rearing in
Stony Creek (Corwin and Grant, 2004;
Maslin and McKinney, 1994). The
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CHART also concluded that Stony Creek
has PCEs that support both species.
Water temperature monitoring from
2001 through 2004 has shown that
temperatures in Stony Creek under
current operations are generally suitable
for adult and juvenile salmonids (below
65 °F) from mid-October through late
May. Water temperatures have been
found to be suitable for salmonid
spawning and incubation (below 56 °F)
from mid-November through early May
(Corwin and Grant, 2004). Though
successful steelhead spawning has not
been documented recently in Stony
Creek, habitat conditions under current
operations are considered marginally
suitable to support steelhead
reproduction. Because of ongoing
restoration actions and ESA section 7
consultations, progress is being made
toward improving these habitat
conditions, and we expect conditions to
continue to improve into the future.
Comment 96: Numerous commenters
raised issues concerning the designation
of unoccupied and inaccessible habitat
in the Yuba River. Several commenters
recommended we designate unoccupied
stream reaches above major impassable
barriers in the Middle, North, and South
Fork Yuba Rivers as critical habitat for
both ESUs. In contrast, several other
commenters recommended we delay
any decision to designate unoccupied
and inaccessible habitat for both ESUs
in the Yuba River above Englebright
Dam until the Upper Yuba River Studies
Program is completed.
Response: The CHART reviewed
information regarding unoccupied
habitat above Englebright Dam for the
proposed rule and concluded that
unoccupied and inaccessible areas
above the dam ‘‘may’’ be essential for
the conservation of these ESUs.
However, we have not made a final
determination that these areas are
essential to conservation. As noted
previously for other unoccupied and
inaccessible areas, we believe that it is
premature to designate unoccupied
areas in the Yuba River above
Englebright Dam as critical habitat until
ongoing recovery planning efforts
identify those specific unoccupied
habitat areas in the central valley that
are essential to the conservation and
recovery of these ESUs. The Upper Yuba
River Studies Program is expected to
provide relevant information for the
recovery planning process of both ESUs,
and we intend to await the findings of
this program as well as recovery
planning efforts before making a
determination about whether or not the
unoccupied habitat areas in question are
essential to the conservation of either
ESU. If such a determination is made,
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we will undertake the appropriate
rulemaking to propose the designation
of these areas as critical habitat.
Comment 97: One commenter
recommended designating the entire
Butte Creek watershed, upstream from
the Centerville Diversion Dam, as
critical habitat for both the spring run
Chinook and steelhead ESUs.
Conversely, another commenter argued
that we should not designate this
unoccuped habitat in Butte Creek
because there is no historical
information that suggests this habitat
was historically occupied by
anadromous salmonids, and recent
CDFG barrier assessments have
concluded that barrier modifications are
not desirable because of the high stream
gradient and the presence of multiple
natural barriers immediately above the
Dam.
Response: The CHART reviewed
information regarding unoccupied
habitat above the Centerville Diversion
Dam on Butte Creek for the proposed
rule and concluded that this
unoccupied and inaccessible habitat
‘‘may’’ be essential for the conservation
of both the spring run Chinook and
steelhead ESUs. As noted previously for
other unoccupied and inaccessible areas
above dams, however, we believe that it
is premature to designate unoccupied
areas in Butte Creek above the
Centerville Diversion Dam as critical
habitat until ongoing recovery planning
efforts identify those specific
unoccupied habitat areas in the central
valley that are essential to the
conservation and recovery of these
ESUs. Because the habitat areas above
the Centerville Diversion Dam are
unoccupied and no final determination
has been made that they are essential for
conservation of the ESU, they are not
included in the final critical habitat
designation for these ESUs. If the agency
makes such a determination in the
future, we will undertake the
appropriate rulemaking to designate
these areas as critical habitat.
Comment 98: One commenter (CDFG)
argued that it is premature to designate
unoccupied habitat above Oroville Dam
in the upper Feather River as critical
habitat for either spring run Chinook or
steelhead.
Response: As discussed in other
responses, we agree with CDFG.
Although the CHART concluded as part
of the proposed critical habitat rule that
specific unoccupied areas above
Oroville Dam ‘‘may’’ be essential for the
conservation of spring run Chinook and
steelhead, we believe it is premature to
make such a determination until
ongoing recovery planning efforts in the
central valley identify above-dam
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unoccupied areas that are essential for
conservation of these ESUs. For this
reason, unoccupied areas above Oroville
Dam are not included in the final
designation.
Comment 99: Some commenters
indicated that habitat above rim dams
on tributaries (Tuolumne, Stanislaus,
and Merced) to the San Joaquin River
did not contain suitable habitat for
either ESU and that the feasibility of
passage had not been adequately
studied.
Response: The CHART evaluated
specific unoccupied and inaccessible
stream reaches above rim dams on these
San Joaquin River tributaries and
concluded that they ‘‘may’’ be essential
for the conservation of spring run
Chinook and steelhead. However, as
discussed previously, we believe it is
premature to make such a determination
until ongoing recovery planning efforts
in the central valley identify above-dam
unoccupied areas that are essential for
conservation of these ESUs. For this
reason, unoccupied areas above these
rim dams on the San Joaquin River
tributaries are not included in the final
designation.
III. Summary of Revisions
We evaluated the comments and new
information received on the proposed
rule to ensure that they represented the
best scientific data available and made
a number of general types of changes to
the critical habitat designations,
including:
(1) We revised distribution maps and
related biological assessments based on
a final CHART assessment (NMFS,
2005a) of information provided by
commenters, peer reviewers, and agency
biologists. We also evaluated
watersheds that may be low leverage
(i.e., unlikely to have an ESA section 7
consultation or where a section 7
consultation, if it did occur, would yield
few conservation benefits) and
identified several for possible exclusion
in the final ESA section 4(b)(2) analysis.
(2) We revised our economic analysis
based on information provided by
commenters and peer reviewers as well
as our own efforts as referenced in the
proposed rule. Major changes included
assessing new impacts associated with
pesticide consultations, revising Federal
land consultation costs to take into
account wilderness areas, and
modifying grazing impacts to more
accurately reflect likely project
modifications.
(3) We conducted a new ESA section
4(b)(2) analysis based on economic
impacts to take into account the above
revisions. This resulted in the final
exclusion of many of the same
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watersheds proposed for exclusion. It
also resulted in some areas originally
proposed for exclusion not being
excluded and some areas proposed for
designation now being excluded. The
analysis is described further in the
4(b)(2) report (NMFS, 2005c).
(4) We did not conduct an ESA
section 4(b)(2) analysis of lands covered
by approved HCPs because existing HCP
holders did not request exclusion from
the critical habitat designation. We did
not have sufficient information to
conduct this analysis for the vast areas
covered by Federal land management
plans, but may do so in the future.
The following sections summarize the
ESU-specific changes to the proposed
critical habitat rule. These changes are
also reflected in final agency reports
pertaining to the biological, economic,
and policy assessments supporting these
designations (NMFS, 2005a; NMFS,
2005b; NMFS, 2005c). We conclude that
these changes are warranted based on
new information and analyses that
constitute the best scientific data
available.
ESU Specific Changes—California
Coastal Chinook Salmon
The CHART did not change
conservation value ratings for any
watershed within the geographical area
occupied by this ESU. However, based
on public comments and new
information reviewed by the CHART,
we have identified minor changes to the
extent of occupied habitat areas in some
watersheds. Also, based on public
comments we have added a migratory
corridor in one watershed (HSA 111171)
that was proposed to be fully excluded
in order to provide connectivity
between the ocean and an upstream
watershed of high conservation value.
Additionally, as a result of revised
economic data for this ESU and our
final ESA section 4(b)(2) analysis, we
are excluding all occupied habitat in
two watersheds that were previously
proposed for designation (HSAs 111350
and 111423). Table 1 summarizes the
specific changes made for this ESU.
TABLE 1.—ESU SPECIFIC CHANGES—CALIFORNIA COASTAL CHINOOK SALMON
HSA watershed
code
Hydrologic unit
HSA watershed name
Changes from proposed rule
Removed 0.7 mi (1.1 km) of occupied habitat area.
Added 1.2 miles (1.9 km) of occupied habitat area.
Removed 0.8 miles (1.3 km) of occupied habitat area.
Added 1.0 mile (1.6 km) of occupied habitat area.
Excluded tributaries from final designation and retained migratory corridor.
Excluded all occupied habitat from final designation
Excluded all occupied habitat from final designation.
Trinidad ...................
Trinidad ...................
Mad River ................
Mad River ................
Eel River ..................
110810
110820
110920
110930
111171
Big Lagoon .......................................
Little River—Albion—Big Salmon ....
NF Mad River ..................................
Butler Valley .....................................
Eden Valley ......................................
Mendocino Coast ....
Russian River ..........
111350
111423
Navarro River ...................................
Mark West ........................................
ESU Specific Changes—Northern
California Steelhead
The CHART did not change
conservation value ratings for any
watershed within the geographical area
occupied by this ESU. However, based
on public comments and new
information reviewed by the CHART,
we have identified changes to the extent
of occupied habitat areas in 13
watersheds. As a result of revised
economic data for this ESU and our
final ESA section 4(b)(2) analysis, we
did not make any changes to the areas
that were previously proposed for
designation or identify any new areas
for exclusion in the final designation.
Table 2 summarizes the specific changes
made for this ESU.
TABLE 2.—ESU SPECIFIC CHANGES—NORTHERN CALIFORNIA STEELHEAD
HSA watershed
code
Hydrologic unit
HSA watershed name
Changes from proposed rule
Removed 0.7 mi (1.1 km) of occupied habitat area.
Added 0.3 mi (0.5 km) of occupied habitat area.
Added 2.9 mi (4.7 km) of occupied habitat areas.
Removed 0.4 mi (0.6 km) of occupied habitat area.
Removed 0.8 mi (1.3 km) of occupied habitat area.
Removed 0.7 mi (1.1 km) of occupied habitat area.
Removed 0.8 mi (1.3 km) of occupied habitat area.
Removed 5.6 mi (9.0 km) of Coast occupied habitat
areas.
Removed 0.5 mi (0.8 km) of occupied habitat area.
Removed 7.6 mi (12.2 km) of occupied habitat area.
Removed 0.9 mi (1.4 km) of occupied habitat area
Removed 0.3 mi (0.5 km) of occupied habitat area.
Removed 1.2 mi (1.9 km) of occupied habitat area.
Redwood Creek ................................
Trinidad .............................................
Trinidad .............................................
Mad River .........................................
Eureka Plain .....................................
Eel River ...........................................
Eel River ...........................................
Mendocino Coast ..............................
110720
110810
110820
110930
111000
111132
111133
111311
Beaver ..............................................
Big Lagoon .......................................
Little River ........................................
Butler Valley .....................................
Eureka Plain .....................................
Benbow ............................................
Laytonville ........................................
Usal Creek .......................................
Mendocino
Mendocino
Mendocino
Mendocino
Mendocino
111312
111313
111320
111330
111340
Wages Creek ...................................
Ten Mile Creek .................................
Noyo River .......................................
Big River ...........................................
Albion River ......................................
Coast
Coast
Coast
Coast
Coast
..............................
..............................
..............................
..............................
..............................
ESU Specific Changes—Central
California Coast Steelhead
The CHART did not change the
conservation value of any occupied
watersheds within the geographical area
occupied by this ESU. Occupied habitat
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was added to one watershed (220320)
because of a mapping error in the
proposed rule and to another watershed
(220550) based on public comments and
new information received by the
CHART. The Upper Alameda Creek
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watershed (220430) was removed from
the final designation because it is
occupied only by resident O. mykiss,
and a final listing determination for this
life form will not be made until
December 2005 (70 FR 37219; June 28,
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2005). As a result of this change,
portions of the migratory corridor to
upper Alameda Creek were also
removed from two watersheds (220420
and 220520) in the final designation. As
a result of revised economic data for this
ESU and our final ESA section 4(b)(2)
analysis, we are excluding all occupied
habitat areas in two watersheds that
were not previously proposed for
52517
designation (111421 and 220722). Table
3 summarizes the specific changes made
for this ESU.
TABLE 3.—ESU SPECIFIC CHANGES—CENTRAL CALIFORNIA COAST STEELHEAD
Hydrologic unit
HSA watershed
code
HSA watershed name
Changes from proposed rule
Excluded all occupied habitat from final designation.
Added 6.4 mi (10.3 km) of occupied habitat area (Arroyo Core Madera
del Presidio).
Removed 8.6 mi (13.8 km) migratory corridor to Upper Alameda Creek
watershed (220430).
Removed all occupied habitat (99.0 mi, or 159 km) from final designation.
Removed portion of migratory corridor (1.0 mi, or 1.6 km) to Upper Alameda Creek watershed (220430).
Added 1.9 mi (3.0 km) of occupied habitat area (San Francisquito
Creek tributaries).
Excluded all occupied habitat area from final designation.
Russian River ..........
Bay Bridges .............
111421
220320
Laguna De Santa Rosa ...................
San Rafael .......................................
South Bay ................
220420
Eastbay Cities ..................................
South Bay ................
220430
Upper Alameda Creek .....................
Santa Clara .............
220520
Fremont Bayside ..............................
Santa Clara .............
220550
Palo Alto ..........................................
Suisun .....................
220722
Suisun Creek ...................................
ESU Specific Changes—South-Central
California Steelhead
The CHART did not change the
conservation value rating for any
watershed within the geographical area
occupied by this ESU, nor were there
any changes to the extent of occupied
habitat areas. As a result of revised
economic data for this ESU and our
final ESA section 4(b)(2) analysis, we
did not make any changes to the areas
that were previously proposed for
designation or identify any new areas
for exclusion.
ESU Specific Changes—Southern
California Steelhead
The CHART did not change the
conservation value ratings for any of the
occupied watersheds within the
geographical area occupied by this ESU.
However, based on information from the
public comments and agency biologists
and reviewed by the CHART, several
watershed units (490121, 490122,
490125, 490126, and 490128) were
determined to be unoccupied and,
because we had not made a
determination that they were essential
to the conservation of the ESU, were not
considered eligible for designation or
considered in the final ESA section
4(b)(2) analysis for this final
designation. These watershed units
were located in the San Juan Creek/
Trabuco Creek watershed in the
southern portion of the range of the
ESU. Also, based on public comments
and other information reviewed by the
CHART, we have identified several
changes to the extent of occupied
habitat in a number of watersheds.
Based on the revised economic data for
this ESU and our final ESA section
4(b)(2) analysis, we did not make any
changes to the watershed areas that
were previously proposed for
designation. Table 4 summarizes the
specific changes made for this ESU.
TABLE 4.—ESU SPECIFIC CHANGES—SOUTHERN CALIFORNIA STEELHEAD
HSA watershed
code
Hydrologic unit
HSA watershed/area name
Changes from proposed rule
Removed 24.0 mi (38.6 km) of occupied tributary habitat area to the Santa Ynez River (Alamo Pintado
and Santa Aguedo Creeks).
Removed 0.8 mi (1.3 km) of occupied habitat (Santa
Monica estuary).
Removed 20.9 mi (33.6 km) of occupied tributary habitat area (San Antonio Creek and tributaries).
Removed 5.4 mi (8.7 km) of occupied habitat area
(Pole Creek).
Changed to unoccupied. Removed small amount of
occupied habitat area (Trabuco Creek).
Changed to unoccupied. Removed 7.7 mi (12.4 km) of
occupied habitat area (Trabuco Creek).
Removed 12.4 mi (20.0 km) of occupied habitat area
(Trabuco Creek).
Changed to unoccupied. Removed 12.5 mi (20.1 km)
of occupied habitat area (San Juan Creek).
Changed to unoccupied. Removed 3.8 mi (6.1 km) of
occupied habitat area (San Juan Creek).
Changed to unoccupied. Removed 3.4 mi (5.5 km) of
occupied habitat area (San Juan Creek).
Santa Ynez .......................................
331440
Santa Ynez to Bradbury ...................
South Coast ......................................
331534
Carpenteria .......................................
Ventura River ....................................
440232
Thatcher ...........................................
Santa Clara—Calleguas ...................
440331
Sespe—Santa Clara ........................
San Juan ..........................................
490121
Trabuco ............................................
San Juan ..........................................
490122
Upper Trabuco .................................
San Juan ..........................................
490123
Middle Trabuco ................................
San Juan ..........................................
490125
Upper San Juan ...............................
San Juan ..........................................
490126
Mid upper San Juan .........................
San Juan ..........................................
490128
Middle San Juan ..............................
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TABLE 4.—ESU SPECIFIC CHANGES—SOUTHERN CALIFORNIA STEELHEAD—Continued
HSA watershed
code
Hydrologic unit
San Juan ..........................................
490140
ESU Specific Changes—Central Valley
Spring Run Chinook Salmon
Based on information provided in the
public comments and new information
reviewed by the CHART, one watershed
was changed from occupied to
unoccupied (550731), one was changed
from unoccupied to occupied and rated
as having a high conservation value to
HSA watershed/area name
Changes from proposed rule
San Mateo ........................................
Removed 4.9 mi (7.9 km) of occupied habitat (Devil
Creek).
the ESU (551510), and one watershed
was changed from a medium to a high
conservation value (551921). Also,
based on public comments and new
information reviewed by the CHART,
we have identified relatively minor
changes to the extent of occupied
habitat in some watersheds. Based on
the results of the revised economic data
for this ESU and our final ESA section
4(b)(2) analysis, we are excluding all
occupied habitat areas in one watershed
(551720) that were previously proposed
for designation, and designating all
occupied habitat areas in a second
watershed (551921) that were
previously proposed for exclusion.
Table 5 summarizes the specific changes
made for this ESU.
TABLE 5.—ESU SPECIFIC CHANGES—CENTRAL VALLEY SPRING RUN CHINOOK
HSA watershed
code
Hydrologic unit
HSA Watershed name
Changes from proposed rule
Changed from occupied to unoccupied. Removed 10.3
mi (16.6 km) of occupied habitat area.
Minor changes in distribution. No net change in occupied mi of habitat area.
Changed from unoccupied to occupied. Added 5.1 mi
(8.2 km) of occupied habitat area. Rated as high in
conservation value and included all occupied habitat
in the final designation.
Excluded all occupied habitat from final designation.
Changed conservation value from medium to high and
included all occupied habitat in the final designation.
Whitmore ..........................................
550731
South Cow Creek .............................
Redding ............................................
550810
Enterprise Flat ..................................
Marysville ..........................................
551510
Lower Bear River .............................
Yuba River ........................................
Valley-American ................................
551720
551921
Nevada City ......................................
Lower American ...............................
ESU Specific Changes—Central Valley
Steelhead
Based on information provided in the
public comments and new information
reviewed by the CHART, the
conservation value of two watersheds
(551510 and 552110) within the
geographical range of this ESU was
changed from low to medium.
Additionally, based on public
comments and new information
reviewed by the CHART, we have
identified changes to the extent of
occupied habitat areas in two
watersheds. As a result of the revised
economic data for this ESU and our
final ESA section 4(b)(2) analysis, we
are excluding all occupied habitat areas
in two watersheds (550964 and 552435)
proposed for designation and
designating all occupied areas in two
other watersheds (551510 and 552110)
that were previously proposed for
exclusion. Table 6 summarizes the
specific changes made for this ESU.
TABLE 6.—ESU SPECIFIC CHANGES—CENTRAL VALLEY STEELHEAD
HSA watershed
code
Hydrologic unit
HSA Watershed name
Changes from proposed rule
Added 5.7 mi (9.2 km) of occupied habitat area (several tributaries).
Excluded all occupied habitat Tehama from the final
designation.
Changed conservation value from low to medium. Included all occupied habitat in the final designation.
Changed conservation value from low to medium. Included all occupied habitat in the final designation.
Excluded all occupied habitat from the final designation.
Removed 3.1 mi (5.0 km) of occupied habitat area.
Redding ............................................
550810
Enterprise Flat ..................................
Eastern Tehama ...............................
550964
Paynes Creek ...................................
Marysville ..........................................
551510
Lower Bear River .............................
Butte Creek .......................................
552110
Upper Dry Creek ..............................
Shasta Bally ......................................
552435
Ono ...................................................
Shasta Bally ......................................
552440
Spring Creek ....................................
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IV. Methods and Criteria Used To
Designate Critical Habitat
The following sections describe the
relevant definitions and guidance found
in the ESA and our implementing
regulations, and the key methods and
criteria we used to make these final
critical habitat designations after
incorporating, as appropriate, comments
and information received on the
proposed rule. Section 4 of the ESA (16
U.S.C. 1533(b)(2)) and our regulations at
50 CFR 424.12(a) require that we
designate critical habitat, and make
revisions thereto, ‘‘on the basis of the
best scientific data available.’’
Section 3 of the ESA (16 U.S.C.
1532(5)) defines critical habitat as ‘‘(i)
the specific areas within the
geographical area occupied by the
species, at the time it is listed * * * on
which are found those physical or
biological features (I) essential to the
conservation of the species and (II)
which may require special management
considerations or protection; and (ii)
specific areas outside the geographical
area occupied by the species at the time
it is listed upon a determination by the
Secretary that such areas are essential
for the conservation of the species.’’
Section 3 of the ESA (16 U.S.C. 1532(3))
also defines the terms ‘‘conserve,’’
‘‘conserving,’’ and ‘‘conservation’’ to
mean ‘‘to use, and the use of, all
methods and procedures which are
necessary to bring any endangered
species or threatened species to the
point at which the measures provided
pursuant to this chapter are no longer
necessary.’’
Pursuant to our regulations, when
designating critical habitat we consider
the following requirements of the
species: (1) Space for individual and
population growth, and for normal
behavior; (2) food, water, air, light,
minerals, or other nutritional or
physiological requirements; (3) cover or
shelter; (4) sites for breeding,
reproduction, or rearing of offspring;
and, generally, (5) habitats that are
protected from disturbance or are
representative of the historical
geographical and ecological
distributions of the species (see 50 CFR
424.12(b)). In addition to these factors,
we also focus on the known physical
and biological features (primary
constituent elements or PCEs) within
the occupied areas that are essential to
the conservation of the species and that
may require special management
considerations or protection. Both the
ESA and our regulations, in recognition
of the divergent biological needs of
species, establish criteria that are fact
specific rather than ‘‘one size fits all.’’
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Our regulations state that, ‘‘The
Secretary shall designate as critical
habitat areas outside the geographic area
presently occupied by the species only
when a designation limited to its
present range would be inadequate to
ensure the conservation of the species’’
(50 CFR 424.12(e)). Accordingly, when
the best available scientific and
commercial data do not demonstrate
that the conservation needs of the
species so require, we will not designate
critical habitat in areas outside the
geographic area occupied by the species.
Section 4 of the ESA requires that
before designating critical habitat we
must consider the economic impacts,
impacts on national security, and other
relevant impacts of specifying any
particular area as critical habitat, and
the Secretary may exclude any area from
critical habitat if the benefits of
exclusion outweigh the benefits of
inclusion, unless excluding an area from
critical habitat will result in the
extinction of the species concerned.
Once critical habitat for a salmon or
steelhead ESU is designated, section
7(a)(2) of the ESA requires that each
Federal agency shall, in consultation
with and with the assistance of NMFS,
ensure that any action authorized,
funded or carried out by such agency is
not likely to result in the destruction or
adverse modification of critical habitat.
Salmon Life History
Pacific salmon are anadromous fish,
meaning adults migrate from the ocean
to spawn in freshwater lakes and
streams where their offspring hatch and
rear prior to migrating back to the ocean
to forage until maturity. The migration
and spawning times vary considerably
across and within species and
populations (Groot and Margolis, 1991).
At spawning, adults pair to lay and
fertilize thousands of eggs in freshwater
gravel nests or ‘‘redds’’ excavated by
females. Depending on lake/stream
temperatures, eggs incubate for several
weeks to months before hatching as
‘‘alevins’’ (a larval life stage dependent
on food stored in a yolk sac). Following
yolk sac absorption, alevins emerge
from the gravel as young juveniles
called ‘‘fry’’ and begin actively feeding.
Depending on the species and location,
juveniles may spend from a few hours
to several years in freshwater areas
before migrating to the ocean. The
physiological and behavioral changes
required for the transition to salt water
result in a distinct ‘‘smolt’’ stage in most
species. On their journey juveniles must
migrate downstream through every
riverine and estuarine corridor between
their natal lake or stream and the ocean.
For example, smolts from Idaho will
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52519
travel as far as 900 miles (1,448 km)
from the inland spawning grounds. En
route to the ocean the juveniles may
spend from a few days to several weeks
in the estuary, depending on the
species. The highly productive estuarine
environment is an important feeding
and acclimation area for juveniles
preparing to enter marine waters.
Juveniles and subadults typically
spend from 1 to 5 years foraging over
thousands of miles in the North Pacific
Ocean before returning to spawn. Some
species, such as coho and Chinook
salmon, have precocious life history
types (primarily male fish known as
‘‘jacks’’) that mature and spawn after
only several months in the ocean.
Spawning migrations known as ‘‘runs’’
occur throughout the year, varying by
species and location. Most adult fish
return or ‘‘home’’ with great fidelity to
spawn in their natal stream, although
some do stray to non-natal streams.
Salmon species die after spawning,
except anadromous O. mykiss
(steelhead), which may return to the
ocean and make one or more repeat
spawning migrations. This complex life
cycle gives rise to complex habitat
needs, particularly during the
freshwater phase (see review by Spence
et al., 1996). Spawning gravels must be
of a certain size and free of sediment to
allow successful incubation of the eggs.
Eggs also require cool, clean, and welloxygenated waters for proper
development. Juveniles need abundant
food sources, including insects,
crustaceans, and other small fish. They
need places to hide from predators
(mostly birds and bigger fish), such as
under logs, root wads and boulders in
the stream, and beneath overhanging
vegetation. They also need places to
seek refuge from periodic high flows
(side channels and off channel areas)
and from warm summer water
temperatures (coldwater springs and
deep pools). Returning adults generally
do not feed in fresh water but instead
rely on limited energy stores to migrate,
mature, and spawn. Like juveniles, they
also require cool water and places to
rest and hide from predators. During all
life stages salmon require cool water
that is free of contaminants. They also
require rearing and migration corridors
with adequate passage conditions (water
quality and quantity available at specific
times) to allow access to the various
habitats required to complete their life
cycle.
The homing fidelity of salmon has
created a metapopulation structure with
distinct populations distributed among
watersheds (McElhany et al., 2000). Low
levels of straying result in regular
genetic exchange among populations,
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creating genetic similarities among
populations in adjacent watersheds.
Maintenance of the metapopulation
structure requires a distribution of
populations among watersheds where
environmental risks (e.g., from
landslides or floods) are likely to vary.
It also requires migratory connections
among the watersheds to allow for
periodic genetic exchange and alternate
spawning sites in the case that natal
streams are inaccessible due to natural
events such as a drought or landslide.
More detailed information describing
habitat and life history characteristics of
the ESUs is contained in the proposed
rule (69 FR 71880; December 10, 2004),
agency status reviews for each ESU,
technical recovery team products, and
in a biological report supporting these
designations (NMFS, 2005a).
Identifying the Geographical Area
Occupied by the Species and Specific
Areas Within the Geographical Area
In past critical habitat designations,
we had concluded that the limited
availability of species distribution data
prevented mapping salmonid critical
habitat at a scale finer than occupied
river basins (65 FR 7764; February 16,
2000). Therefore, the 2000 designations
defined the ‘‘geographical area occupied
by the species, at the time of listing’’ as
all accessible river reaches within the
current range of the listed species.
In the proposed rule we described in
greater detail that since the previous
designations in 2000, we can now be
somewhat more precise about the
‘‘geographical area occupied by the
species’’ because of efforts by agency
biologists, in coordination with Federal
and state co-managers, to compile
information and map actual species
distribution at the level of stream
reaches. Moreover, much of the
available data can now be accessed and
analyzed using geographic information
systems (GIS) to produce consistent and
fine-scale maps. The current mapping
effort for these ESUs documents fish
presence and identifies occupied stream
reaches where the species has been
observed. It also identifies stream
reaches where the species is presumed
to occur based on the professional
judgment of biologists familiar with the
watershed. We made use of these finerscale data for the current critical habitat
designations, and we now believe that
they enable a more accurate delineation
of the ‘‘geographical area occupied by
the species’’ referred to in the ESA
definition of critical habitat.
We are now also able to identify
‘‘specific areas’’ (ESA section 3(5)(a))
and ‘‘particular areas’’ (ESA section
4(b)(2)) at a finer scale than in 2000. As
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described in the proposed rule, we have
used the State of California’s
CALWATER watershed classification
system, which is similar to the USGS
watershed classification system that was
used for salmonid critical habitat
designations in the Northwest. This
information is now generally available
via the internet, and we have expanded
our GIS resources to use these data. We
used the CALWATER Hydrologic
Subarea (HSA) unit (which is generally
similar in size to USGS HUC5s) to
organize critical habitat information
systematically and at a scale that, while
somewhat broad geographically, is
applicable to the spatial distribution of
salmon. Organizing information at this
scale is especially relevant to salmonids,
since their innate homing ability allows
them to return to the watersheds where
they were born. Such site fidelity results
in spatial aggregations of salmonid
populations that generally correspond to
the area encompassed by HSA
watersheds or aggregations of these
watersheds.
The CALWATER system maps
watershed units as polygons, bounding
a drainage area from ridge-top to ridgetop, encompassing streams, riparian
areas and uplands. Within the
boundaries of any HSA watershed, there
are stream reaches not occupied by the
species. Land areas within the
CALWATER HSA boundaries are also
generally not ‘‘occupied’’ by the species
(though certain areas such as flood
plains or side channels may be occupied
at some times of some years). We used
the watershed boundaries as a basis for
aggregating occupied stream reaches, for
purposes of delineating ‘‘specific’’ areas
at a scale that often corresponds well to
salmonid population structure and
ecological processes. This designation
refers to the occupied stream reaches
within the watershed boundary as the
‘‘habitat area’’ to distinguish it from the
entire area encompassed by the
watershed boundary. Each habitat area
was reviewed by the CHARTs to verify
occupation, PCEs, and special
management considerations (see
‘‘Critical Habitat Analytical Review
Teams’’ section below).
The watershed-scale aggregation of
stream reaches also allowed us to
analyze the impacts of designating a
‘‘particular area,’’ as required by ESA
section 4(b)(2). As a result of watershed
processes, many activities occurring in
riparian or upland areas and in nonfish-bearing streams may affect the
physical or biological features essential
to conservation in the occupied stream
reaches. The watershed boundary thus
describes an area in which Federal
activities have the potential to affect
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critical habitat (Spence et al., 1996).
Using watershed boundaries for the
economic analysis ensured that all
potential economic impacts were
considered. Section 3(5) defines critical
habitat in terms of ‘‘specific areas,’’ and
section 4(b)(2) requires the agency to
consider certain factors before
designating ‘‘particular areas.’’ In the
case of Pacific salmonids, the biology of
the species, the characteristics of its
habitat, the nature of the impacts and
the limited information currently
available at finer geographic scales
made it appropriate to consider
‘‘specific areas’’ and ‘‘particular areas’’
as the same unit.
Occupied estuarine areas were also
considered in the context of defining
‘‘specific areas.’’ In our proposed rule
we noted that estuarine areas are crucial
for juvenile salmonids, given their
multiple functions as areas for rearing/
feeding, freshwater-saltwater
acclimation, and migration (Simenstad
et al., 1982; Marriott et al., 2002). The
San Francisco Bay estuary complex
consists of five CALWATER HSA
watershed units that are separate from
upstream freshwater habitats that drain
into the estuarine complex, and these
units were analyzed separately. Some
other small estuaries did not correspond
to HSA watershed units nor were they
part of defined HSA watershed units,
and so we defined specific polygons
which were analyzed separately. In all
occupied estuarine areas we were able
to identify physical or biological
features essential to the conservation of
the species, and that may require special
management considerations or
protection. For those estuarine areas
designated as critical habitat we are
again delineating them in similar terms
to our past designations, as being
defined by a line connecting the furthest
land points at the estuary mouth.
In previous designations of salmonid
critical habitat we did not designate
offshore marine areas. In the Pacific
Ocean, we concluded that there may be
essential habitat features, but we could
not identify any special management
considerations or protection associated
with them as required under section
3(5)(A)(i) of the ESA (65 FR 7776;
February 16, 2000). Since that time we
have carefully considered the best
available scientific information, and
related agency actions, such as the
designation of Essential Fish Habitat
under the Magnuson-Stevens Fishery
Conservation and Management Act. In
contrast to estuarine areas, we conclude
that it is not possible to identify
‘‘specific areas’’ in the Pacific Ocean
that contain essential features for
salmonids. Also, links between human
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activity, habitat conditions and impacts
to listed salmonids are less direct in
offshore marine areas. Perhaps the
closest linkage exists for salmon prey
species that are harvested commercially
(e.g., Pacific herring) and, therefore, may
require special management
considerations or protection. However,
because salmonids are opportunistic
feeders we could not identify ‘‘specific
areas’’ where these or other essential
features are found within this vast
geographic area occupied by salmon and
steelhead. Moreover, prey species move
or drift great distances throughout the
ocean and would be difficult to link to
any ‘‘specific’’ areas. Therefore, we are
not designating critical habitat in
offshore marine areas. We requested
comment on this issue in our proposed
rule but did not receive comments or
information that would change our
conclusion.
Primary Constituent Elements
In determining what areas are critical
habitat, agency regulations at 50 CFR
424.12(b) require that we must
‘‘consider those physical or biological
features that are essential to the
conservation of a given species * * *,
including space for individual and
population growth and for normal
behavior; food, water, air, light,
minerals, or other nutritional or
physiological requirements; cover or
shelter; sites for breeding, reproduction,
and rearing of offspring; and habitats
that are protected from disturbance or
are representative of the historical
geographical and ecological distribution
of a species.’’ The regulations further
direct us to ‘‘focus on the principal
biological or physical constituent
elements * * * that are essential to the
conservation of the species,’’ and
specify that the ‘‘known primary
constituent elements shall be listed with
the critical habitat description.’’ The
regulations identify primary constituent
elements (PCEs) as including, but not
limited to: ‘‘roost sites, nesting grounds,
spawning sites, feeding sites, seasonal
wetland or dryland, water quality or
quantity, host species or plant
pollinator, geological formation,
vegetation type, tide, and specific soil
types.’’
NMFS biologists developed a list of
PCEs that are essential to the species’
conservation and based on the unique
life history of salmon and steelhead and
their biological needs (Hart, 1973;
Beauchamp et al., 1983; Laufle et al.,
1986; Pauley et al., 1986, 1988, and
1989; Groot and Margolis, 1991; Spence
et al., 1996). Guiding the identification
of PCEs was a decision matrix we
developed for use in ESA section 7
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consultations (NMFS, 1996) which
describes general parameters and
characteristics of most of the essential
features under consideration in this
critical habitat designation. We
identified these PCEs and requested
comment on them in the ANPR (68 FR
55931; September 29, 2003) and
proposed rule (69 FR 74636; December
14, 2005) but did not receive
information to support changing them.
The ESUs addressed in this final rule
share many of the same rivers and
estuaries and have similar life history
characteristics and, therefore, many of
the same PCEs. These PCEs include sites
essential to support one or more life
stages of the ESU (sites for spawning,
rearing, migration and foraging). These
sites in turn contain physical or
biological features essential to the
conservation of the ESU (for example,
spawning gravels, water quality and
quantity, side channels, forage species).
The specific PCEs include:
1. Freshwater spawning sites with
water quantity and quality conditions
and substrate supporting spawning,
incubation and larval development.
These features are essential to
conservation because without them the
species cannot successfully spawn and
produce offspring.
2. Freshwater rearing sites with water
quantity and floodplain connectivity to
form and maintain physical habitat
conditions and support juvenile growth
and mobility; water quality and forage
supporting juvenile development; and
natural cover such as shade, submerged
and overhanging large wood, log jams
and beaver dams, aquatic vegetation,
large rocks and boulders, side channels,
and undercut banks. These features are
essential to conservation because
without them juveniles cannot access
and use the areas needed to forage,
grow, and develop behaviors (e.g.,
predator avoidance, competition) that
help ensure their survival.
3. Freshwater migration corridors free
of obstruction with water quantity and
quality conditions and natural cover
such as submerged and overhanging
large wood, aquatic vegetation, large
rocks and boulders, side channels, and
undercut banks supporting juvenile and
adult mobility and survival. These
features are essential to conservation
because without them juveniles cannot
use the variety of habitats that allow
them to avoid high flows, avoid
predators, successfully compete, begin
the behavioral and physiological
changes needed for life in the ocean,
and reach the ocean in a timely manner.
Similarly, these features are essential for
adults because they allow fish in a nonfeeding condition to successfully swim
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upstream, avoid predators, and reach
spawning areas on limited energy stores.
4. Estuarine areas free of obstruction
with water quality, water quantity, and
salinity conditions supporting juvenile
and adult physiological transitions
between fresh- and saltwater; natural
cover such as submerged and
overhanging large wood, aquatic
vegetation, large rocks and boulders,
and side channels; and juvenile and
adult forage, including aquatic
invertebrates and fishes, supporting
growth and maturation. These features
are essential to conservation because
without them juveniles cannot reach the
ocean in a timely manner and use the
variety of habitats that allow them to
avoid predators, compete successfully,
and complete the behavioral and
physiological changes needed for life in
the ocean. Similarly, these features are
essential to the conservation of adults
because they provide a final source of
abundant forage that will provide the
energy stores needed to make the
physiological transition to fresh water,
migrate upstream, avoid predators, and
develop to maturity upon reaching
spawning areas.
5. Nearshore marine areas free of
obstruction with water quality and
quantity conditions and forage,
including aquatic invertebrates and
fishes, supporting growth and
maturation; and natural cover such as
submerged and overhanging large wood,
aquatic vegetation, large rocks and
boulders, and side channels. As in the
case with freshwater migration corridors
and estuarine areas, nearshore marine
features are essential to conservation
because without them juveniles cannot
successfully transition from natal
streams to offshore marine areas.
6. Offshore marine areas with water
quality conditions and forage, including
aquatic invertebrates and fishes,
supporting growth and maturation.
These features are essential for
conservation because without them
juveniles cannot forage and grow to
adulthood. However, for the reasons
stated previously in this document, it is
difficult to identify specific areas
containing this PCE as well as human
activities that may affect the PCE
condition in those areas. Therefore, we
have not designated any specific areas
based on this PCE but instead have
identified it because it is essential to the
species’ conservation and specific
offshore areas may be identified in the
future (in which case any designation
would be subject to separate
rulemaking).
The occupied habitat areas designated
in this final rule contain PCEs required
to support the biological processes for
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which the species use the habitat. The
CHARTs verified this for each
watershed/nearshore zone by relying on
the best available scientific data
(including species distribution maps,
watershed analyses, and habitat
surveys) during their review of occupied
areas and resultant assessment of area
conservation values (NMFS, 2005a). The
contribution of the PCEs varies by site
and biological function such that the
quality of the elements may vary within
a range of acceptable conditions. The
CHARTs took this variation into account
when they assessed the conservation
value of an area.
Special Management Considerations or
Protections
An occupied area cannot be
designated as critical habitat unless it
contains physical and biological
features that ‘‘may require special
management considerations or
protection.’’ Agency regulations at
424.02(j) define ‘‘special management
considerations or protection’’ to mean
‘‘any methods or procedures useful in
protecting physical and biological
features of the environment for the
conservation of listed species.’’
As part of the biological assessment
described below under ‘‘Critical Habitat
Analytical Review Teams,’’ teams of
biologists examined each habitat area to
determine whether the physical or
biological features may require special
management consideration. These
determinations are identified for each
area in the CHART report (NMFS,
2005a). In the case of salmon and
steelhead, the CHARTs identified a
variety of activities that threaten the
physical and biological features
essential to listed salmon and steelhead
(see review by Spence et al., 1996),
including: (1) Forestry; (2) grazing and
other associated rangeland activities; (3)
agriculture; (4) road building/
maintenance; (5) channel modifications/
diking/stream bank stabilization; (6)
urbanization; (7) sand and gravel
mining; (8) mineral mining; (9) dams;
(10) irrigation impoundments and
withdrawals; (11) wetland loss/removal;
(12) exotic/invasive species
introductions; and (13) impediments to
migration. In addition to these, the
harvest of salmonid prey species (e.g.,
forage fishes such as herring, anchovy,
and sardines) may present another
potential habitat-related management
activity (Pacific Fishery Management
Council, 1999).
Unoccupied Areas
ESA section 3(5)(A)(ii) defines critical
habitat to include ‘‘specific areas
outside the geographical area occupied’’
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if the areas are determined by the
Secretary to be ‘‘essential for the
conservation of the species.’’ NMFS
regulations at 50 CFR 424.12(e)
emphasize that we ‘‘shall designate as
critical habitat areas outside the
geographical area presently occupied by
a species only when a designation
limited to its present range would be
inadequate to ensure the conservation of
the species.’’ The CHARTs did identify
several unoccupied areas above dams
that may be essential for the
conservation of specific ESUs, primarily
within the historical range of the Central
Valley spring run Chinook, Central
Valley steelhead, and Southern
California steelhead ESUs (see proposed
rule; 69 FR 71880; December 10, 2004);
however, we are not designating
unoccupied areas at this time. Though
it is not possible to conclude at this time
that any of these historically occupied
areas warrant designation, we believe it
is useful to signal to the public that
these specific areas may be considered
for possible designation in the future.
However, any designation of
unoccupied areas would be based on the
required determination that such area is
essential for the conservation of an ESU
and would be subject to separate
rulemaking with the opportunity for
notice and comment.
Lateral Extent of Critical Habitat
In past designations we have
described the lateral extent of critical
habitat in various ways ranging from
fixed distances to ‘‘functional’’ zones
defined by important riparian functions
(65 FR 7764; February 16, 2000). Both
approaches presented difficulties, and
this was highlighted in several
comments (most of which requested that
we focus on aquatic areas only) received
in response to the ANPR (68 FR 55926;
September 29, 2003). Designating a set
riparian zone width will (in some
places) accurately reflect the distance
from the stream on which PCEs might
be found, but in other cases may overor understate the distance. Designating
a functional buffer avoids that problem,
but makes it difficult for Federal
agencies to know in advance what areas
are critical habitat. To address these
issues we are proposing to define the
lateral extent of designated critical
habitat as the width of the stream
channel defined by the ordinary highwater line as defined by the COE in 33
CFR 329.11. This approach is consistent
with the specific mapping requirements
described in agency regulations at 50
CFR 424.12(c). In areas for which
ordinary high-water has not been
defined pursuant to 33 CFR 329.11, the
width of the stream channel shall be
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defined by its bankfull elevation.
Bankfull elevation is the level at which
water begins to leave the channel and
move into the floodplain (Rosgen, 1996)
and is reached at a discharge which
generally has a recurrence interval of 1
to 2 years on the annual flood series
(Leopold et al., 1992). Such an interval
is commensurate with nearly all of the
juvenile freshwater life phases of most
salmon and steelhead ESUs. Therefore,
it is reasonable to assert that for an
occupied stream reach this lateral extent
is regularly ‘‘occupied’’. Moreover, the
bankfull elevation can be readily
discerned for a variety of stream reaches
and stream types using recognizable
water lines (e.g., marks on rocks) or
vegetation boundaries (Rosgen, 1996).
As underscored in previous critical
habitat designations, the quality of
aquatic habitat within stream channels
is intrinsically related to the adjacent
riparian zones and floodplain, to
surrounding wetlands and uplands, and
to non-fish-bearing streams above
occupied stream reaches. Human
activities that occur outside the stream
can modify or destroy physical and
biological features of the stream. In
addition, human activities that occur
within and adjacent to reaches upstream
(e.g., road failures) or downstream (e.g.,
dams) of designated stream reaches can
also have demonstrable effects on
physical and biological features of
designated reaches.
In estuarine areas we believe that
extreme high water is the best descriptor
of lateral extent. We are designating the
area inundated by extreme high tide
because it encompasses habitat areas
typically inundated and regularly
occupied during the spring and summer
when juvenile salmon are migrating in
the nearshore zone and relying heavily
on forage, cover, and refuge qualities
provided by these occupied habitats. As
noted above for stream habitat areas,
human activities that occur outside the
area inundated by extreme or ordinary
high water can modify or destroy
physical and biological features of the
nearshore habitat areas, and Federal
agencies must be aware of these
important habitat linkages as well.
Military Lands
The Sikes Act of 1997 (Sikes Act) (16
U.S.C. 670a) required each military
installation that includes land and water
suitable for the conservation and
management of natural resources to
complete, by November 17, 2001, an
INRMP. An INRMP integrates
implementation of the military mission
of the installation with stewardship of
the natural resources found there. Each
INRMP includes: an assessment of the
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ecological needs on the installation,
including the need to provide for the
conservation of listed species; a
statement of goals and priorities; a
detailed description of management
actions to be implemented to provide
for these ecological needs; and a
monitoring and adaptive management
plan. Among other things, each INRMP
must, to the extent appropriate and
applicable, provide for fish and wildlife
management, fish and wildlife habitat
enhancement or modification, wetland
protection, enhancement, and
restoration where necessary to support
fish and wildlife and enforcement of
applicable natural resource laws.
The National Defense Authorization
Act for Fiscal Year 2004 (Pub. L. No.
108–136) amended the ESA to address
designation of military lands as critical
habitat. Specifically, section 4(a)(3)(B)(i)
of the ESA (16 U.S.C. 1533(a)(3)(B)(i))
now provides: ‘‘The Secretary shall not
designate as critical habitat any lands or
other geographical areas owned or
controlled by the Department of
Defense, or designated for its use, that
are subject to an integrated natural
resources management plan prepared
under section 101 of the Sikes Act (16
U.S.C. 670a), if the Secretary determines
in writing that such plan provides a
benefit to the species for which critical
habitat is proposed for designation.’’
To address this new provision we
contacted the DOD and requested
information on all INRMPs that might
benefit Pacific salmon. In response to
the ANPR (68 FR 55926; September 29,
2003) we had already received a letter
from the U.S. Marine Corps regarding
this and other issues associated with a
possible critical habitat designation on
its facilities in the range of the Southern
California Steelhead ESU. In response to
our request, the military services
identified 25 installations in California
with INRMPs in place or under
development. Based on information
provided by the military, as well as GIS
analysis of fish distributional
information compiled by NMFS’’
Southwest Region (NMFS, 2004b;
NMFS, 2005a) and land use data, we
determined that the following facilities
with INRMPs overlap with habitat areas
under consideration for critical habitat
designation in California: (1) Camp
Pendleton Marine Corps Base; (2)
Vandenberg Air Force Base; (3) Camp
San Luis Obispo; (4) Camp Roberts; and
(5) Mare Island Army Reserve Center.
Two additional facilities are adjacent to,
but do not overlap with, habitat areas
under consideration for critical habitat
in California: (1) Naval Weapons
Station, Seal Beach/Concord
Detachment; and (2) Point Mugu Naval
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Air Station. None of the remaining
facilities with INRMPs in place
overlapped with or were adjacent to
habitat under consideration for critical
habitat based on the information
available to us. All of these INRMPs are
final except for the Vandenberg Air
Force Base INRMP, which is expected to
be finalized in the near term.
We identified habitat of value to listed
salmonids in each INRMP and reviewed
these plans, as well as other information
available regarding the management of
these military lands. Our review
indicates that each of these INRMPs
addresses habitat for salmonids, and all
contain measures that provide benefits
to ESA-listed salmon and steelhead.
Examples of the types of benefits
include actions that control erosion,
protect riparian zones, minimize
stormwater and construction impacts,
reduce contaminants, and monitor listed
species and their habitats. As a result of
our review, we have determined that the
final INRMPs and the draft INRMP for
Vandenberg Air Force Base provide a
benefit to the species for which critical
habitat is proposed for designation, and,
therefore, we are not designating critical
habitat in those areas. Also, we have
received information from the
Vandenberg Air Force Base and Camp
Pendleton Marine Corps Base
identifying national security impacts to
their operations from critical habitat
designation. Our consideration of such
impacts is separate from our assessment
of INRMPs, but serves as an
independent and sufficient basis for our
determination not to designate those
areas as critical habitat.
Critical Habitat Analytical Review
Teams
To assist in the designation of critical
habitat, we convened several CHARTs
organized by major geographic domains
that roughly correspond to salmon
recovery planning domains in
California. The CHARTs consisted of
NMFS fishery biologists from the
Southwest Region with demonstrated
expertise regarding salmonid habitat
and related protective efforts within the
domain. The CHARTs were tasked with
compiling and assessing biological
information pertaining to areas under
consideration for designation as critical
habitat. Each CHART worked closely
with GIS specialists to develop maps
depicting the spatial distribution of
habitat occupied by each ESU and the
use of occupied habitat on stream
hydrography at a scale of 1:100,000. The
CHARTs also reconvened to review the
public comments and any new
information regarding the ESUs and
habitat in their domain.
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The CHARTs examined each habitat
area within the watershed to determine
whether the stream reaches or lakes
occupied by the species contain the
physical or biological features essential
to conservation. As noted previously,
the CHARTs also relied on their
experience conducting ESA section 7
consultations and existing management
plans and protective measures to
determine whether these features may
require special management
considerations or protection.
In addition to occupied areas, the
definition of critical habitat also
includes unoccupied areas if we
determine that area is essential for
conservation of a species. Accordingly
the CHARTs were also asked whether
there were any unoccupied areas within
the historical range of the ESUs that
may be essential for conservation. For
the seven ESUs addressed in this
rulemaking, the CHARTs did not have
sufficient information that would allow
them to conclude that specific
unoccupied areas were essential for
conservation; however, in many cases
they were able to identify areas they
believed may be determined essential
through future recovery planning
efforts. These were described in the
proposed critical habitat designation
rule (69 FR 71880).
The CHARTs were next asked to
determine the relative conservation
value of each occupied HSA watershed
area for each ESU. The CHARTs scored
each habitat area based on several
factors related to the quantity and
quality of the physical and biological
features. They next considered each area
in relation to other areas and with
respect to the population occupying that
area. Based on a consideration of the
raw scores for each area, and a
consideration of that area’s contribution
in relation to other areas and in relation
to the overall population structure of the
ESU, the CHARTs rated each habitat
area as having a ‘‘high,’’ ‘‘medium,’’ or
‘‘low’’ conservation value. The
preliminary CHART ratings were
reviewed by several state and tribal comanagers in advance of the proposed
rule and the CHARTs made needed
changes prior to that rule. State comanagers also evaluated our proposed
rule and provided comments and new
information which were also reviewed
and incorporated as needed by the
CHARTs in the preparation of the final
designations.
The rating of habitat areas as having
a high, medium, or low conservation
value provided information useful to
inform the Secretary’s exercise of
discretion in balancing whether the
benefits of exclusion outweigh the
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benefits of designation in ESA section
4(b)(2). The higher the conservation
value for an area, the greater may be the
likely benefit of the ESA section 7
protections. We recognized that the
‘‘benefit of designation’’ would also
depend on the likelihood of a
consultation occurring and the
improvements in species’ conservation
that may result from changes to
proposed Federal actions. To address
this concern, we developed a profile for
a ‘‘low leverage’’ watershed—that is, a
watershed where it was unlikely there
would be a section 7 consultation, or
where a section 7 consultation, if it did
occur, would yield few conservation
benefits. For watersheds not meeting the
‘‘low leverage’’ profile, we considered
their conservation rating to be a fair
assessment of the benefit of designation,
for purposes of our cost-effectiveness
framework (NMFS 2005c). For
watersheds meeting the ‘‘low leverage’’
profile, we considered the benefit of
designation to be an increment lower
than the conservation rating. For
example, therefore, a watershed with a
‘‘high’’ conservation value but ‘‘low
leverage’’ was considered to have a
‘‘medium’’ benefit of designation, and
so forth. We then applied the dollar
thresholds for exclusion appropriate to
the adjusted ‘‘benefit of designation.’’
As discussed earlier, the scale chosen
for the ‘‘specific area’’ referred to in
section 3(5)(a) was an HSA watershed as
delineated by the CALWATER
watershed classification system. This
delineation required us to adapt the
approach for some areas. For example,
a large stream or river might serve as a
rearing and migration corridor to and
from many watersheds, yet be
embedded itself in a watershed. In any
given watershed through which it
passes, the stream may have a few or
several tributaries. For rearing/migration
corridors embedded in a watershed, the
CHARTs were asked to rate the
conservation value of the watershed
based on the tributary habitat. We
assigned the rearing/migration corridor
the rating of the highest-rated watershed
for which it served as a rearing/
migration corridor. The reason for this
treatment of migration corridors is the
role they play in the salmon’s life cycle.
Salmon are anadromous—born in fresh
water, migrating to salt water to feed
and grow, and returning to fresh water
to spawn. Without a rearing/migration
corridor to and from the sea, salmon
cannot complete their life cycle. It
would be illogical to consider a
spawning and rearing area as having a
particular conservation value and not
consider the associated rearing/
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migration corridor as having a similar
conservation value.
V. Application of ESA Section 4(b)(2)
The foregoing discussion describes
those areas that are eligible for
designation as critical habitat—the
specific areas that fall within the ESA
section 3(5)(A) definition of critical
habitat, minus those lands owned or
controlled by the DOD, or designated for
its use, that are covered by an INRMP
that we have determined provides a
benefit to the species.
Specific areas eligible for designation
are not automatically designated as
critical habitat. Section 4(b)(2) of the
ESA requires that the Secretary first
considers the economic impact, impact
on national security, and any other
relevant impact. The Secretary has the
discretion to exclude an area from
designation if he determines the benefits
of exclusion (that is, avoiding the
impact that would result from
designation) outweigh the benefits of
designation. The Secretary may not
exclude an area from designation if
exclusion will result in the extinction of
the species. Because the authority to
exclude is discretionary, exclusion is
not required for any areas. In this
rulemaking, the Secretary has applied
his statutory discretion to exclude areas
from critical habitat for several different
reasons.
In this exercise of discretion, the first
issue we must address is the scope of
impacts relevant to the 4(b)(2)
evaluation. As discussed in the
Background and Previous Federal
Action section, we are re-designating
critical habitat for these seven ESUs
because the previous designations were
vacated (National Association of
Homebuilders v. Evans, 2002 WL
1205743 No. 00–CV–2799 (D.D.C.)
(NAHB)). The NAHB court had agreed
with the reasoning of the Court of
Appeals for the Tenth Circuit in New
Mexico Cattle Growers Association v.
U.S. Fish and Wildlife Service, 248 F.3d
1277 (10th Cir. 2001). In that decision,
the Tenth Circuit stated ‘‘[t]he statutory
language is plain in requiring some kind
of consideration of economic impact in
the critical habitat designation phase.’’
The Tenth Circuit concluded that, given
the USFWS’’ failure to distinguish
between ‘‘adverse modification’’ and
‘‘jeopardy’’ in its 4(b)(2) analysis, the
USFWS must analyze the full impacts of
critical habitat designation, regardless of
whether those impacts are coextensive
with other impacts (such as the impact
of the jeopardy requirement).
In re-designating critical habitat for
these salmon ESUs, we have followed
the Tenth Circuit Court’s directive
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regarding the statutory requirement to
consider the economic impact of
designation. Areas designated as critical
habitat are subject to ESA section 7
requirements, which provide that
Federal agencies ensure that their
actions are not likely to destroy or
adversely modify critical habitat. To
evaluate the economic impact of critical
habitat we first examined our
voluminous section 7 consultation
record for these as well as other ESUs
of salmon. (For thoroughness, we
examined the consultation record for
other ESUs to see if it shed light on the
issues.) That record includes
consultations on habitat-modifying
Federal actions both where critical
habitat has been designated and where
it has not. We could not discern a
distinction between the impacts of
applying the jeopardy provision versus
the adverse modification provision in
occupied critical habitat. Given our
inability to detect a measurable
difference between the impacts of
applying these two provisions, the only
reasonable alternative seemed to be to
follow the recommendation of the Tenth
Circuit, approved by the NAHB court—
to measure the coextensive impacts; that
is, measure the entire impact of
applying the adverse modification
provision of section 7, regardless of
whether the jeopardy provision alone
would result in the identical impact.
The Tenth Circuit’s opinion only
addressed ESA section 4(b)(2)’s
requirement that economic impacts be
considered. The court did not address
how ‘‘other relevant impacts’’ were to be
considered, nor did it address the
benefits of designation. Because section
4(b)(2) requires a consideration of other
relevant impacts of designation, and the
benefits of designation, and because our
record did not support a distinction
between impacts resulting from
application of the adverse modification
provision versus the jeopardy provision,
we are uniformly considering
coextensive impacts and coextensive
benefits, without attempting to
distinguish the benefit of a critical
habitat consultation from the benefit
that would otherwise result from a
jeopardy consultation that would occur
even if critical habitat were not
designated. To do otherwise would
distort the balancing test contemplated
by section 4(b)(2).
The principal benefit of designating
critical habitat is that Federal activities
that may affect such habitat are subject
to consultation pursuant to section 7 of
the ESA. Such consultation requires
every Federal agency to ensure that any
action it authorizes, funds or carries out
is not likely to result in the destruction
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or adverse modification of critical
habitat. This complements the section 7
provision that Federal agencies ensure
that their actions are not likely to
jeopardize the continued existence of a
listed species. Another benefit is that
the designation of critical habitat can
serve to educate the public regarding the
potential conservation value of an area
and thereby focus and contribute to
conservation efforts by clearly
delineating areas of high conservation
value for certain species. It is unknown
to what extent this process actually
occurs, and what the actual benefit is,
as there are also concerns, noted above,
that a critical habitat designation may
discourage such conservation efforts.
The balancing test in ESA section
4(b)(2) contemplates weighing benefits
that are not directly comparable—the
benefit associated with species
conservation balanced against the
economic benefit, benefit to national
security, or other relevant benefit that
results if an area is excluded from
designation. Section 4(b)(2) does not
specify a method for the weighing
process. Agencies are frequently
required to balance benefits of
regulations against impacts; E.O. 12866
established this requirement for Federal
agency regulation. Ideally such a
balancing would involve first translating
the benefits and impacts into a common
metric. Executive branch guidance from
the OMB suggests that benefits should
first be monetized (i.e., converted into
dollars). Benefits that cannot be
monetized should be quantified (for
example, numbers of fish saved). Where
benefits can neither be monetized nor
quantified, agencies are to describe the
expected benefits (OMB, 2003).
It may be possible to monetize
benefits of critical habitat designation
for a threatened or endangered species
in terms of willingness-to-pay (OMB,
2003). However, we are not aware of any
available data that would support such
an analysis for salmon. In addition, ESA
section 4(b)(2) requires analysis of
impacts other than economic impacts
that are equally difficult to monetize,
such as benefits to national security of
excluding areas from critical habitat. In
the case of salmon designations, impacts
to Northwest tribes are an ‘‘other
relevant impact’’ that also may be
difficult to monetize.
An alternative approach, approved by
OMB (OMB, 2003), is to conduct a costeffectiveness analysis. A costeffectiveness analysis ideally first
involves quantifying benefits, for
example, percent reduction in
extinction risk, percent increase in
productivity, or increase in numbers of
fish. Given the state of the science, it
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would be difficult to quantify reliably
the benefits of including particular areas
in the critical habitat designation.
Although it is difficult to monetize or
quantify benefits of critical habitat
designation, it is possible to
differentiate among habitat areas based
on their relative contribution to
conservation. For example, habitat areas
can be rated as having a high, medium,
or low conservation value. The
qualitative ordinal evaluations can then
be combined with estimates of the
economic costs of critical habitat
designation in a framework that
essentially adopts that of costeffectiveness. Individual habitat areas
can then be assessed using both their
biological evaluation and economic
cost, so that areas with high
conservation value and lower economic
cost might be considered to have a
higher priority for designation, while
areas with a low conservation value and
higher economic cost might have a
higher priority for exclusion. While this
approach can provide useful
information to the decision-maker, there
is no rigid formula through which this
information translates into exclusion
decisions. Every geographical area
containing habitat eligible for
designation is different, with a unique
set of ‘‘relevant impacts’’ that may be
considered in the exclusion process.
Regardless of the analytical approach,
section 4(b)(2) makes clear that what
weight the agency gives various impacts
and benefits, and whether the agency
excludes areas from the designation, is
discretionary.
Exclusions Based on Impacts to Tribes
The principal benefit of designating
critical habitat is that Federal activities
that may affect such habitat are subject
to consultation pursuant to section 7 of
the ESA. We believe there is very little
benefit to designating critical habitat on
Indian lands for these seven ESUs.
Although there are potentially a number
of activities on Indian lands that may
trigger section 7 consultation, Indian
lands comprise only a very minor
portion (substantially less than 1
percent) of the total habitat under
consideration for these seven California
ESUs. Specifically, occupied stream
reaches on Indian lands only occur
within the range of the California
Coastal Chinook, Northern California
steelhead, and Central California Coast
steelhead ESUs, and these areas
represent less than 0.1 percent of the
total occupied habitat under
consideration for these three ESUs.
Based on our analysis, the remaining
four ESUs did not contain any Indian
lands that overlapped with occupied
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stream habitat. These percentages are
likely overestimates as they include all
habitat area within reservation
boundaries.
There are several benefits to
excluding Indian lands. The
longstanding and distinctive
relationship between the Federal and
tribal governments is defined by
treaties, statutes, executive orders,
judicial decisions, and agreements,
which differentiate tribal governments
from the other entities that deal with, or
are affected by, the Federal government.
This relationship has given rise to a
special Federal trust responsibility
involving the legal responsibilities and
obligations of the United States toward
Indian Tribes and the application of
fiduciary standards of due care with
respect to Indian lands, tribal trust
resources, and the exercise of tribal
rights. Pursuant to these authorities
lands have been retained by Indian
Tribes or have been set aside for tribal
use. These lands are managed by Indian
Tribes in accordance with tribal goals
and objectives within the framework of
applicable treaties and laws.
In addition to the distinctive trust
relationship for Pacific salmon and
steelhead in California and in the
Northwest, there is a unique partnership
between the Federal government and
Indian tribes regarding salmon
management. Indian tribes in California
and the Northwest are regarded as ‘‘comanagers’’ of the salmon resource, along
with Federal and State managers. This
co-management relationship evolved as
a result of numerous court decisions
clarifying the tribes’ treaty right to take
fish in their usual and accustomed
places.
The benefits of excluding Indian
lands from designation include: (1) The
furtherance of established national
policies, our Federal trust obligations
and our deference to the tribes in
management of natural resources on
their lands; (2) the maintenance of
effective long-term working
relationships to promote the
conservation of salmonids on an
ecosystem-wide basis; (3) the allowance
for continued meaningful collaboration
and cooperation in scientific work to
learn more about the conservation needs
of the species on an ecosystem-wide
basis; and (4) continued respect for
tribal sovereignty over management of
natural resources on Indian lands
through established tribal natural
resource programs.
We believe that the current comanager process addressing activities
on an ecosystem-wide basis across the
State is currently beneficial for the
conservation of the salmonids. Because
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the co-manager process provides for
coordinated ongoing focused action
through a variety of forums, we find the
benefits of this process to be greater
than the benefits of applying ESA
section 7 to Federal activities on Indian
lands, which comprise much less than
one percent of the total area under
consideration for these ESUs.
Additionally, we have determined that
the exclusion of tribal lands will not
result in the extinction of the species
concerned. We also believe that
maintenance of our current co-manager
relationship consistent with existing
policies is an important benefit to
continuance of our tribal trust
responsibilities and relationship. Based
upon our consultation with the Round
Valley Indian Tribes and the BIA, we
believe that designation of Indian lands
as critical habitat would adversely
impact our working relationship and the
benefits resulting from this relationship.
Based upon these considerations, we
have decided to exercise agency
discretion under ESA section 4(b)(2)
and exclude Indian lands from the
critical habitat designation for these
ESUs of salmonids. The Indian lands
specifically excluded from critical
habitat are those defined in the
Secretarial Order, including: (1) Lands
held in trust by the United States for the
benefit of any Indian tribe; (2) land held
in trust by the United States for any
Indian Tribe or individual subject to
restrictions by the United States against
alienation; (3) fee lands, either within or
outside the reservation boundaries,
owned by the tribal government; and (4)
fee lands within the reservation
boundaries owned by individual
Indians. The Indian tribes for which
these exclusions apply in California
include: Big Lagoon Reservation, Blue
Lake Rancheria, Round Valley Indian
Tribes, Laytonville Rancheria, Redwood
Valley Rancheria, Coyote Valley
Reservation, and Manchester-Point
Arena Rancheria. We have determined
that these exclusions, together with the
other exclusions described in this rule,
will not result in the extinction of any
of the seven ESUs in this designation.
Impacts to Landowners With
Contractual Commitments to
Conservation
Conservation agreements with nonFederal landowners (e.g., HCPs)
enhance species conservation by
extending species’ protections beyond
those available through section 7
consultations. In the past decade we
have encouraged non-Federal
landowners to enter into conservation
agreements, based on a view that we can
achieve greater species’ conservation on
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non-Federal land through such
partnerships than we can through
coercive methods (61 FR 63854;
December 2, 1996).
Section 10(a)(1)(B) of the ESA
authorizes us to issue to non-Federal
entities a permit for the incidental take
of endangered and threatened species.
This permit allows a non-Federal
landowner to proceed with an activity
that is legal in all other respects, but
that results in the incidental taking of a
listed species (i.e., take that is incidental
to, and not the purpose of, the carrying
out of an otherwise lawful activity). The
ESA specifies that an application for an
incidental take permit must be
accompanied by a conservation plan,
and specifies the content of such a plan.
The purpose of such an HCP is to
describe and ensure that the effects of
the permitted action on covered species
are adequately minimized and
mitigated, and that the action does not
appreciably reduce the survival and
recovery of the species.
To date we have not excluded critical
habitat on lands covered by an HCP, but
we acknowledged in our proposed rule
that this was an emerging issue and that
the benefits of such exclusions may
outweigh the benefits of designation (69
FR 74623; December 14, 2004). As
described in greater detail above (see
Comment 42) and in our assessment of
HCPs associated with this final
rulemaking (NMFS, 2005e), the analysis
required for these types of exclusions
requires careful consideration of the
benefits of designation versus the
benefits of exclusion to determine
whether benefits of exclusion outweigh
benefits of designation. The benefits of
designation typically arise from
additional section 7 protections as well
as enhanced public awareness once
specific areas are identified as critical
habitat. The benefits of exclusion
generally relate to relieving regulatory
burdens on existing conservation
partners, maintaining good working
relationships with them, and
encouraging the development of new
partnerships.
Based on comments received on our
proposed rule, we could not conclude
that all landowners view designation of
critical habitat as imposing a burden,
and exclusion from designation as
removing that burden and thereby
strengthening the ongoing relationship.
Where an HCP partner affirmatively
requests designation, exclusion is likely
to harm rather than benefit the
relationship. Where an HCP partner has
remained silent on the benefit of
exclusion of its land, we do not believe
the record supports a presumption that
exclusion will enhance the relationship.
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Similarly, we do not believe it provides
an incentive to other landowners to seek
an HCP if our exclusions are not in
response to an expressed landowner
preference. We anticipate further
rulemaking in the near future to refine
these designations, for example, in
response to developments in recovery
planning. As part of future revisions, we
will consider information we receive
from those with approved HCPs
regarding the effect of designation on
our ongoing partnership. We did not
consider pending HCPs for exclusion,
both because we do not want to
prejudge the outcome of the ongoing
HCP process, and because we expect to
have future opportunities to refine the
designation and consider whether
exclusion will outweigh the benefit of
designation in a particular case.
Exclusions Based on National Security
Impacts
As previously noted (see Military
Lands section), we evaluated several
DOD sites with draft or final INRMPs
and determined that each INRMP
provides a benefit to the listed salmon
or steelhead ESUs under consideration
at the site. Therefore, we conclude that
those areas subject to final INRMPs are
not eligible for designation pursuant to
section 4(a)(3)(B)(I) of the ESA (16
U.S.C. 1533(A)(3)). At the request of the
DOD (and in the case that an INRMP
might not provide a benefit to the
species), we also assessed the impacts
on national security that may result
from designating these and other DOD
sites as critical habitat.
The U.S. Marine Corps provided
comments in response to the ANPR (68
FR 55926; September 29, 2003)
regarding its INRMP for Camp
Pendleton Marine Corps Base and
potential impacts to national security
for this facility, which is within the
range of the Southern California O.
mykiss ESU. By letter, NMFS
subsequently provided the DOD with
information about the areas we were
considering to designate as critical
habitat for the seven ESUs in California
(as well as the 13 ESUs in the Pacific
Northwest), and, in addition to a request
for information about DOD’s INRMPs,
requested information about potential
impacts to national security as a result
of any critical habitat designation. In
response to that request and also in
comments on the proposed critical
habitat designation (69 FR 71880), the
Camp Pendleton Marine Corps Base and
Vandenberg Air Force Base provided
detailed information on such impacts to
their operations. Both military agencies
concluded that critical habitat
designation at either of these sites
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would likely impact national security by
diminishing military readiness, with
possible impacts including: (1) The
prevention, restriction, or delay in
training or testing exercises or access to
such sites; (2) the restriction or delay in
activities associated with space
launches; (3) a delay in response times
for troop deployments and overall
operations; and (4) the creation of
uncertainties regarding ESA
consultation (e.g., reinitiation
requirements) or imposition of
compliance conditions that would
divert military resources. Also, both
military agencies cited their ongoing
and positive consultation history with
NMFS and underscored cases where
they are implementing best management
practices to reduce impacts on listed
salmonids. The occupied fish habitat
occurring on Camp Pendleton and
Vandenberg AFB have important
conservation value, but they are
primarily migratory corridors and
represent only a small percentage of the
total occupied habitat area for the
Southern California steelhead ESU.
Designating habitat on these two
installations will likely reduce the
readiness capability of the Marine Corps
and the Air Force, both of which are
actively engaged in training,
maintaining, and deploying forces in the
current war on terrorism. Therefore, we
conclude that the benefits of exclusion
outweigh the benefits of designation,
and we are not proposing to designate
these DOD sites as critical habitat.
Exclusions Based on Economic Impacts
Our assessment of economic impact
generated considerable interest from
commenters on the ANPR (68 FR 55926;
September 29, 2003) and the proposed
rule (69 FR 71880; December 10, 2004).
Based on new information and
comments received on the proposed
rule, we have updated the economics
report wherein we document our
conclusions regarding the economic
impacts of designating each of the
particular areas found to meet the
definition of critical habitat (NMFS,
2005b). This report is available from
NMFS (see ADDRESSES).
The first step in the overall economic
analysis was to identify existing legal
and regulatory constraints on economic
activity that are independent of critical
habitat designation, such as Clean Water
Act (CWA) requirements. Coextensive
impacts of the ESA section 7
requirement to avoid jeopardy were not
considered part of the baseline. Also, we
have stated our intention to revisit the
existing critical habitat designations for
Sacramento River winter run Chinook
salmon and two California coastal coho
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salmon ESUs, if appropriate, following
completion of related rulemaking (67 FR
6215; February 11, 2002). Given the
uncertainty that these designations will
remain in place in their current
configuration, we decided not to
consider them as part of the baseline for
the ESA section 4(b)(2) analysis.
From the consultation record, we
identified Federal activities that might
affect habitat and that might result in an
ESA section 7 consultation. (We did not
consider Federal actions, such as the
approval of a fishery, that might affect
the species directly but not affect its
habitat.) We identified ten types of
activities including: Hydropower dams;
non-hydropower dams and other water
supply structures; federal lands
management, including grazing
(considered separately); transportation
projects; utility line projects; instream
activities, including dredging
(considered separately); activities
permitted under EPA’s National
Pollution Discharge Elimination System;
sand & gravel mining; residential and
commercial development; and
agricultural pesticide applications.
Based on our consultation record and
other available information, we
determined the modifications each type
of activity was likely to undergo as a
result of section 7 consultation
(regardless of whether the modification
might be required by the jeopardy or the
adverse modification provision). We
developed an expected direct cost for
each type of action and projected the
likely occurrence of each type of project
in each watershed, using existing spatial
databases (e.g., the COE 404(d) permit
database). Finally, we aggregated the
costs from the various types of actions
and estimated an annual impact, taking
into account the probability of
consultation occurring and the likely
rate of occurrence of that project type.
This analysis allowed us to estimate
the coextensive economic impact of
designating each ‘‘particular area’’ (that
is, each habitat area, or aggregated
occupied stream reaches in an HSA
watershed). Expected economic impacts
ranged from zero to in excess of 1
million dollars per habitat area. Where
a watershed included both tributaries
and a migration corridor that served
other watersheds, we attempted to
estimate the separate impacts of
designating the tributaries and the
migration corridor. We did this by
identifying those categories of activities
most likely to affect tributaries and
those most likely to affect larger
migration corridors.
Because of the methods we selected
and the data limitations, portions of our
analysis both under- and over-estimate
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52527
the coextensive economic impact of
ESA section 7 requirements. For
example, we lacked data on the likely
impact on flows at non-Federal
hydropower projects, which would
increase economic impacts. In addition,
we did not have information about
potential changes in irrigation flows
associated with section 7 consultation
which would likely increase the
estimate of coextensive costs. On the
other hand, we estimated an impact on
all activities occurring within the
geographic boundaries of a watershed,
even though in some cases activities
would be far removed from occupied
stream reaches and so might not require
modification. In addition, we were
unable to document significant costs of
critical habitat designation that occur
outside the section 7 consultation
process, including costs resulting from
state or local regulatory burdens
imposed on developers and landowners
as a result of a Federal critical habitat
designation.
In determining whether the economic
benefit of excluding a habitat area might
outweigh the benefit of designation to
the species, we took into consideration
the many data limitations described
above. The ESA requires that we make
critical habitat designations within a
short time frame ‘‘with such data as may
be available’’ at the time. Moreover the
cost-effectiveness approach we adopted
accommodated many of these data
limitations by considering the relative
benefits of designation and exclusion,
giving priority to excluding habitat areas
with a relatively lower benefit of
designation and a relatively higher
economic impact.
The circumstances of most of the
listed ESUs can make a costeffectiveness approach useful. Pacific
salmon are wide-ranging species and
occupy numerous habitat areas with
thousands of stream miles. Not all
occupied areas, however, are of equal
importance to conserving an ESU.
Within the currently occupied range
there are areas that support highly
productive populations, areas that
support less productive populations,
and areas that support production in
only some years. Some populations
within an ESU may be more important
to long-term conservation of the ESU
than other populations. Therefore, in
many cases it may be possible to
construct different scenarios for
achieving conservation. Scenarios might
have more or less certainty of achieving
conservation, and more or less
economic impact.
Our first step in constructing an
exclusion scenario was to identify all
watershed areas we would consider for
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an economic exclusion based on dollar
thresholds. The next step was to
examine those areas potentially eligible
for exclusion based on dollar thresholds
to determine whether or not any of them
would make an important contribution
to conservation for the ESU. Based on
the rating process used by the CHARTs,
we judged that all of the high
conservation value habitat areas make
an important contribution to
conservation, and therefore, we did not
consider them for exclusion.
In developing criteria for the first
step, we chose dollar thresholds that we
anticipated would lead most directly to
a cost effective scenario. We considered
for exclusion, low value habitat areas
with an economic impact greater than
$70,000–85,000, and medium value
areas with an economic impact greater
than $300,000.
The criteria we selected for
identifying habitat areas eligible for
exclusion do not represent an objective
judgment that, for example, a low value
habitat area is worth a certain dollar
amount and no more. The ESA directs
us to balance dissimilar values with a
limited amount of time and therefore
information. It emphasizes the
discretionary nature of the balancing
task. Moreover, while our approach
follows the Tenth Circuit’s direction to
consider coextensive economic impacts,
we nevertheless must acknowledge that
not all of the costs will be avoided by
exclusion from designation. Finally, the
cost estimates developed by our
economic analysis do not have obvious
break points that would lead to a logical
division between high, medium and low
costs.
Given these factors, a judgment that
any particular dollar threshold is
objectively correct would be neither
necessary or possible. Rather, what
economic impact is high, and therefore,
might outweigh the benefit of
designating a medium or low value
habitat area is a matter of discretion and
depends on the policy context. The
policy context in which we carry out
this task led us to select dollar
thresholds that would likely lead to a
cost effective designation in a limited
amount of time with a relatively simple
process.
In the second step of the process, we
asked the CHARTs whether any of the
habitat areas (i.e., watersheds) eligible
for exclusion make an important
contribution to conservation of the ESU
in question. The CHARTs considered
this question in the context of all of the
areas eligible for exclusion as well as
the information they had developed in
providing the initial conservation
ratings. The following section describes
the results of applying the two-step
process to each ESU. The results are
discussed in more detail in a separate
report that is available for public review
(NMFS, 2005c). We have determined
that these exclusions, together with the
other exclusions described in this rule,
will not result in the extinction of any
of the seven ESUs.
VI. Critical Habitat Designation
We are designating approximately
8,935 net mi (14,296 km) of riverine
habitat and 470 mi2 (1,212 km2) of
estuarine habitat in California within
the geographical areas presently
occupied by the seven ESUs. This
designation excludes approximately 771
net mi (1,233 km) of occupied riverine
habitat as a result of economic
considerations, 32 mi (51 km) of
occupied riverine habitat on Tribal
lands, and 44 mi (70 km) of occupied
riverine habitat on DOD lands. Some of
these areas in the final designation
overlap substantially for two ESUs. The
net economic impacts (coextensive with
ESA section 7) associated with the areas
designated for all ESUs are estimated to
be approximately $81,647,439.
TABLE 7.—APPROXIMATE QUANTITY OF HABITAT * AND OWNERSHIP WITHIN WATERSHEDS CONTAINING HABITAT AREAS
DESIGNATED AS CRITICAL HABITAT.
Streams
(mi)
(km)
ESU
California Coastal Chinook Salmon .........................................................
Northern California Steelhead .................................................................
Central California Coast Steelhead .........................................................
South-Central California Coast Steelhead ...............................................
Southern California Steelhead .................................................................
Central Valley Spring Run Chinook Salmon ...........................................
Central Valley Steelhead .........................................................................
1,475
2,360
3,028
4,844
1,465
2,344
1,249
2,000
708
1,132
1,158
1,853
2,308
3,693
Estuary
Habitat
(Sq mi)
(Sq km)
25
65
25
65
386
996
3
8
................
................
254
655
254
655
Ownership (percent)
Federal
Tribal
State
Private
16.4
0.4
3.4
79.8
18.8
0.5
3.7
77.1
4.5
0.0
7.2
88.3
16.3
0.0
2.2
81.6
25.0
1.0
2.4
71.6
12.1
0.0
3.3
84.5
8.6
0.0
3.1
88.3
* These estimates are the total amount for each ESU. They do not account for overlapping areas designated for multiple ESUs.
These areas designated, summarized
below by ESU, are considered occupied
and contain physical and biological
features essential to the conservation of
the species and that may require special
management considerations or
protection.
California Coastal Chinook Salmon
There are 45 occupied HSA
watersheds within the freshwater and
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estuarine range of this ESU. Eight
watersheds received a low rating, 10
received a medium rating, and 27
received a high rating of conservation
value to the ESU (NMFS, 2005a). Two
estuarine habitat areas used for rearing
and migration (Humboldt Bay and the
Eel River Estuary) also received a high
conservation value rating.
HSA watershed habitat areas for this
ESU include approximately 1,634 mi
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(2,614 km) of stream habitat and
approximately 25 mi2 (65 km2) of
estuarine habitat (principally Humboldt
Bay). Of these, 10.3 stream miles (16.5
km) are being excluded because they
overlap with Indian lands (see
Government-to-Government
Relationship With Tribes). No lands
controlled by the DOD or covered by
HCPs are being excluded from the final
designation. As a result of the balancing
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process for economic impacts described
above, the Secretary is excluding from
the designation the habitat areas shown
in Table 8. Of the habitat areas eligible
for designation, approximately 158
stream miles (253 km) are being
excluded because the economic benefits
of exclusion outweigh the benefits of
designation. The total potential
estimated economic impact, with no
52529
exclusions, would be $10,993,337. The
exclusions identified in Table 8 would
reduce the total estimated economic
impact by 33 percent to $7,333,751.
TABLE 8.—HSA WATERSHEDS WITHIN THE GEOGRAPHICAL RANGE OF THE CALIFORNIA COASTAL CHINOOK SALMON ESU
AND EXCLUDED FROM CRITICAL HABITAT
Watershed code
111122
111142
111150
111171
111172
111173
111174
111350
111422
111423
Watershed name
...............................................................
...............................................................
...............................................................
...............................................................
...............................................................
...............................................................
...............................................................
...............................................................
...............................................................
...............................................................
Northern California Steelhead
There are 50 occupied HSA
watersheds within the freshwater and
estuarine range of this ESU. Nine
watersheds received a low rating, 14
received a medium rating, and 27
received a high rating of conservation
value to the ESU (NMFS, 2005a). Two
estuarine habitat areas used for rearing
and migration (Humboldt Bay and the
Eel River Estuary) also received a high
conservation value rating.
Area excluded
Bridgeville .........................................................
Spy Rock ..........................................................
North Fork Eel River ........................................
Eden Valley ......................................................
Round Valley ....................................................
Black Butte River ..............................................
Wilderness ........................................................
Navarro River ...................................................
Santa Rosa .......................................................
Mark West ........................................................
Entire watershed.
Indian lands.
Indian lands.
Tributaries only; Indian lands.
Indian lands.
Entire watershed.
Entire watershed.
Entire watershed.
Entire watershed.
Entire watershed.
HSA watershed habitat areas for this
ESU include approximately 3,148 mi
(5,037 km) of stream habitat and
approximately 25 mi2 (65 km2) of
estuarine habitat (principally Humboldt
Bay). Of these, approximately 21 stream
miles (33.5 km) are being excluded
because they overlap with Indian lands
(see Government-to-Government
Relationship With Tribes). No lands
controlled by the DOD or covered by
HCPs are being excluded from the final
designation. As a result of the balancing
process for economic impacts described
above, the Secretary is excluding from
the designation the habitat areas shown
in Table 9. Of the habitat areas eligible
for designation, approximately 120
stream miles (192 km) are being
excluded because the economic benefits
of exclusion outweigh the benefits of
designation. Total potential estimated
economic impact, with no exclusions,
would be $8,773,432. The exclusions
identified in Table 9 would reduce the
total estimated economic impact by 31
percent to $6,063,568.
TABLE 9.—HSA WATERSHEDS WITHIN THE GEOGRAPHICAL RANGE OF THE NORTHERN CALIFORNIA STEELHEAD ESU AND
EXCLUDED FROM CRITICAL HABITAT
Watershed code
110940
111142
111150
111163
111171
111172
Watershed name
...............................................................
...............................................................
...............................................................
...............................................................
...............................................................
...............................................................
Central California Coast Steelhead
There are 46 occupied HSA
watersheds within the freshwater and
estuarine range of this ESU. Fourteen
watersheds received a low rating, 13
received a medium rating, and 19
received a high rating of conservation
value to the ESU (NMFS, 2005a). Five
of these HSA watersheds comprise
portions of the San Francisco-San PabloSuisun Bay estuarine complex which
provides rearing and migratory habitat
for this ESU.
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Area excluded
Ruth ..................................................................
Spy Rock ..........................................................
North Fork Eel ..................................................
Lake Pilsbury ....................................................
Eden Valley ......................................................
Round Valley ....................................................
Entire watershed.
Tribal land.
Entire watershed; Indian lands.
Entire watershed.
Indian lands.
Indian lands.
HSA watershed habitat areas for this
ESU include approximately 1,832 mi
(2,931 km) of stream habitat and
approximately 442 mi2 (1,140 km2) of
estuarine habitat (principally San
Francisco Bay-San Pablo Bay). Of these,
approximately 0.6 stream miles (1.0 km)
are being excluded because they overlap
with Indian lands (Coyote Valley and
Redwood Valley Rancherias) (see
Government-to-Government
Relationship With Tribes). No lands
controlled by the DOD are excluded.
As a result of the balancing process
for economic impacts described above,
the Secretary is excluding from the
designation the habitat areas shown in
Table 10. Of the habitat areas eligible for
designation, approximately 367 stream
miles (587 km) and 56 mi2 of estuarine
habitat are being excluded because the
economic benefits of exclusion
outweigh the benefits of designation.
Total potential estimated economic
impact, with no exclusions, would be
$18,577,246. The exclusions identified
in Table 10 would reduce the total
estimated economic impact by 31
percent to $12,917,247.
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TABLE 10.—HSA WATERSHEDS WITHIN THE GEOGRAPHICAL RANGE OF THE CENTRAL CALIFORNIA COASTAL STEELHEAD
ESU AND EXCLUDED FROM CRITICAL HABITAT
Watershed code
111421
111422
111431
111433
220330
220440
220420
220540
220620
220660
220710
220722
220721
220731
220733
Watershed name
...............................................................
...............................................................
...............................................................
...............................................................
...............................................................
...............................................................
...............................................................
...............................................................
...............................................................
...............................................................
...............................................................
...............................................................
...............................................................
...............................................................
...............................................................
South-Central California Coast
Steelhead
There are 30 occupied HSA
watersheds within the freshwater and
estuarine range of this ESU. Six
watersheds received a low rating, 11
received a medium rating, and 13
received a high rating of conservation
value to the ESU (NMFS, 2005a). One of
these occupied watershed units is Morro
Bay, which is used as rearing and
migratory habitat for steelhead
populations that spawn and rear in
tributaries to the Bay.
Area excluded
Laguna de Santa Rosa ....................................
Santa Rosa .......................................................
Ukiah ................................................................
Forsythe Creek .................................................
Berkeley ............................................................
San Mateo Bayside ..........................................
Eastbay Cities ..................................................
Guadelupe River ..............................................
Novato ..............................................................
Pinole ................................................................
Suisun Bay .......................................................
Suisun Creek ....................................................
Benecia .............................................................
Pittsburg ...........................................................
Martinez ............................................................
Entire watershed.
Entire watershed.
Tributaries only.
Indian lands.
Entire watershed.
Entire watershed.
Entire watershed.
Entire watershed.
Entire watershed.
Entire watershed.
Entire unit.
Entire watershed.
Entire watershed.
Entire watershed.
Entire watershed.
HSA watershed habitat areas for this
ESU include approximately 1,251 mi
(2,000 km) of stream habitat and
approximately 3 mi2 (8 km2) of
estuarine habitat (e.g., Morro Bay).
Approximately 22 stream miles (35 km)
are not eligible for designation because
they are within lands controlled by the
DOD (Camp San Luis Obispo and Camp
Roberts) that have qualifying INRMPs
(Table 11). The reduction in economic
impacts resulting from these exclusions
could not be estimated.
As a result of the balancing process
for economic impacts described above,
the Secretary is excluding from the
designation the habitat areas shown in
Table 11. Of the habitat eligible for
designation, approximately 2 stream
miles (3.2 km) are being excluding
because the economic benefits of
exclusion outweigh the benefits of
designation. The total potential
estimated economic impact, with no
exclusions, would be $16,857,365. It
was not possible to estimate the reduced
economic impacts associated with the
habitat exclusions in Table 11,
therefore, the total potential economic
impact is the same as if there were no
exclusions.
TABLE 11.—HSA WATERSHEDS WITHIN THE GEOGRAPHICAL RANGE OF THE SOUTH-CENTRAL CALIFORNIA COAST
STEELHEAD ESU AND EXCLUDED FROM CRITICAL HABITAT
Watershed code
330911
330930
330940
330981
331022
Watershed name
...............................................................
...............................................................
...............................................................
...............................................................
...............................................................
Southern California Steelhead ESU
There are 32 occupied HSA
watersheds within the freshwater and
estuarine range of this ESU. Five
watersheds received a low rating, 6
received a medium rating, and 21
received a high rating of conservation
value to the ESU (NMFS, 2005a).
HSA watershed habitat areas for this
ESU include approximately 741 mi
(1,186 km) of stream habitat. Of these,
approximately 22 mi (35 km) of
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Area excluded
Neponset ..........................................................
Soledad ............................................................
Upper Salinas Valley ........................................
Paso Robles .....................................................
Chorro ...............................................................
Tributaries only.
Tributaries only.
Tributaries only.
DOD lands.
DOD lands.
occupied stream miles are excluded
because they are within lands controlled
by the DOD (Vandenberg AFB and
Camp Pendleton Marine Corps Base )
that have qualifying INRMPs and for
which the benefits of exclusion
outweigh the benefits of designation.
The reduction in economic impacts
resulting from these exclusions could
not be estimated.
As a result of the balancing process
for economic impacts described above,
the Secretary is excluding from the
designation the habitat areas shown in
Table 12. Of the habitat areas eligible for
designation, approximately 33 stream
miles (53 km) are being excluded
because the economic benefits of
exclusion outweigh the benefits of
designation. Total potential estimated
economic impact, with no exclusions,
would be $19,443,413. The exclusions
identified in Table 12 would reduce the
total estimated economic impact by 40
percent to $11,586,752.
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52531
TABLE 12.—HSA WATERSHEDS WITHIN THE GEOGRAPHICAL RANGE OF THE SOUTHERN CALIFORNIA STEELHEAD ESU
AND EXCLUDED FROM CRITICAL HABITAT
Watershed code
331210
331230
331410
331430
331451
440811
490140
Watershed name
...............................................................
...............................................................
...............................................................
...............................................................
...............................................................
...............................................................
...............................................................
Central Valley Spring Run Chinook
Salmon ESU
There are 37 occupied HSA
watersheds within the freshwater and
estuarine range of this ESU. Seven
watersheds received a low rating, 3
received a medium rating, and 27
received a high rating of conservation
value to the ESU (NMFS, 2005a). Four
of these HSA watersheds comprise
portions of the San Francisco-San PabloSuisun Bay estuarine complex which
Area excluded
Guadelupe ........................................................
Cuyama Valley .................................................
Lompoc .............................................................
Buelton .............................................................
Santa Cruz Creek .............................................
East of Oxnard .................................................
San Mateo Canyon ..........................................
Tributaries only.
Entire watershed.
DOD lands.
Tributaries only.
Entire watershed.
Entire watershed.
DOD lands.
provides rearing and migratory habitat
for this ESU.
HSA watershed habitat areas for this
ESU include approximately 1,373 mi
(2,197 km) of occupied stream habitat
and approximately 427 mi2 (1,102 km2)
of estuarine habitat in the San
Francisco-San Pablo-Suisun Bay
complex. There are no DOD, tribal or
HCP managed lands excluded from the
designation. As a result of the balancing
process for economic impacts described
above, the Secretary is excluding from
the designation the habitat areas shown
in Table 13. Of the habitat areas eligible
for designation, approximately 215
stream miles (344 km) and 173 mi2 of
estuarine habitat are being excluded
because the economic benefits of
exclusion outweigh the benefits of
designation. The total potential
estimated economic impact, with no
exclusions, would be $29,223,186. The
exclusions identified in Table 13 would
reduce the total estimated economic
impact by 25 percent to $22,066,974.
TABLE 13.—HSA WATERSHEDS WITHIN THE GEOGRAPHICAL RANGE OF THE CENTRAL VALLEY SPRING RUN CHINOOK
SALMON ESU AND EXCLUDED FROM CRITICAL HABITAT
Watershed code
551000
551713
551720
552310
552433
554300
554400
220410
Watershed name
...............................................................
...............................................................
...............................................................
...............................................................
...............................................................
...............................................................
...............................................................
...............................................................
Central Valley Steelhead ESU
There are 67 occupied HSA
watersheds within the freshwater and
estuarine range of this ESU. Twelve
watersheds received a low rating, 18
received a medium rating, and 37
received a high rating of conservation
value to the ESU (NMFS, 2005a). Four
of these HSA watersheds comprise
portions of the San Francisco-San PabloSuisun Bay estuarine complex which
Area excluded
Sacramento Delta .............................................
Mildred Lake .....................................................
Nevada City ......................................................
Thomes Creek ..................................................
South Fork ........................................................
No. Diablo Range .............................................
San Joaquin Delta ............................................
South SF Bay ...................................................
Deep Water Ship Channel.
Entire watershed.
Entire watershed.
Entire watershed.
Entire watershed.
Entire watershed.
Entire watershed.
Entire unit.
provides rearing and migratory habitat
for this ESU.
HSA watershed habitat areas for this
ESU include approximately 2,604 mi
(4,168 km) of stream habitat and
approximately 427 mi2 (1,102 km2) of
estuarine habitat. There are no DOD,
tribal or HCP managed lands excluded
from the designation. As a result of the
balancing process for economic impacts
described above, the Secretary is
excluding from the designation the
habitat areas shown in Table 14. Of the
habitat areas eligible for designation,
approximately 296 stream miles (473
km) and 173 mi2 of estuarine habitat are
being excluded because the economic
benefits of exclusion outweigh the
benefits of designation. Total potential
estimated economic impact, with no
exclusions, would be $38,235,233. The
exclusions identified in Table 14 would
reduce the total estimated economic
impact by 11 percent to $34,389,278.
TABLE 14.—HSA WATERSHEDS WITHIN THE GEOGRAPHICAL RANGE OF THE CENTRAL VALLEY STEELHEAD ESU AND
EXCLUDED FROM CRITICAL HABITAT
Watershed code
550964
551000
551110
551713
551720
552435
553111
553120
553221
553223
Watershed name
...............................................................
...............................................................
...............................................................
...............................................................
...............................................................
...............................................................
...............................................................
...............................................................
...............................................................
...............................................................
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Area excluded
Paynes Creek ...................................................
Sacramento Delta .............................................
Elmira ...............................................................
Mildred Lake .....................................................
Nevada City ......................................................
Ono ...................................................................
Herald ...............................................................
Lower Mokelumne ............................................
Big Canyon Creek ............................................
NF Cosumnes ..................................................
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Entire watershed.
Deep Water Ship Channel.
Entire watershed.
Entire watershed.
Entire watershed.
Entire watershed.
Entire watershed.
Partial watershed.
Entire watershed.
Entire watershed.
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TABLE 14.—HSA WATERSHEDS WITHIN THE GEOGRAPHICAL RANGE OF THE CENTRAL VALLEY STEELHEAD ESU AND
EXCLUDED FROM CRITICAL HABITAT—Continued
Watershed code
553224
553240
554300
220410
Watershed name
...............................................................
...............................................................
...............................................................
...............................................................
VII. Effects of Critical Habitat
Designation
Section 7 Consultation
Section 7(a) of the ESA requires
Federal agencies, including NMFS, to
evaluate their actions with respect to
any species that is proposed or listed as
endangered or threatened and with
respect to its critical habitat, if any is
proposed or designated. Regulations
implementing this provision of the ESA
are codified at 50 CFR 402. Section
7(a)(4) of the ESA requires Federal
agencies to confer with us on any action
that is likely to jeopardize the continued
existence of a proposed species or result
in the destruction or adverse
modification of proposed critical
habitat. Conference reports provide
conservation recommendations to assist
the agency in eliminating conflicts that
may be caused by the proposed action.
The conservation recommendations in a
conference report are advisory.
We may issue a formal conference
report if requested by a Federal agency.
Formal conference reports include an
opinion that is prepared according to 50
CFR 402.14, as if the species were listed
or critical habitat designated. We may
adopt the formal conference report as
the biological opinion when the species
is listed or critical habitat designated, if
no substantial new information or
changes in the action alter the content
of the opinion (see 50 CFR 402.10(d)).
If a species is listed or critical habitat
is designated, ESA 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 such a species or
to destroy or adversely modify its
critical habitat. If a Federal action may
affect a listed species or its critical
habitat, the responsible Federal agency
(action agency) must enter into
consultation with us. Through this
consultation, we would review actions
to determine if they would destroy or
adversely modify critical habitat.
If we issue a biological opinion
concluding that a project is likely to
result in the destruction or adverse
modification of critical habitat, we will
also provide reasonable and prudent
alternatives to the project, if any are
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Area excluded
Omo Ranch ......................................................
Sutter Creek .....................................................
No. Diablo Range .............................................
So. SF Bay .......................................................
Entire
Entire
Entire
Entire
identifiable. Reasonable and prudent
alternatives are defined at 50 CFR
402.02 as alternative actions identified
during consultation that can be
implemented in a manner consistent
with the intended purpose of the action,
that are consistent with the scope of the
Federal agency’s legal authority and
jurisdiction, that are economically and
technologically feasible, and that we
believe would avoid destruction or
adverse modification of critical habitat.
Reasonable and prudent alternatives can
vary from slight project modifications to
extensive redesign or relocation of the
project. Costs associated with
implementing a reasonable and prudent
alternative are similarly variable.
Regulations at 50 CFR 402.16 require
Federal agencies to reinitiate
consultation on previously reviewed
actions in instances where critical
habitat is subsequently designated and
the Federal agency has retained
discretionary involvement or control
over the action or such discretionary
involvement or control is authorized by
law. Consequently, some Federal
agencies may request reinitiation of
consultation or conference with us on
actions for which formal consultation
has been completed, if those actions
may affect designated critical habitat or
adversely modify or destroy proposed
critical habitat.
Activities on Federal lands that may
affect these ESUs or their critical habitat
will require ESA section 7 consultation.
Activities on private or state lands
requiring a permit from a Federal
agency, such as a permit from the COE
under section 404 of the CWA, a section
10(a)(1)(B) permit from NMFS, or some
other Federal action, including funding
(e.g., Federal Highway Administration
(FHA) or Federal Emergency
Management Agency (FEMA) funding),
will also be subject to the section 7
consultation process. Federal actions
not affecting listed species or critical
habitat and actions on non-Federal and
private lands that are not Federally
funded, authorized, or permitted do not
require section 7 consultation.
Activities Affected by Critical Habitat
Designation
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watershed.
watershed.
watershed.
unit.
Section 4(b)(8) of the ESA requires
that we evaluate briefly and describe, in
any proposed or final regulation that
designates critical habitat, those
activities (whether public or private)
that may adversely modify such habitat
or that may be affected by such
designation. A wide variety of activities
may affect critical habitat and, when
carried out, funded, or authorized by a
Federal agency, require that an ESA
section 7 consultation be conducted.
Generally these include water and land
management actions of Federal agencies
(e.g., USFS, Bureau of Land
Management (BLM), COE, BOR, the
FHA, NRCS, National Park Service
(NPS), BIA, and the Federal Energy
Regulatory Commission (FERC)) and
related or similar actions of other
Federally regulated projects and lands,
including livestock grazing allotments
by the USFS and BLM; hydropower
sites licensed by the FERC; dams built
or operated by the COE or BOR; timber
sales and other vegetation management
activities conducted by the USFS, BLM,
and BIA; irrigation diversions
authorized by the USFS and BLM; and
road building and maintenance
activities authorized by the FHA, USFS,
BLM, NPS, and BIA. Other actions of
concern include dredge and fill, mining,
diking, and bank stabilization activities
authorized or conducted by the COE,
habitat modifications authorized by the
FEMA, and approval of water quality
standards and pesticide labeling and use
restrictions administered by the EPA.
The Federal agencies that will most
likely be affected by this critical habitat
designation include the USFS, BLM,
BOR, COE, FHA, NRCS, NPS, BIA,
FEMA, EPA, and the FERC. This
designation will provide these agencies,
private entities, and the public with
clear notification of critical habitat
designated for listed salmonids and the
boundaries of the habitat. This
designation will also assist these
agencies and others in evaluating the
potential effects of their activities on
listed salmon and their critical habitat
and in determining if section 7
consultation with NMFS is needed.
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As noted above, numerous private
entities also may be affected by this
critical habitat designation because of
the direct and indirect linkages to an
array of Federal actions, including
Federal projects, permits, and funding.
For example, private entities may
harvest timber or graze livestock on
Federal land or have special use permits
to convey water or build access roads
across Federal land; they may require
Federal permits to armor stream banks,
construct irrigation withdrawal
facilities, or build or repair docks; they
may obtain water from Federally funded
and operated irrigation projects; or they
may apply pesticides that are only
available with Federal agency approval.
These activities will need to be analyzed
with respect to their potential to destroy
or adversely modify critical habitat. In
some cases, proposed activities may
require modifications that may result in
decreases in activities such as timber
harvest and livestock and crop
production. The transportation and
utilities sectors may need to modify the
placement of culverts, bridges, and
utility conveyances (e.g., water, sewer
and power lines) to avoid barriers to fish
migration. Developments occurring in or
near salmon streams (e.g., marinas,
residential, or industrial facilities) that
require Federal authorization or funding
may need to be altered or built in a
manner that ensures that critical habitat
is not destroyed or adversely modified
as a result of the construction, or
subsequent operation, of the facility.
These are just a few examples of
potential impacts, but it is clear that the
effects will encompass numerous
sectors of private and public activities.
If you have questions regarding whether
specific activities will constitute
destruction or adverse modification of
critical habitat, contact NMFS (see
ADDRESSES and FOR FURTHER
INFORMATION CONTACT).
VIII. Required Determinations
Administrative Procedure Act
This rulemaking covers over 8,900
miles of streams and 470 square miles
of estuarine habitat. Unlike the previous
critical habitat designations it contains
over a thousand geographic points
identifying the extent of the
designations. The proposed rule
generated substantial public interest. In
addition to comments received during
four public hearings we received a total
of 3,762 written comments (3,627 of
these in the form of email with nearly
identical language). Many commenters
expressed concerns about how the rule
would be implemented. Additionally,
our experience in implementing the
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2000 critical habitat designations
suggests that the Administrative
Procedure Act’s (APA) and critical
habitat regulations’ minimum 30-day
delay in effective date nor the 60-day
delay required by the Congressional
Review Act for a ‘‘major rule’’ such as
this are sufficient for this rule. In view
of the geographic scope of this rule, our
prior experience with a rule of this
scope, the current level of public
interest in this rule, and in order to
provide for efficient administration of
the rule once effective, we are providing
a 120-day delay in effective date. As a
result this rule will be effective on
January 2, 2006. This will allow us the
necessary time to provide for outreach
to and interaction with the public, to
minimize confusion and educate the
public about activities that may be
affected by the rule, and to work with
Federal agencies and applicants to
provide for an orderly transition in
implementing the rule.
Regulatory Planning and Review
In accordance with E.O. 12866, this
document is a significant rule and has
been reviewed by OMB. As noted above,
we have prepared several reports to
support the exclusion process under
section 4(b)(2) of the ESA. The
economic costs of the critical habitat
designations are described in our
economic report (NMFS, 2005b). The
benefits of the designations are
described in the CHART report (NMFS,
2005a) and the 4(b)(2) report (NMFS,
2005c). The CHART report uses a
biologically-based ranking system for
gauging the benefits of applying section
7 of the ESA to particular watersheds.
Because data are not available to express
these benefits in monetary terms, we
have adopted a cost-effectiveness
framework, as outlined in a 4(b)(2)
report (NMFS, 2005c). This approach is
in accord with OMB’s guidance on
regulatory analysis (U.S. Office of
Management and Budget. Circular A–4,
Regulatory Analysis, September 17,
2003). By taking this approach, we seek
to designate sufficient critical habitat to
meet the biological goal of the ESA
while imposing the least burden on
society, as called for by E.O. 12866.
In assessing the overall cost of critical
habitat designation for the 7 Pacific
salmon and steelhead ESUs addressed
in this final rule, the annual total impact
figures given in the draft economic
analysis (NMFS, 2005b) cannot be
added together to obtain an aggregate
annual impact. Because some
watersheds are included in more than
one ESU, a simple summation would
entail duplication, resulting in an
overestimate. Accounting for this
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52533
duplication, the aggregate annual
economic impact of the 7 critical habitat
designations is $81,647,439. These
amounts include impacts that are
coextensive with the implementation of
the jeopardy standard of section 7
(NMFS, 2005b).
Within the State of California,
hydropower projects currently provide
approximately 15 percent of the total
electricity produced. This is small
compared to the Pacific Northwest
where hydropower generates up to 70
percent of the total electricity produced,
with approximately 60 percent of this
hydroelectric power generated through
the Federal Columbia River Power
System. Because hydropower is a more
pervasive power source in the Pacific
Northwest than in California, the
impacts to the energy industry in
California from environmental
mitigation associated with protecting
listed salmon and steelhead and their
critical habitat are likely to be much less
than in the Northwest. There are
approximately 90 hydropower projects
within the area covered by the potential
critical habitat for the 7 ESUs in
California. Based on the economic
analysis conducted for this rulemaking
(NMFS 2005b), the estimated
annualized capital and programmatic
costs of section 7 for hydropower
projects ranges from $11,000 to $9.8
million per ESU, with the estimated
annualized cost for all ESUs totaling
$18.8 million. The aggregate economic
costs of capital modifications within the
range of these 7 ESUs is approximately
10 percent of the total aggregate costs for
all categories of activities evaluated in
the economic analysis. This cost
estimate, however, does not include
costs associated with operational
modifications of hydropower projects
such as changes to the flow regime
(level or timing) which can result in
foregone power generation, require
supplementary power purchases, or
have other economic effects. The
necessary data to estimate operational
modification costs in California are not
available, but they are expected to be
highly variable and project-specific. The
estimated impacts of operational
changes at hydropower projects in the
Pacific Northwest (unknown for several
projects to $31 million in forgone power
revenues for Baker River Dam),
however, demonstrate the potential
magnitude and variability of impacts on
a per project basis in California. For
these projects in the Northwest, the
proportion of costs attributable to
section 7 implementation is unknown,
but the share of incremental costs
associated with critical habitat
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Federal Register / Vol. 70, No. 170 / Friday, September 2, 2005 / Rules and Regulations
designation alone is unlikely to be
significant.
Regulatory Flexibility Act (5 U.S.C. 601
et seq.)
Under the Regulatory Flexibility Act
(5 U.S.C. 601 et seq., as amended by the
Small Business Regulatory Enforcement
Fairness Act (SBREFA) of 1996),
whenever an agency is required to
publish a notice of rulemaking for any
proposed or final rule, it must prepare
and make available for public comment
a regulatory flexibility analysis that
describes the effects of the rule on small
entities (i.e., small businesses, small
organizations, and small government
jurisdictions). We have prepared a final
regulatory flexibility analysis and this
document is available upon request (see
ADDRESSES ). This analysis estimates
that the number of regulated small
entities potentially affected by this
rulemaking ranges from 444 to 4,893
depending on the ESU. The estimated
coextensive costs of section 7
consultation incurred by small entities
is estimated to range from $1.6 million
to $26.5 million depending on the ESU.
As described in the analysis, we
considered various alternatives for
designating critical habitat for these
seven ESUs. We rejected the alternative
of not designating critical habitat for any
of the ESUs because such an approach
did not meet the legal requirements of
the ESA. We also examined and rejected
an alternative in which all the potential
critical habitat of the seven Pacific
salmon and steelhead ESUs is
designated (i.e., no areas are excluded)
because many of the areas considered to
have a low conservation value also had
relatively high economic impacts that
might be mitigated by excluding those
areas from designation. A third
alternative we examined and rejected
would exclude all habitat areas with a
low or medium conservation value.
While this alternative furthers the goal
of reducing economic impacts, we could
not make a determination that the
benefits of excluding all habitat areas
with low and medium conservation
value outweighed the benefits of
designation. Moreover, for some habitat
areas the incremental economic benefit
from excluding that area is relatively
small. Therefore, after considering these
alternatives in the context of the section
4(b)(2) process of weighing benefits of
exclusion against benefits of
designation, we determined that the
current approach to designation (i.e.,
designating some but not all areas with
low or medium conservation value)
provides an appropriate balance of
conservation and economic mitigation
and that excluding the areas identified
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in this rulemaking would not result in
extinction of the ESUs. It is estimated
that small entities will save from $39.9
thousand to $5.5 million in compliance
costs, depending on the ESU, due to the
exclusions made in these final
designations.
As noted above, we will continue to
study alternative approaches in future
rulemakings designating critical habitat.
As part of that assessment, we will
examine alternative methods for
analyzing the economic impacts of
designation on small business entities,
which will inform our Regulatory
Flexibility Analysis as well as our
analysis under section 4(b)(2) of the
ESA.
E.O. 13211
On May 18, 2001, the President issued
an Executive Order on regulations that
significantly affect energy supply,
distribution, and use. E.O. 13211
requires agencies to prepare Statements
of Energy Effects when undertaking
certain actions. This rule may be a
significant regulatory action under E.O.
12866. We have determined, however,
that the energy effects of the regulatory
action are unlikely to exceed the energy
impact thresholds identified in
E.O.13211.
As discussed elsewhere in this final
rule, there are approximately 90
hydropower projects within the range of
the potential critical habitat for these 7
ESUs. The annualized capital and
programmatic costs of section 7 for
these projects ranges from $11,000 to
$9.8 million per ESU, with the
estimated annualized cost for all ESUs
totaling $18.8 million. Despite these
costs and operational costs which we do
not have the data available to estimate,
we believe the proper focus under E.O.
13211 is on the incremental impacts of
critical habitat designation. The
available data do not allow us to
separate precisely these incremental
impacts from the impacts of all
conservation measures on energy
production and costs. There is evidence
from the California Energy Commission
(California Energy Commission 2003),
however, that the implementation of
environmental mitigation measures
associated with relicensing and
selective decommissioning of
hydropower projects in California has
not impacted the ability of the State’s
electricity system to meet demand. This
conclusion was based on a
consideration of implementing all
mitigation measures, not just those for
salmon and steelhead, thus it is likely
that the impact of implementing
mitigations associated with salmon and
steelhead protection directly or even
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more specifically salmon and steelhead
critical habitat protection would be a
subset of the impacts determined by the
Commission. In addition, there is
historical evidence from the Pacific
Northwest, that the ESA jeopardy
standard alone is capable of imposing
all of the costs affecting hydropower
projects and energy supply. While this
information is indirect, it is sufficient to
draw the conclusion that the
designation of critical habitat for the 7
salmon and steelhead ESUs in
California does not significantly affect
energy supply, distribution, or use.
Unfunded Mandates Reform Act (2
U.S.C. 1501 et seq.)
In accordance with the Unfunded
Mandates Reform Act, we make the
following findings:
(a) This final rule will not produce a
Federal mandate. In general, a Federal
mandate is a provision in legislation,
statute or regulation that would impose
an enforceable duty upon State, local,
tribal governments, or the private sector
and includes both ‘‘Federal
intergovernmental mandates’’ and
‘‘Federal private sector mandates.’’
These terms are defined in 2 U.S.C.
658(5)–(7). ‘‘Federal intergovernmental
mandate’’ includes a regulation that
‘‘would impose an enforceable duty
upon State, local, or tribal governments’’
with two exceptions. It excludes ‘‘a
condition of Federal assistance.’’ It also
excludes ‘‘a duty arising from
participation in a voluntary Federal
program,’’ unless the regulation ‘‘relates
to a then-existing Federal program
under which $500,000,000 or more is
provided annually to State, local, and
tribal governments under entitlement
authority,’’ if the provision would
‘‘increase the stringency of conditions of
assistance’’ or ‘‘place caps upon, or
otherwise decrease, the Federal
Government’s responsibility to provide
funding’’ and the State, local, or tribal
governments ‘‘lack authority’’ to adjust
accordingly. (At the time of enactment,
these entitlement programs were:
Medicaid; AFDC work programs; Child
Nutrition; Food Stamps; Social Services
Block Grants; Vocational Rehabilitation
State Grants; Foster Care, Adoption
Assistance, and Independent Living;
Family Support Welfare Services; and
Child Support Enforcement.) ‘‘Federal
private sector mandate’’ includes a
regulation that ‘‘would impose an
enforceable duty upon the private
sector, except (i) a condition of Federal
assistance; or (ii) a duty arising from
participation in a voluntary Federal
program.’’ The designation of critical
habitat does not impose a legally
binding duty on non-Federal
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government entities or private parties.
Under the ESA, the only regulatory
effect is that Federal agencies must
ensure that their actions do not destroy
or adversely modify critical habitat
under section 7. While non-Federal
entities who receive Federal funding,
assistance, permits or otherwise require
approval or authorization from a Federal
agency for an action may be indirectly
impacted by the designation of critical
habitat, the legally binding duty to
avoid destruction or adverse
modification of critical habitat rests
squarely on the Federal agency.
Furthermore, to the extent that nonFederal entities are indirectly impacted
because they receive Federal assistance
or participate in a voluntary Federal aid
program, the Unfunded Mandates
Reform Act would not apply; nor would
critical habitat shift the costs of the large
entitlement programs listed above to
State governments.
(b) Due to current public knowledge
of salmon protection and the
prohibition against take of these species
both within and outside of the
designated areas, we do not anticipate
that this final rule will significantly or
uniquely affect small governments. As
such, a Small Government Agency Plan
is not required.
Takings
In accordance with E.O. 12630, this
final rule does not have significant
takings implications. A takings
implication assessment is not required.
The designation of critical habitat
affects only Federal agency actions. This
final rule will not increase or decrease
the current restrictions on private
property concerning take of salmon. As
noted above, due to widespread public
knowledge of salmon protection and the
prohibition against take of the species
both within and outside of the
designated areas, we do not anticipate
that property values will be affected by
these critical habitat designations.
While real estate market values may
temporarily decline following
designation, due to the perception that
critical habitat designation may impose
additional regulatory burdens on land
use, we expect any such impacts to be
short term (NMFS, 2005b). Additionally,
critical habitat designation does not
preclude development of HCPs and
issuance of incidental take permits.
Owners of areas that are included in the
designated critical habitat will continue
to have the opportunity to use their
property in ways consistent with the
survival of listed salmon.
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Federalism
In accordance with E.O. 13132, this
final rule does not have significant
Federalism effects. A Federalism
assessment is not required. In keeping
with Department of Commerce policies,
we requested information from, and
coordinated development of, this
critical habitat designation with
appropriate state resource agencies in
California. Theses designations may
have some benefit to the states and local
resource agencies in that the areas
essential to the conservation of the
species are more clearly defined, and
the primary constituent elements of the
habitat necessary to the survival of the
species are specifically identified. While
making this definition and
identification does not alter where and
what Federally sponsored activities may
occur, it may assist local governments in
long-range planning rather than waiting
for case-by-case section 7 consultations
to occur.
Civil Justice Reform
In accordance with E.O. 12988, the
Department of the Commerce has
determined that this final rule does not
unduly burden the judicial system and
meets the requirements of sections 3(a)
and 3(b)(2) of the E.O. We are
designating critical habitat in
accordance with the provisions of the
ESA. This final rule uses standard
property descriptions and identifies the
primary constituent elements within the
designated areas to assist the public in
understanding the habitat needs of the
seven salmon and steelhead ESUs.
Paperwork Reduction Act of 1995 (44
U.S.C. 3501 et seq.)
This final rule does not contain new
or revised information collection for
which OMB approval is required under
the Paperwork Reduction Act. This final
rule will not impose record keeping or
reporting requirements on State or local
governments, individuals, businesses, or
organizations. An agency 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.
National Environmental Policy Act
We have determined that we need not
prepare environmental analyses as
provided for under the National
Environmental Policy Act of 1969 for
critical habitat designations made
pursuant to the ESA. See Douglas
County v. Babbitt, 48 F.3d 1495 (9th Cir.
1995), cert. denied, 116 S.Ct. 698 (1996).
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52535
Government-to-Government
Relationship With Tribes
The longstanding and distinctive
relationship between the Federal and
tribal Governments is defined by
treaties, statutes, executive orders,
judicial decisions, and agreements,
which differentiate tribal governments
from the other entities that deal with, or
are affected by, the Federal Government.
This relationship has given rise to a
special Federal trust responsibility
involving the legal responsibilities and
obligations of the United States toward
Indian Tribes and the application of
fiduciary standards of due care with
respect to Indian lands, tribal trust
resources, and the exercise of tribal
rights. Pursuant to these authorities
lands have been retained by Indian
Tribes or have been set aside for tribal
use. These lands are managed by Indian
Tribes in accordance with tribal goals
and objectives within the framework of
applicable treaties and laws.
Administration policy contained in
the Secretarial Order: ‘‘American Indian
Tribal Rights, Federal-Tribal Trust
Responsibilities, and the Endangered
Species Act’’ (June 5, 1997) (‘‘Secretarial
Order’’); the President’s Memorandum
of April 29, 1994, ‘‘Government-toGovernment Relations with Native
American Tribal Governments’’ (50 FR
2291); E.O. 13175; and Department of
Commerce-American Indian and Alaska
Native Policy (March 30, 1995) reflects
and defines this unique relationship.
These policies also recognize the
unique status of Indian lands. The
Presidential Memorandum of April 29,
1994, provides that, to the maximum
extent possible, tribes should be the
governmental entities to manage their
lands and tribal trust resources. The
Secretarial Order provides that, ‘‘Indian
lands are not Federal public lands or
part of the public domain, and are not
subject to Federal public lands laws.’’
In implementing these policies the
Secretarial Order specifically seeks to
harmonize this unique working
relationship with the Federal
Government’s duties pursuant to the
ESA. The order clarifies our
responsibilities when carrying out
authorities under the ESA and requires
that we consult with and seek
participation of, the affected Indian
Tribes to the maximum extent
practicable in the designation of critical
habitat. Accordingly, we recognize that
we must carry out our responsibilities
under the ESA in a manner that
harmonizes these duties with the
Federal trust responsibility to the tribes
and tribal sovereignty while striving to
ensure that Indian Tribes do not bear a
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disproportionate burden for the
conservation of species. Any decision to
designate Indian land as critical habitat
must be informed by the Federal laws
and policies establishing our
responsibility concerning Indian lands,
treaties and trust resources, and by
Department of Commerce policy
establishing our responsibility for
dealing with tribes when we implement
the ESA.
For West Coast salmon in California,
our approach is also guided by the
unique partnership between the Federal
Government and Indian tribes regarding
salmon management. In California,
Indian tribes are regarded as ‘‘comanagers’’ of the salmon resource, along
with Federal and state managers. This
co-management relationship evolved as
a result of numerous court decisions
establishing the tribes’ treaty right to
take fish in their usual and accustomed
places.
Pursuant to the Secretarial Order we
consulted with the affected Indian
Tribes when considering the
designation of critical habitat in an area
that may impact tribal trust resources,
tribally owned fee lands or the exercise
of tribal rights. Additionally some tribes
and the BIA provided written comments
that are a part of the administrative
record for this rulemaking.
We understand from the tribes that
there is general agreement that Indian
lands should not be designated critical
habitat. The Secretarial Order defines
Indian lands as ‘‘any lands title to
which is either: (1) Held in trust by the
United States for the benefit of any
Indian tribe or (2) held by an Indian
Tribe or individual subject to
restrictions by the United States against
alienation.’’ In clarifying this definition
with the tribes, we agree that (1) fee
lands within the reservation boundaries
and owned by the Tribe or individual
Indian, and (2) fee lands outside the
reservation boundaries and owned by
the Tribe would be considered Indian
lands for the purposes of this rule. (Fee
lands outside the reservation owned by
individual Indians are not included
within the definition of Indian lands for
the purposes of this rule.)
In evaluating Indian lands for
designation as critical habitat we look to
section 4(b)(2) of the ESA. Section
4(b)(2) requires us to base critical
habitat designations on the best
scientific and commercial data
available, after taking into consideration
the economic impact, the impact on
national security and any other relevant
impact of specifying any particular area
as critical habitat. The Secretary may
exclude areas from a critical habitat
designation when the benefits of
exclusion outweigh the benefits of
designation, provided the exclusion will
not result in the extinction of the
species. We find that a relevant impact
for consideration is the degree to which
the Federal designation of Indian lands
would impact the longstanding unique
relationship between the tribes and the
Federal Government and the
corresponding effect on West Coast
salmon protection and management.
This is consistent with recent case law
addressing the designation of critical
habitat on tribal lands. ‘‘It is certainly
reasonable to consider a positive
working relationship relevant,
particularly when the relationship
results in the implementation of
beneficial natural resource programs,
including species preservation.’’ Center
for Biological Diversity et al. v. Norton,
240 F. Supp. 2d 1090, 1105); Douglas
County v. Babbitt, 48 F.3d 1495, 1507
(1995) (defining ‘‘relevant’’ as impacts
consistent with the purposes of the
ESA).
As noted above, NMFS and the tribal
governments in California currently
have cooperative working relationships
that have enabled us to implement
natural resource programs of mutual
interest for the benefit of threatened and
endangered salmonids. The tribes have
existing natural resource programs that
assist us on a regular basis in providing
information relevant to salmonid
protection. The tribes indicate that they
view the designation of Indian lands as
an unwanted intrusion into tribal selfgovernance, compromising the
government-to-government relationship
that is essential to achieving our mutual
goal of conserving threatened and
endangered salmonids. At this time, for
the general reasons described above, we
conclude that the ESA 4(b)(2) analysis
leads us to exclude all Indian lands
containing occupied habitat otherwise
eligible for designation in our final
designation for these 7 ESUs of salmon
and steelhead.
IX. References Cited
A complete list of all references cited
in this rulemaking can be found on our
Web site at https://swr.nmfs.noaa.gov
and is available upon request from the
NMFS office in Long Beach, CA (see
ADDRESSES section).
List of Subjects in 50 CFR Part 226
Endangered and threatened species.
Dated: August 12, 2005.
William T. Hogarth,
Assistant Administrator for Fisheries,
National Marine Fisheries Service.
For the reasons set out in the
preamble, we amend part 226, title 50
of the Code of Regulations as set forth
below:
I
PART 226—[AMENDED]
1. The authority citation of part 226
continues to read as follows:
I
Authority: 16 U.S.C. 1533.
I
2. Add § 226.211 to read as follows:
§ 226.211 Critical habitat for Seven
Evolutionarily Significant Units (ESUs) of
Salmon (Oncorhynchus spp.) in California.
Critical habitat is designated in the
following California counties for the
following ESUs as described in
paragraph (a) of this section, and as
further described in paragraphs (b)
through (e) of this section. The textual
descriptions of critical habitat for each
ESU are included in paragraphs (f)
through (l) of this section, and these
descriptions are the definitive source for
determining the critical habitat
boundaries. General location maps are
provided at the end of each ESU
description (paragraphs (f) through (l) of
this section) and are provided for
general guidance purposes only, and not
as a definitive source for determining
critical habitat boundaries.
(a) Critical habitat is designated for
the following ESUs in the following
California counties:
ESU
State—counties
(1) California Coastal Chinook .................................................................
CA—Humboldt, Trinity, Mendocino, Sonoma, Lake, Napa, Glenn,
Colusa, and Tehama.
CA—Humboldt, Trinity, Mendocino, Sonoma, Lake, Glenn, Colusa, and
Tehama.
CA—Lake, Mendocino, Sonoma, Napa, Marin, San Francisco, San
Mateo, Santa Clara, Santa Cruz, Alameda, Contra Costa, and San
Joaquin.
CA—Monterey, San Benito, Santa Clara, Santa Cruz, San Luis Obispo.
(2) Northern California Steelhead ............................................................
(3) Central California Coast Steelhead ....................................................
(4) South-Central Coast Steelhead ..........................................................
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52537
ESU
State—counties
(5) Southern California Steelhead ............................................................
CA—San Luis Obispo, Santa Barbara, Ventura, Los Angeles, Orange
and San Diego.
CA—Tehama, Butte, Glenn, Shasta, Yolo, Sacramento, Solano,
Colusa, Yuba, Sutter, Trinity, Alameda, San Joaquin, and Contra
Costa.
CA—Tehama, Butte, Glenn, Shasta, Yolo, Sacramento, Solona, Yuba,
Sutter, Placer, Calaveras, San Joaquin, Stanislaus, Tuolumne,
Merced, Alameda, Contra Costa.
(6) Central Valley spring-run Chinook ......................................................
(7) Central Valley Steelhead ....................................................................
(b) Critical habitat boundaries.
Critical habitat includes the stream
channels within the designated stream
reaches, and includes a lateral extent as
defined by the ordinary high-water line
(33 CFR 329.11). In areas where the
ordinary high-water line has not been
defined, the lateral extent will be
defined by the bankfull elevation.
Bankfull elevation is the level at which
water begins to leave the channel and
move into the floodplain and is reached
at a discharge which generally has a
recurrence interval of 1 to 2 years on the
annual flood series. Critical habitat in
estuaries (e.g. San Francisco-San PabloSuisun Bay, Humboldt Bay, and Morro
Bay) is defined by the perimeter of the
water body as displayed on standard
1:24,000 scale topographic maps or the
elevation of extreme high water,
whichever is greater.
(c) Primary constituent elements.
Within these areas, the primary
constituent elements essential for the
conservation of these ESUs are those
sites and habitat components that
support one or more life stages,
including:
(1) Freshwater spawning sites with
water quantity and quality conditions
and substrate supporting spawning,
incubation and larval development;
(2) Freshwater rearing sites with:
(i) Water quantity and floodplain
connectivity to form and maintain
physical habitat conditions and support
juvenile growth and mobility;
(ii) Water quality and forage
supporting juvenile development; and
(iii) Natural cover such as shade,
submerged and overhanging large wood,
log jams and beaver dams, aquatic
vegetation, large rocks and boulders,
side channels, and undercut banks.
(3) Freshwater migration corridors
free of obstruction and excessive
predation with water quantity and
quality conditions and natural cover
such as submerged and overhanging
large wood, aquatic vegetation, large
rocks and boulders, side channels, and
undercut banks supporting juvenile and
adult mobility and survival.
(4) Estuarine areas free of obstruction
and excessive predation with:
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(i) Water quality, water quantity, and
salinity conditions supporting juvenile
and adult physiological transitions
between fresh- and saltwater;
(ii) Natural cover such as submerged
and overhanging large wood, aquatic
vegetation, large rocks and boulders,
side channels; and
(iii) Juvenile and adult forage,
including aquatic invertebrates and
fishes, supporting growth and
maturation.
(d) Exclusion of Indian lands. Critical
habitat does not include occupied
habitat areas on Indian lands. The
Indian lands specifically excluded from
critical habitat are those defined in the
Secretarial Order, including:
(1) Lands held in trust by the United
States for the benefit of any Indian tribe;
(2) Land held in trust by the United
States for any Indian Tribe or individual
subject to restrictions by the United
States against alienation;
(3) Fee lands, either within or outside
the reservation boundaries, owned by
the tribal government; and
(4) Fee lands within the reservation
boundaries owned by individual
Indians.
(e) Land owned or controlled by the
Department of Defense. Additionally,
critical habitat does not include the
following areas owned or controlled by
the Department of Defense, or
designated for its use, that are subject to
an integrated natural resources
management plan prepared under
section 101 of the Sikes Act (16 U.S.C.
670a):
(1) Camp Pendleton Marine Corps
Base;
(2) Vandenberg Air Force Base;
(3) Camp San Luis Obispo;
(4) Camp Roberts; and
(5) Mare Island Army Reserve Center.
(f) California Coastal Chinook Salmon
(Oncorhynchus tshawytscha). Critical
habitat is designated to include the
areas defined in the following
CALWATER Hydrologic units:
(1) Redwood Creek Hydrologic Unit
1107—(i) Orick Hydrologic Sub-area
110710. Outlet(s) = Redwood Creek (Lat
–41.2923, Long –124.0917) upstream to
endpoint(s) in: Boyes Creek (41.3639,
–123.9845); Bridge Creek (41.137,
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–124.0012); Brown Creek (41.3986,
–124.0012); Emerald (Harry Weir)
(41.2142, –123.9812); Godwood Creek
(41.3889, –124.0312); Larry Dam Creek
(41.3359, –124.003); Little Lost Man
Creek (41.2944, –124.0014); Lost Man
Creek (41.3133, –123.9854); May Creek
(41.3547, –123.999); McArthur Creek
(41.2705, –124.041); North Fork Lost
Man Creek (41.3374, –123.9935); Prairie
Creek (41.4239, –124.0367); Tom
McDonald (41.1628, –124.0419).
(ii) Beaver Hydrologic Sub-area
110720. Outlet(s) = Redwood Creek (Lat
41.1367, Long –123.9309) upstream to
endpoint(s): Lacks Creek (41.0334,
–123.8124); Minor Creek (40.9706,
–123.7899).
(iii) Lake Prairie Hydrologic Sub-area
110730. Outlet(s) = Redwood Creek (Lat
40.9070, Long –123.8170) upstream to
endpoint(s) in: Redwood Creek
(40.7432, –123.7206).
(2) Trinidad Hydrologic Unit 1108—
(i) Big Lagoon Hydrologic Sub-area
110810. Outlet(s) = Maple Creek (Lat
41.1555, Long –124.1380) upstream to
endpoint(s) in: North Fork Maple Creek
(41.1317, –124.0824); Maple Creek
(41.1239, –124.1041).
(ii) Little River Hydrologic Sub-area
110820. Outlet(s) = Little River
(41.0277, –124.1112) upstream to
endpoint(s) in: South Fork Little River
(40.9908, –124.0412); Little River
(41.0529, –123.9727); Railroad Creek
(41.0464, –124.0475); Lower South Fork
Little River (41.0077, –124.0078); Upper
South Fork Little River (41.0131,
–123.9853).
(3) Mad River Hydrologic Unit 1109—
(i) Blue Lake Hydrologic Sub-area
110910. Outlet(s) = Mad River (Lat
40.9139, Long –124.0642) upstream to
endpoint(s) in: Lindsay Creek (40.983,
–124.0326); Mill Creek (40.9008,
–124.0086); North Fork Mad River
(40.8687, –123.9649); Squaw Creek
(40.9426, –124.0202); Warren Creek
(40.8901, –124.0402).
(ii) North Fork Mad River 110920.
Outlet(s) = North Fork Mad River (Lat
40.8687, Long –123.9649) upstream to
endpoint(s) in: Sullivan Gulch (40.8646,
–123.9553); North Fork Mad River
(40.8837, –123.9436).
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(iii) Butler Valley 110930. Outlet(s) =
Mad River (Lat 40.8449, Long
–123.9807) upstream to endpoint(s) in:
Black Creek (40.7547, –123.9016); Black
Dog Creek (40.8334, –123.9805); Canon
Creek (40.8362, –123.9028); Dry Creek
(40.8218, –123.9751); Mad River
(40.7007, –123.8642); Maple Creek
(40.7928, –123.8742); Unnamed
(40.8186, –123.9769).
(4) Eureka Plain Hydrologic Unit
1110—(i) Eureka Plain Hydrologic Subarea 111000. Outlet(s) = Mad River (Lat
40.9560, Long –124.1278); Jacoby Creek
(40.8436, –124.0834); Freshwater Creek
(40.8088, –124.1442); Elk River
(40.7568, –124.1948); Salmon Creek
(40.6868, –124.2194) upstream to
endpoint(s) in: Bridge Creek (40.6958,
–124.0795); Dunlap Gulch (40.7101,
–124.1155); Freshwater Creek (40.7389,
–123.9944); Gannon Slough (40.8628,
–124.0818); Jacoby Creek (40.7944,
–124.0093); Little Freshwater Creek
(40.7485, –124.0652); North Branch of
the North Fork Elk River (40.6878,
–124.0131); North Fork Elk River
(40.6756, –124.0153); Ryan Creek
(40.7835, –124.1198); Salmon Creek
(40.6438, –124.1319); South Branch of
the North Fork Elk River (40.6691,
–124.0244); South Fork Elk River
(40.6626, –124.061); South Fork
Freshwater Creek (40.7097, –124.0277).
(ii) [Reserved]
(5) Eel River Hydrologic Unit 1111—
(i) Ferndale Hydrologic Sub-area
111111. Outlet(s) = Eel River (Lat
40.6282, Long –124.2838) upstream to
endpoint(s) in: Atwell Creek (40.472,
–124.1449); Howe Creek (40.4748,
–124.1827); Price Creek (40.5028,
–124.2035); Strongs Creek (40.5986,
–124.1222); Van Duzen River (40.5337,
–124.1262).
(ii) Scotia Hydrologic Sub-area
111112. Outlet(s) = Eel River (Lat
40.4918, Long –124.0998) upstream to
endpoint(s) in: Bear Creek (40.391,
–124.0156); Chadd Creek (40.3921,
–123.9542); Jordan Creek (40.4324,
–124.0428); Monument Creek (40.4676,
–124.1133).
(iii) Larabee Creek Hydrologic Subarea 111113. Outlet(s) = Larabee Creek
(40.4090, Long –123.9334) upstream to
endpoint(s) in: Carson Creek (40.4189,
–123.8881); Larabee Creek (40.3950,
–123.8138).
(iv) Hydesville Hydrologic Sub-area
111121. Outlet(s) = Van Duzen River
(Lat 40.5337, Long –124.1262) upstream
to endpoint(s) in: Cummings Creek
(40.5258, –123.9896); Fielder Creek
(40.5289, –124.0201); Hely Creek
(40.5042, –123.9703); Yager Creek
(40.5583, –124.0577).
(v) Yager Creek Hydrologic Sub-area
111123. Outlet(s) = Yager Creek (Lat
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40.5583, Long –124.0577) upstream to
endpoint(s) in: Corner Creek (40.6189,
–123.9994); Fish Creek (40.6392,
–124.0032); Lawrence Creek (40.6394,
–123.9935); Middle Fork Yager Creek
(40.5799, –123.9015); North Fork Yager
Creek (40.6044, –123.9084); Owl Creek
(40.5557, –123.9362); Shaw Creek
(40.6245, –123.9518); Yager Creek
(40.5673, –123.9403).
(vi) Weott Hydrologic Sub-area
111131. Outlet(s) = South Fork Eel River
(Lat 40.3500, Long –213.9305) upstream
to endpoint(s) in: Bridge Creek (40.2929,
–123.8569); Bull Creek (40.3148,
–124.0343); Canoe Creek (40.2909,
–123.922); Cow Creek (40.3583,
–123.9626); Cuneo Creek (40.3377,
–124.0385); Elk Creek (40.2837,
–123.8365); Fish Creek (40.2316,
–123.7915); Harper Creek (40.354,
–123.9895); Mill Creek (40.3509,
–124.0236); Salmon Creek (40.2214,
–123.9059); South Fork Salmon River
(40.1769, –123.8929); Squaw Creek
(40.3401, –123.9997); Tostin Creek
(40.1722, –123.8796).
(vii) Benbow Hydrologic Sub-area
111132. Outlet(s) = South Fork Eel River
(Lat 40.1932, Long –123.7692) upstream
to endpoint(s) in: Anderson Creek
(39.9337, –123.8933); Bear Pen Creek
(39.9125, –123.8108); Bear Wallow
Creek (39.7296, –123.7172); Bond Creek
(39.7856, –123.6937); Butler Creek
(39.7439, –123.692); China Creek
(40.1035, –123.9493); Connick Creek
(40.0911, –123.8187); Cox Creek
(40.0288, –123.8542); Cummings Creek
(39.8431, –123.5752); Dean Creek
(40.1383, –123.7625); Dinner Creek
(40.0915, –123.937); East Branch South
Fork Eel River (39.9433, –123.6278); Elk
Creek (39.7986, –123.5981); Fish Creek
(40.0565, –123.7768); Foster Creek
(39.8455, –123.6185); Grapewine Creek
(39.7991, –123.5186); Hartsook Creek
(40.012, –123.7888); Hollow Tree Creek
(39.7316, –123.6918); Huckleberry Creek
(39.7315, –123.7253); Indian Creek
(39.9464, –123.8993); Jones Creek
(39.9977, –123.8378); Leggett Creek
(40.1374, –123.8312); Little Sproul Creel
(40.0897, –123.8585); Low Gap Creek
(39.993, –123.767); McCoy Creek
(39.9598, –123.7542); Michael’s Creek
(39.7642, –123.7175); Miller Creek
(40.1215, –123.916); Moody Creek
(39.9531, –123.8819); Mud Creek
(39.8232, –123.6107); Piercy Creek
(39.9706, –123.8189); Pollock Creek
(40.0822, –123.9184); Rattlesnake Creek
(39.7974, –123.5426); Redwood Creek
(39.7721, –123.7651); Redwood Creek
(40.0974, –123.9104); Seely Creek
(40.1494, –123.8825); Somerville Creek
(40.0896, –123.8913); South Fork
Redwood Creek (39.7663, –123.7579);
Spoul Creek (40.0125, –123.8585);
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Standley Creek (39.9479, –123.8083);
Tom Long Creek (40.0315, –123.6891);
Twin Rocks Creek (39.8269, –123.5543);
Warden Creek (40.0625, –123.8546);
West Fork Sproul Creek (40.0386,
–123.9015); Wildcat Creek (39.9049,
–123.7739); Wilson Creek (39.841,
–123.6452); Unnamed Tributary
(40.1136, –123.9359).
(viii) Laytonville Hydrologic Sub-area
111133. Outlet(s) = South Fork Eel River
(Lat 39.7665, Long –123.6484) )
upstream to endpoint(s) in: Bear Creek
(39.6413, –123.5797); Cahto Creek
(39.6624, –123.5453); Dutch Charlie
Creek (39.6892, –123.6818); Grub Creek
(39.7777, –123.5809); Jack of Hearts
Creek (39.7244, –123.6802); Kenny
Creek (39.6733, –123.6082); Mud Creek
(39.6561, –123.592); Redwood Creek
(39.6738, –123.6631); Rock Creek
(39.6931, –123.6204); South Fork Eel
River (39.6271, –123.5389); Streeter
Creek (39.7328, –123.5542); Ten Mile
Creek (39.6651, –123.451).
(ix) Sequoia Hydrologic Sub-area
111141. Outlet(s) = Eel River (Lat
40.3557, Long –123.9191); South Fork
Eel River (40.3558, –123.9194) upstream
to endpoint(s) in: Brock Creek (40.2411,
–123.7248); Dobbyn Creek (40.2216,
–123.6029); Hoover Creek (40.2312,
–123.5792); Line Gulch (40.1655,
–123.4831); North Fork Dobbyn Creek
(40.2669, –123.5467); South Fork
Dobbyn Creek (40.1723, –123.5112);
South Fork Eel River (40.35, –123.9305);
Unnamed Tributary (40.3137,
–123.8333); Unnamed Tributary
(40.2715, –123.549).
(x) Spy Rock Hydrologic Sub-area
111142. Outlet(s) = Eel River (Lat
40.1736, Long –123.6043) upstream to
endpoint(s) in: Bell Springs Creek
(39.9399, –123.5144); Burger Creek
(39.6943, –123.413); Chamise Creek
(40.0563, –123.5479); Jewett Creek
(40.1195, –123.6027); Kekawaka Creek
(40.0686, –123.4087); Woodman Creek
(39.7639, –123.4338).
(xi) North Fork Eel River Hydrologic
Sub-area 111150. Outlet(s) = North Fork
Eel River (Lat 39.9567, Long –123.4375)
upstream to endpoint(s) in: North Fork
Eel River (39.9370, –123.3758).
(xii) Outlet Creek Hydrologic Sub-area
111161. Outlet(s) = Outlet Creek (Lat
39.6263, Long –123.3453) upstream to
endpoint(s) in: Baechtel Creek (39.3688,
–123.4028); Berry Creek (39.4272,
–123.2951); Bloody Run (39.5864,
–123.3545); Broaddus Creek (39.3907,
–123.4163); Davis Creek (39.3701,
–123.3007); Dutch Henry Creek
(39.5788, –123.4543); Haehl Creek
(39.3795, –123.3393); Long Valley Creek
(39.6091, –123.4577); Ryan Creek
(39.4803, –123.3642); Upp Creek
(39.4276, –123.3578); Upp Creek
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(39.4276, –123.3578); Willits Creek
(39.4315, –123.3794).
(xiii) Tomki Creek Hydrologic Subarea 111162. Outlet(s) = Eel River (Lat
39.7138, Long –123.3531) upstream to
endpoint(s) in: Cave Creek (39.3925,
–123.2318); Long Branch Creek
(39.4074, –123.1897); Rocktree Creek
(39.4533, –123.3079); Salmon Creek
(39.4461, –123.2104); Scott Creek
(39.456, –123.2297); String Creek
(39.4855, –123.2891); Tomki Creek
(39.549, –123.3613); Wheelbarrow Creek
(39.5029, –123.3287).
(xiv) Lake Pillsbury Hydrologic Subarea 111163. Outlet(s) = Eel River (Lat
39.3860, Long –123.1163) upstream to
endpoint(s) in: Eel River (39.4078,
–122.958).
(xv) Eden Valley Hydrologic Sub-area
111171. Outlet(s) = Middle Fork Eel
River (Lat 39.8146, Long –123.1332)
upstream to endpoint(s) in: Middle Fork
Eel River (39.8145, –123.1333).
(xvi) Round Valley Hydrologic Subarea 111172. Outlet(s) = Mill Creek (Lat
39.7396, Long –123.1420); Williams
Creek (39.8145, –123.1333) upstream to
endpoint(s) in: Mill Creek (39.8456,
–123.2822); Murphy Creek (39.8804,
–123.1636); Poor Mans Creek (39.8179,
–123.1833); Short Creek (39.8645,
–123.2242); Turner Creek (39.7238,
–123.2191); Williams Creek (39.8596,
–123.1341).
(6) Cape Mendocino Hydrologic Unit
1112—(i) Capetown Hydrologic Subarea 111220. Outlet(s) = Bear River (Lat
40.4744, Long –124.3881) upstream to
endpoint(s) in: Bear River (40.3591,
–124.0536); South Fork Bear River
(40.4271, –124.2873).
(ii) Mattole River Hydrologic Sub-area
111230. Outlet(s) = Mattole River (Lat
40.2942, Long –124.3536) upstream to
endpoint(s) in: Bear Creek (40.1262,
–124.0631); Blue Slide Creek (40.1286,
–123.9579); Bridge Creek (40.0503,
–123.9885); Conklin Creek (40.3169,
–124.229); Dry Creek (40.2389,
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–124.0621); East Fork Honeydew Creek
(40.1633, –124.0916); East Fork of the
North Fork Mattole River (40.3489,
–124.2244); Eubanks Creek (40.0893,
–123.9743); Gilham Creek (40.2162,
–124.0309); Grindstone Creek (40.1875,
–124.0041); Honeydew Creek (40.1942,
–124.1363); Mattole Canyon (40.1833,
–123.9666); Mattole River (39.9735,
–123.9548); McGinnis Creek (40.3013,
–124.2146); McKee Creek (40.0674,
–123.9608); Mill Creek (40.0169,
–123.9656); North Fork Mattole River
(40.3729, –124.2461); North Fork Bear
Creek (40.1422, –124.0945); Oil Creek
(40.3008, –124.1253); Rattlesnake Creek
(40.2919, –124.1051); South Fork Bear
Creek (40.0334, –124.0232); Squaw
Creek (40.219, –124.1921); Thompson
Creek (39.9969, –123.9638); Unnamed
(40.1522, –124.0989); Upper North Fork
Mattole River (40.2907, –124.1115);
Westlund Creek (40.2333, –124.0336);
Woods creek (40.2235, –124.1574); Yew
Creek (40.0019, –123.9743).
(7) Mendocino Coast Hydrologic Unit
1113—(i) Wages Creek Hydrologic Subarea 111312. Outlet(s) = Wages Creek
(Lat 39.6513, Long –123.7851) upstream
to endpoint(s) in: Wages Creek (39.6393,
–123.7146).
(ii) Ten Mile River Hydrologic Subarea 111313. Outlet(s) = Ten Mile River
(Lat 39.5529, Long –123.7658) upstream
to endpoint(s) in: Middle Fork Ten Mile
River (39.5397, –123.5523); Little North
Fork Ten Mile River (39.6188,
–123.7258); Ten Mile River (39.5721,
–123.7098); South Fork Ten Mile River
(39.4927, –123.6067); North Fork Ten
Mile River (39.5804, –123.5735).
(iii) Noyo River Hydrologic Sub-area
111320. Outlet(s) = Noyo River (Lat
39.4274, Long –123.8096) upstream to
endpoint(s) in: North Fork Noyo River
(39.4541, –123.5331); Noyo River
(39.431, 123.494); South Fork Noyo
River (39.3549, –123.6136).
(iv) Big River Hydrologic Sub-area
111330. Outlet(s) = Big River (Lat
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39.3030, Long –123.7957) upstream to
endpoint(s) in: Big River (39.3095,
–123.4454).
(v) Albion River Hydrologic Sub-area
111340. Outlet(s) = Albion River (Lat
39.2253, Long –123.7679) upstream to
endpoint(s) in: Albion River (39.2644,
–123.6072).
(vi) Garcia River Hydrologic Sub-area
111370. Outlet(s) = Garcia River (Lat
38.9455, Long –123.7257) upstream to
endpoint(s) in: Garcia River (38.9160,
–123.4900).
(8) Russian River Hydrologic Unit
1114—(i) Guerneville Hydrologic Subarea 111411. Outlet(s) = Russian River
(Lat 38.4507, Long –123.1289) upstream
to endpoint(s) in: Austin Creek
(38.5099, –123.0681); Mark West Creek
(38.4961, –122.8489).
(ii) Austin Creek Hydrologic Sub-area
111412. Outlet(s) = Austin Creek (Lat
38.5099, Long –123.0681) upstream to
endpoint(s) in: Austin Creek (38.5326,
–123.0844).
(iii) Warm Springs Hydrologic Subarea 111424. Outlet(s) = Dry Creek (Lat
38.5861, Long –122.8573) upstream to
endpoint(s) in: Dry Creek (38.7179,
–123.0075).
(iv) Geyserville Hydrologic Sub-area
111425. Outlet(s) = Russian River (Lat
38.6132, Long –122.8321) upstream.
(v) Ukiah Hydrologic Sub-area
111431. Outlet(s) = Russian River (Lat
38.8828, Long –123.0557) upstream to
endpoint(s) in: Feliz Creek (38.9941,
–123.1779).
(vi) Forsythe Creek Hydrologic Subarea 111433. Outlet(s) = Russian River
(Lat 39.2257, Long –123.2012) upstream
to endpoint(s) in: Forsythe Creek
(39.2780, –123.2608); Russian River
(39.3599, –123.2326).
(9) Maps of critical habitat for the
California Coast chinook salmon ESU
follow:
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(g) Northern California Steelhead (O.
mykiss). Critical habitat is designated to
include the areas defined in the
following CALWATER Hydrologic
units:
(1) Redwood Creek Hydrologic Unit
1107—(i) Orick Hydrologic Sub-area
110710. Outlet(s) = Boat Creek (Lat
41.4059, Long –124.0675); Home Creek
(41.4027, –124.0683); Redwood Creek
(41.2923, –124.0917); Squashan Creek
(41.3889, –124.0703) upstream to
endpoint(s) in: Boat Creek (41.4110,
–124.0583); Bond Creek (41.2326,
–124.0262); Boyes Creek (41.3701,
–124.9891); Bridge Creek (41.1694,
–123.9964); Brown Creek (41.3986,
–124.0012); Cloquet Creek (41.2466,
–123.9884); Cole Creek (41.2209,
–123.9931); Copper Creek (41.1516,
–123.9258); Dolason Creek (41.1969,
–123.9667); Elam Creek (41.2613,
–124.0321); Emerald Creek (41.2164,
–123.9808); Forty Four Creek (41.2187,
–124.0195); Gans South Creek (41.2678,
–124.0071); Godwood Creek (41.3787,
–124.0354); Hayes Creek (41.2890,
–124.0164); Home Creek (41.3951,
–124.0386); Larry Dam Creek (41.3441,
–123.9966); Little Lost Man Creek
(41.3078, –124.0084); Lost Man Creek
(41.3187, –123.9892); May Creek
(41.3521, –124.0164); McArthur Creek
(41.2702, –124.0427); Miller Creek
(41.2305, –124.0046); North Fork Lost
Man Creek (41.3405, –123.9859); Oscar
Larson Creek (41.2559, –123.9943);
Prairie Creek (41.4440, –124.0411);
Skunk Cabbage Creek (41.3211,
–124.0802); Slide Creek (41.1736,
–123.9450); Squashan Creek (41.3739,
–124.0440); Streelow Creek (41.3622,
–124.0472); Tom McDonald Creek
(41.1933, –124.0164); Unnamed
Tributary (41.3619, –123.9967);
Unnamed Tributary (41.3424,
–124.0572).
(ii) Beaver Hydrologic Sub-area
110720. Outlet(s) = Redwood Creek (Lat
41.1367, Long –123.9309) upstream to
endpoint(s) in: Beaver Creek (41.0208,
–123.8608); Captain Creek (40.9199,
–123.7944); Cashmere Creek (41.0132,
–123.8862); Coyote Creek (41.1251,
–123.8926); Devils Creek (41.1224,
–123.9384); Garcia Creek (41.0180,
–123.8923); Garrett Creek (41.0904,
–123.8712); Karen Court Creek (41.0368,
–123.8953); Lacks Creek (41.0306,
–123.8096); Loin Creek (40.9465,
–123.8454); Lupton Creek (40.9058,
–123.8286); Mill Creek (41.0045,
–123.8525); Minor Creek (40.9706,
–123.7899); Molasses Creek (40.9986,
–123.8490); Moon Creek (40.9807,
–123.8368); Panther Creek (41.0732,
–123.9275); Pilchuck Creek (41.9986,
–123.8710); Roaring Gulch (41.0319,
–123.8674); Santa Fe Creek (40.9368,
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–123.8397); Sweathouse Creek (40.9332,
–123.8131); Toss–Up Creek (40.9845,
–123.8656); Unnamed Tributary
(41.1270, –123.8967); Wiregrass Creek
(40.9652, –123.8553).
(iii) Lake Prairie Hydrologic Sub-area
110730. Outlet(s) = Redwood Creek (Lat
40.9070, Long –123.8170) upstream to
endpoint(s) in: Bradford Creek (40.7812,
–123.7215); Cut–Off Meander (40.8507,
–123.7729); Emmy Lou Creek (40.8655,
–123.7771); Gunrack Creek (40.8391,
–123.7650); High Prairie Creek (40.8191,
–123.7723); Jena Creek (40.8742,
–123.8065); Lake Prairie Creek (40.7984,
–123.7558); Lupton Creek (40.9058,
–123.8286); Minon Creek (40.8140,
–123.7372); Noisy Creek (40.8613,
–123.8044); Pardee Creek (40.7779,
–123.7416); Redwood Creek (40.7432,
–123.7206); Simion Creek (40.8241,
–123.7560); Six Rivers Creek (40.8352,
–123.7842); Smokehouse Creek
(40.7405, –123.7278); Snowcamp Creek
(40.7415, –123.7296); Squirrel Trail
Creek (40.8692, –123.7844); Twin Lakes
Creek (40.7369, –123.7214); Panther
Creek (40.8019, –123.7094); Windy
Creek (40.8866, –123.7956).
(2) Trinidad Hydrologic Unit 1108—
(i) Big Lagoon Hydrologic Sub-area
110810. Outlet(s) = Maple Creek (Lat
41.1555, Long –124.1380); McDonald
Creek (41.2521, –124.0919) upstream to
endpoint(s) in: Beach Creek (41.0716,
–124.0239); Clear Creek (41.1031,
–124.0030); Diamond Creek (41.1571,
–124.0926); Maple Creek (41.0836,
–123.9790); McDonald Creek (41.1850,
–124.0773); M-Line Creek (41.0752,
–124.0787); North Fork Maple Creek
(41.1254, –124.0539); North Fork
McDonald Creek (41.2107, –124.0664);
Pitcher Creek (41.1518, –124.0874);
South Fork Maple Creek (41.1003,
–124.1119); Tom Creek (41.1773,
–124.0966); Unnamed Tributary
(41.1004, –124.0155); Unnamed
Tributary (41.0780, –124.0676);
Unnamed Tributary (41.1168,
–124.0886); Unnamed Tributary
(41.0864, –124.0899); Unnamed
Tributary (41.1132, –124.0827);
Unnamed Tributary (41.0749,
–124.0889); Unnamed Tributary
(41.1052, –124.0675); Unnamed
Tributary (41.0714, –124.0611);
Unnamed Tributary (41.0948,
–124.0016).
(ii) Little River Hydrologic Sub-area
110820. Outlet(s) = Little River (Lat
41.0277, Long –124.1112) upstream to
endpoint(s) in: Freeman Creek (41.0242,
–124.0582); Little River (40.9999,
–123.9232); Lower South Fork Little
River (41.0077, –124.0079); Railroad
Creek (41.0468, –124.0466); South Fork
Little River (40.9899, –124.0394);
Unnamed Tributary (41.0356,
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–123.9958); Unnamed Tributary
(41.0407, –124.0598); Unnamed
Tributary (41.0068, –123.9830);
Unnamed Tributary (41.0402,
–124.0111); Unnamed Tributary
(41.0402, –124.0189); Unnamed
Tributary (41.0303, –124.0366);
Unnamed Tributary (41.0575,
–123.9710); Unnamed Tributary
(41.0068, –123.9830); Upper South Fork
Little River (41.0146, –123.9826).
(3) Mad River Hydrologic Unit 1109—
(i) Blue Lake Hydrologic Sub-area
110910. Outlet(s) = Mad River (Lat
40.9139, Long –124.0642); Strawberry
Creek (40.9964, –124.1155); Widow
White Creek (40.9635, –124.1253)
upstream to endpoint(s) in: Boundary
Creek (40.8395, –123.9920); Grassy
Creek (40.9314, –124.0188); Hall Creek
(40.9162, –124.0141); Kelly Creek
(40.8656, –124.0260); Leggit Creek
(40.8808, –124.0269); Lindsay Creek
(40.9838, –124.0283); Mather Creek
(40.9796, –124.0526); Mill Creek
(40.9296, –124.1037); Mill Creek
(40.9162, –124.0141); Mill Creek
(40.8521, –123.9617); North Fork Mad
River (40.8687, –123.9649); Norton
Creek (40.9572, –124.1003); Palmer
Creek (40.8633, –124.0193); Puter Creek
(40.8474, –123.9966); Quarry Creek
(40.8526, –124.0098); Squaw Creek
(40.9426, –124.0202); Strawberry Creek
(40.9761, –124.0630); Unnamed
Tributary (40.9624, –124.0179);
Unnamed Tributary (40.9549,
–124.0554); Unnamed Tributary
(40.9672, –124.0218); Warren Creek
(40.8860, –124.0351); Widow White
Creek (40.9522, –124.0784).
(ii) North Fork Mad River Hydrologic
Sub-area 110920. Outlet(s) = North Fork
Mad River (Lat 40.8687, Long
–123.9649) upstream to endpoint(s) in:
Bald Mountain Creek (40.8922,
–123.9097); Canyon Creek (40.9598,
–123.9269); Denman Creek (40.9293,
–123.9429); East Fork North Fork
(40.9702, –123.9449); Gosinta Creek
(40.9169, –123.9420); Hutchery Creek
(40.8730, –123.9503); Jackson Creek
(40.9388, –123.9462); Krueger Creek
(40.9487, –123.9571); Long Prairie Creek
(40.9294, –123.8842); Mule Creek
(40.9416, –123.9309); North Fork Mad
River (40.9918, –123.9610); Pine Creek
(40.9274, –123.9096); Pollock Creek
(40.9081, –123.9071); Sullivan Gulch
(40.8646, –123.9553); Tyson Creek
(40.9559, –123.9738); Unnamed
Tributary (40.9645, –123.9338);
Unnamed Tributary (40.9879,
–123.9511); Unnamed Tributary
(40.9906, –123.9540); Unnamed
Tributary (40.9866, –123.9788);
Unnamed Tributary (40.9927,
–123.9736).
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(iii) Butler Valley Hydrologic Sub-area
110930. Outlet(s) = Mad River (Lat
40.8449, Long –123.9807) upstream to
endpoint(s) in: Bear Creek (40.5468,
–123.6728); Black Creek (40.7521,
–123.9080); Black Dog Creek (40.8334,
–123.9805); Blue Slide Creek (40.7333,
–123.9225); Boulder Creek (40.7634,
–123.8667); Bug Creek (40.6587,
–123.7356); Cannon Creek (40.8535,
–123.8850); Coyote Creek (40.6147,
–123.6488); Devil Creek (40.8032,
–123.9175); Dry Creek (40.8218,
–123.9751); East Creek (40.5403,
–123.5579); Maple Creek (40.7933,
–123.8353); Pilot Creek (40.5950,
–123.5888); Simpson Creek (40.8138,
–123.9156); Unnamed Tributary
(40.7306, –123.9019); Unnamed
Tributary (40.7739, –123.9255);
Unnamed Tributary (40.7744,
–123.9137); Unnamed Tributary
(40.8029, –123.8716); Unnamed
Tributary (40.8038, –123.8691);
Unnamed Tributary (40.8363,
–123.9025).
(4) Eureka Plain Hydrologic Unit
1110—(i) Eureka Plain Hydrologic Subarea 111000.
Outlet(s) = Elk River (Lat 40.7568,
Long –124.1948); Freshwater Creek
(40.8088, –124.1442); Jacoby Creek
(40.8436, –124.0834); Mad River
(40.9560, –124.1278); Rocky Gulch
(40.8309, –124.0813); Salmon Creek
(40.6868, –124.2194); Washington Gulch
(40.8317, –124.0805) upstream to
endpoint(s) in: Bridge Creek (40.6958,
–124.0805); Browns Gulch (40.7038,
–124.1074); Clapp Gulch (40.6967,
–124.1684); Cloney Gulch (40.7826,
–124.0347); Doe Creek (40.6964,
–124.0201); Dunlap Gulch (40.7076,
–124.1182); Falls Gulch (40.7655,
–124.0261); Fay Slough (40.8033,
–124.0574); Freshwater Creek (40.7385,
–124.0035); Golf Course Creek (40.8406,
–124.0402); Graham Gulch (40.7540,
–124.0228); Guptil Gulch (40.7530,
–124.1202); Henderson Gulch (40.7357,
–124.1394); Jacoby Creek (40.7949,
–124.0096); Lake Creek (40.6848,
–124.0831); Line Creek (40.6578,
–124.0460); Little Freshwater Creek
(40.7371, –124.0649); Little North Fork
Elk River (40.6972, –124.0100); Little
South Fork Elk River (40.6555,
–124.0877); Martin Slough (40.7679,
–124.1578); McCready Gulch (40.7824,
–124.0441); McWinney Creek (40.6968,
–124.0616); Morrison Gulch (40.8169,
–124.0430); North Branch of the North
Fork Elk River (40.6879, –124.0130);
North Fork Elk River (40.6794–
123.9834); Railroad Gulch (40.6955,
–124.1545); Rocky Gulch (40.8170,
–124.0613); Ryan Creek (40.7352,
–124.0996); Salmon Creek (40.6399,
–124.1128); South Branch of the North
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Fork Elk River (40.6700, –124.0251);
South Fork Elk River (40.6437,
–124.0388); South Fork Freshwater
Creek (40.7110, –124.0367); Swain
Slough (40.7524, –124.1825); Tom
Gulch (40.6794, –124.1452); Unnamed
Tributary (40.7850, –124.0561);
Unnamed Tributary (40.7496,
–124.1651); Unnamed Tributary
(40.7785,—124.1081); Unnamed
Tributary (40.7667, –124.1054);
Unnamed Tributary (40.7559,
–124.0870); Unnamed Tributary
(40.7952, –124.0568); Unnamed
Tributary (40.7408, –124.1118);
Unnamed Tributary (40.7186,
–124.1385); Unnamed Tributary
(40.7224, –124.1038); Unnamed
Tributary (40.8210, –124.0111);
Unnamed Tributary (40.8106,
–124.0083); Unnamed Tributary
(40.7554, –124.1379); Unnamed
Tributary (40.7457, –124.1138);
Washington Gulch (40.8205, –124.0549).
(ii) [Reserved]
(5) Eel River Hydrologic Unit 1111—
(i) Ferndale Hydrologic Sub-area
111111. Outlet(s) = Eel River (Lat
40.6275, Long –124.2520) upstream to
endpoint(s) in: Atwell Creek (40.4824,
–124.1498); Dean Creek (40.4847,
–124.1217); Horse Creek (40.5198,
–124.1702); Howe Creek (40.4654,
–124.1916); Nanning Creek (40.4914,
–124.0652); North Fork Strongs Creek
(40.6077, –124.1047); Price Creek
(40.5101, –124.2731); Rohner Creek
(40.6151, –124.1408); Strongs Creek
(40.5999, –124.0985); Sweet Creek
(40.4900, –124.2007); Van Duzen River
(40.5337, –124.1262).
(ii) Scotia Hydrologic Sub-area
111112. Outlet(s) = Eel River (Lat
40.4918, Long –124.0988) upstream to
endpoint(s) in: Bear Creek (40.3942,
–124.0262); Bridge Creek (40.4278,
–123.9317); Chadd Creek (40.3919,
–123.9540); Darnell Creek (40.4533,
–123.9808); Dinner Creek (40.4406,
–124.0855); Greenlow Creek (40.4315,
–124.0231); Jordan Creek (40.4171,
–124.0517); Kiler Creek (40.4465,
–124.0952); Monument Creek (40.4371,
–124.1165); Shively Creek (40.4454,
–123.9539); South Fork Bear Creek
(40.3856, –124.0182); Stitz Creek
(40.4649, –124.0531); Twin Creek
(40.4419, –124.0714); Unnamed
Tributary (40.3933, –123.9984); Weber
Creek (40.3767, –123.9094).
(iii) Larabee Creek Hydrologic Subarea 111113. Outlet(s) = Larabee Creek
(Lat 40.4090, Long –123.9334) upstream
to endpoint(s) in: Arnold Creek
(40.4006, –123.8583); Balcom Creek
(40.4030, –123.8986); Bosworth Creek
(40.3584, –123.7089); Boulder Flat
Creek (40.3530, –123.6381); Burr Creek
(40.4250, –123.7767); Carson Creek
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(40.4181, –123.8879); Chris Creek
(40.4146, –123.9235); Cooper Creek
(40.3123, –123.6463); Dauphiny Creek
(40.4049, –123.8893); Frost Creek
(40.3765, –123.7357); Hayfield Creek
(40.3350, –123.6535); Knack Creek
(40.3788, –123.7385); Larabee Creek
(40.2807, –123.6445); Martin Creek
(40.3730, –123.7060); Maxwell Creek
(40.3959, –123.8049); McMahon Creek
(40.3269, –123.6363); Mill Creek
(40.3849, –123.7440); Mountain Creek
(40.2955, –123.6378); Scott Creek
(40.4020, –123.8738); Smith Creek
(40.4194, –123.8568); Thurman Creek
(40.3506, –123.6669); Unnamed
Tributary (40.3842, –123.8062);
Unnamed Tributary (40.3982,
–123.7862); Unnamed Tributary
(40.3806, –123.7564); Unnamed
Tributary (40.3661, –123.7398);
Unnamed Tributary (40.3524,
–123.7330).
(iv) Hydesville Hydrologic Sub-area
111121. Outlet(s) = Van Duzen River
(Lat 40.5337, Long –124.1262) upstream
to endpoint(s) in: Cuddeback Creek
(40.5421, –124.0263); Cummings Creek
(40.5282, –123.9770); Fiedler Creek
(40.5351, –124.0106); Hely Creek
(40.5165, –123.9531); Yager Creek
(40.5583, –124.0577); Unnamed
Tributary (40.5718, –124.0946).
(v) Bridgeville Hydrologic Sub-area
111122. Outlet(s) = Van Duzen River
(Lat 40.4942, Long –123.9720) upstream
to endpoint(s) in: Bear Creek (40.3455,
–123.5763); Blanket Creek (40.3635,
–123.5710); Browns Creek (40.4958,
–123.8103); Butte Creek (40.4119,
–123.7047); Dairy Creek (40.4174,
–123.5981); Fish Creek (40.4525,
–123.8434); Grizzly Creek (40.5193,
–123.8470); Little Larabee Creek
(40.4708, –123.7395); Little Van Duzen
River (40.3021, –123.5540); North Fork
Van Duzen (40.4881, –123.6411);
Panther Creek (40.3921, –123.5866);
Root Creek (40.4490, –123.9018);
Stevens Creek (40.5062, –123.9073);
Thompson Creek (40.4222, –123.6084);
Van Duzen River (40.4820, –123.6629);
Unnamed Tributary (40.3074,
–123.5834).
(vi) Yager Creek Hydrologic Sub-area
111123. Outlet(s) = Yager Creek (Lat
40.5583, Long –124.0577) upstream to
endpoint(s) in: Bell Creek (40.6809,
–123.9685); Blanten Creek (40.5839,
–124.0165); Booths Run (40.6584,
–123.9428); Corner Creek (40.6179,
–124.0010); Fish Creek (40.6390,
–124.0024); Lawrence Creek (40.6986,
–123.9314); Middle Fork Yager Creek
(40.5782, –123.9243); North Fork Yager
Creek (40.6056, –123.9080); Shaw Creek
(40.6231, –123.9509); South Fork Yager
Creek (40.5451, –123.9409); Unnamed
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Tributary (40.5892, –123.9663); Yager
Creek (40.5673, –123.9403).
(vii) Weott Hydrologic Sub-area
111131. Outlet(s) = South Fork Eel River
(Lat 40.3500, Long –123.9305) upstream
to endpoint(s) in: Albee Creek (40.3592,
–124.0088); Bull Creek (40.3587,
–123.9624); Burns Creek (40.3194,
–124.0420); Butte Creek (40.1982,
–123.8387); Canoe Creek (40.2669,
–123.9556); Coon Creek (40.2702,
–123.9013); Cow Creek (40.2664,
–123.9838); Cuneo Creek (40.3401,
–124.0494); Decker Creek (40.3312,
–123.9501); Elk Creek (40.2609,
–123.7957); Fish Creek (40.2459,
–123.7729); Harper Creek (40.3591,
–123.9930); Mill Creek (40.3568,
–124.0333); Mowry Creek (40.2937,
–123.8895); North Fork Cuneo Creek
(40.3443, –124.0488); Ohman Creek
(40.1924, –123.7648); Panther Creek
(40.2775, –124.0289); Preacher Gulch
(40.2944, –124.0047); Salmon Creek
(40.2145, –123.8926); Slide Creek
(40.3011, –124.0390); South Fork
Salmon Creek (40.1769, –123.8929);
Squaw Creek (40.3167, –123.9988);
Unnamed Tributary (40.3065,
–124.0074); Unnamed Tributary
(40.2831, –124.0359).
(viii) Benbow Hydrologic Sub-area
111132. Outlet(s) = South Fork Eel River
(Lat 40.1929, Long –123.7692) upstream
to endpoint(s) in: Anderson Creek
(39.9325, –123.8928); Bear Creek
(39.7885, –123.7620); Bear Pen Creek
(39.9201, –123.7986); Bear Wallow
Creek (39.7270, –123.7140); Big Dan
Creek (39.8430, –123.6992); Bond Creek
(39.7778, –123.7060); Bridges Creek
(39.9087, –123.7142); Buck Mountain
Creek (40.0944, –123.7423); Butler
Creek (39.7423, –123.6987); Cedar Creek
(39.8834, –123.6216); China Creek
(40.1035, –123.9493); Connick Creek
(40.0912, –123.8154); Cox Creek
(40.0310, –123.8398); Cruso Cabin Creek
(39.9281, –123.5842); Durphy Creek
(40.0205, –123.8271); East Branch South
Fork Eel River (39.9359, –123.6204);
Elkhorn Creek (39.9272, –123.6279);
Fish Creek (40.0390, –123.7630);
Hartsook Creek (40.0081, –123.8113);
Hollow Tree Creek (39.7250,
–123.6924); Huckleberry Creek (39.7292,
–123.7275); Indian Creek (39.9556,
–123.9172); Islam John Creek (39.8062,
–123.7363); Jones Creek (39.9958,
–123.8374); Leggett Creek (40.1470,
–123.8375); Little Sproul Creek
(40.0890, –123.8577); Lost Man Creek
(39.7983, –123.7287); Low Gap Creek
(39.8029, –123.6803); Low Gap Creek
(39.9933, –123.7601); McCoy Creek
(39.9572, –123.7369); Michael’s Creek
(39.7665, –123.7035); Middle Creek
(39.8052, –123.7691); Milk Ranch Creek
(40.0102, –123.7514); Mill Creek
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(39.8673, –123.7605); Miller Creek
(40.1319, –123.9302); Moody Creek
(39.9471, –123.8827); Mule Creek
(39.8169, –123.7745); North Fork Cedar
Creek (39.8864, –123.6363); North Fork
McCoy Creek (39.9723, –123.7496);
Piercy Creek (39.9597, –123.8442);
Pollock Creek (40.0802, –123.9341); Red
Mountain Creek (39.9363, –123.7203);
Redwood Creek (39.7723, –123.7648);
Redwood Creek (40.0974, –123.9104);
Rock Creek (39.8962, –123.7065);
Sebbas Creek (39.9934, –123.8903);
Somerville Creek (40.1006, –123.8884);
South Fork Mule Creek (39.8174,
–123.7788); South Fork Redwood Creek
(39.7662, –123.7579); Sproul Creek
(40.0226, –123.8649); Squaw Creek
(40.0760, –123.7257); Standly Creek
(39.9327, –123.8309); Tom Long Creek
(40.0175, –123.6551); Waldron Creek
(39.7469, –123.7465); Walter’s Creek
(39.7921, –123.7250); Warden Creek
(40.0629, –123.8551); West Fork Sproul
Creek (40.0587, –123.9170); Wildcat
Creek (39.8956, –123.7820); Unnamed
Tributary (39.9927, –123.8807).
(ix) Laytonville Hydrologic Sub-area
111133. Outlet(s) = South Fork Eel River
(Lat 39.7665, Long –123.6484) upstream
to endpoint(s) in: Bear Creek (39.6418,
–123.5853); Big Rick Creek (39.7117,
–123.5512); Cahto Creek (39.6527,
–123.5579); Dark Canyon Creek
(39.7333, –123.6614); Dutch Charlie
Creek (39.6843, –123.7023); Elder Creek
(39.7234, –123.6192); Fox Creek
(39.7441, –123.6142); Grub Creek
(39.7777, –123.5809); Jack of Hearts
Creek (39.7136, –123.6896); Kenny
Creek (39.6838, –123.5929); Little Case
Creek (39.6892, –123.5441); Mill Creek
(39.6839, –123.5118); Mud Creek
(39.6713, –123.5741); Mud Springs
Creek (39.6929, –123.5629); Redwood
Creek (39.6545, –123.6753); Rock Creek
(39.6922, –123.6090); Section Four
Creek (39.6137, –123.5297); South Fork
Eel River (39.6242, –123.5468); Streeter
Creek (39.7340, –123.5606); Ten Mile
Creek (39.6652, –123.4486); Unnamed
Tributary (39.7004, –123.5678).
(x) Sequoia Hydrologic Sub-area
111141. Outlet(s) = Eel River (Lat
40.3557, Long –123.9191) upstream to
endpoint(s) in: Beatty Creek (40.3198,
–123.7500); Brock Creek (40.2410,
–123.7246); Cameron Creek (40.3313,
–123.7707); Dobbyn Creek (40.2216,
–123.6029); Kapple Creek (40.3531,
–123.8585); Line Gulch Creek (40.1640,
–123.4783); Mud Creek (40.2078,
–123.5143); North Fork Dobbyn Creek
(40.2669, –123.5467); Sonoma Creek
(40.2974, –123.7953); South Fork
Dobbyn Creek (40.1723, –123.5112);
South Fork Eel River (40.3500,
–123.9305); South Fork Thompson
Creek (40.3447, –123.8334); Thompson
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Creek (40.3552, –123.8417); Unnamed
Tributary (40.2745, –123.5487).
(xi) Spy Rock Hydrologic Sub-area
111142. Outlet(s) = Eel River (Lat
40.1736, Long –123.6043) upstream to
endpoint(s) in: Bear Pen Canyon
(39.6943, –123.4359); Bell Springs Creek
(39.9457, –123.5313); Blue Rock Creek
(39.8937, –123.5018); Burger Creek
(39.6693, –123.4034); Chamise Creek
(40.0035, –123.5945); Gill Creek
(39.7879, –123.3465); Iron Creek
(39.7993, –123.4747); Jewett Creek
(40.1122, –123.6171); Kekawaka Creek
(40.0686, –123.4087); Rock Creek
(39.9347, –123.5187); Shell Rock Creek
(39.8414, –123.4614); Unnamed
Tributary (39.7579, –123.4709); White
Rock Creek (39.7646, –123.4684);
Woodman Creek (39.7612, –123.4364).
(xii) Outlet Creek Hydrologic Sub-area
111161. Outlet(s) = Outlet Creek (Lat
39.6265, Long –123.3449) upstream to
endpoint(s) in: Baechtel Creek (39.3623,
–123.4143); Berry Creek (39.4271,
–123.2777); Bloody Run Creek (39.5864,
–123.3545); Broaddus Creek (39.3869,
–123.4282); Cherry Creek (39.6043,
–123.4073); Conklin Creek (39.3756,
–123.2570); Davis Creek (39.3354,
–123.2945); Haehl Creek (39.3735,
–123.3172); Long Valley Creek (39.6246,
–123.4651); Mill Creek (39.4196,
–123.3919); Outlet Creek (39.4526,
–123.3338); Ryan Creek (39.4804,
–123.3644); Unnamed Tributary
(39.4956, –123.3591); Unnamed
Tributary (39.4322, –123.3848);
Unnamed Tributary (39.5793,
–123.4546); Unnamed Tributary
(39.3703, –123.3419); Upp Creek
(39.4479, –123.3825); Willts Creek
(39.4686, –123.4299).
(xiii) Tomki Creek Hydrologic Subarea 111162. Outlet(s) = Eel River (Lat
39.7138, Long –123.3532) upstream to
endpoint(s) in: Cave Creek (39.3842,
–123.2148); Dean Creek (39.6924,
–123.3727); Garcia Creek (39.5153,
–123.1512); Little Cave Creek (39.3915,
–123.2462); Little Creek (39.4146,
–123.2595); Long Branch Creek
(39.4074, –123.1897); Rocktree Creek
(39.4534, –123.3053); Salmon Creek
(39.4367, –123.1939); Scott Creek
(39.4492, –123.2286); String Creek
(39.4658, –123.3206); Tarter Creek
(39.4715, –123.2976); Thomas Creek
(39.4768, –123.1230); Tomki Creek
(39.5483, –123.3687); Whitney Creek
(39.4399, –123.1084); Wheelbarrow
Creek (39.5012, –123.3304).
(xiv) Eden Valley Hydrologic Sub-area
111171. Outlet(s) = Middle Fork Eel
River (Lat 39.7138, Long –123.3532)
upstream to endpoint(s) in: Crocker
Creek (39.5559, –123.0409); Eden Creek
(39.5992, –123.1746); Elk Creek
(39.5371, –123.0101); Hayshed Creek
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(39.7082, –123.0967); Salt Creek
(39.6765, –123.2740); Sportsmans Creek
(39.5373, –123.0247); Sulper Springs
(39.5536, –123.0365); Thatcher Creek
(39.6686, –123.0639).
(xv) Round Valley Hydrologic Subarea 111172. Outlet(s) = Mill Creek (Lat
39.7396, Long –123.1420); Williams
Creek (39.8145, –123.1333) upstream to
endpoint(s) in: Cold Creek (39.8714,
–123.2991); Grist Creek (39.7640,
–123.2883); Mill Creek (39.8481,
–123.2896); Murphy Creek (39.8885,
–123.1612); Short Creek (39.8703,
–123.2352); Town Creek (39.7991,
–123.2889); Turner Creek (39.7218,
–123.2175); Williams Creek (39.8903,
–123.1212); Unnamed Tributary
(39.7428, –123.2757); Unnamed
Tributary (39.7493, –123.2584).
(xvi) Black Butte River Hydrologic
Sub-area 111173. Outlet(s) = Black
Butte River (Lat 39.8239, Long
–123.0880) upstream to endpoint(s) in:
Black Butte River (39.5946, –122.8579);
Buckhorn Creek (39.6563, –122.9225);
Cold Creek (39.6960, –122.9063); Estell
Creek (39.5966, –122.8224); Spanish
Creek (39.6287, –122.8331).
(xvii) Wilderness Hydrologic Sub-area
111174. Outlet(s) = Middle Fork Eel
River (Lat 39.8240, Long –123.0877)
upstream to endpoint(s) in: Beaver
Creek (39.9352, –122.9943); Fossil Creek
(39.9447, –123.0403); Middle Fork Eel
River (40.0780, –123.0442); North Fork
Middle Fork Eel River (40.0727,
–123.1364); Palm of Gileade Creek
(40.0229, –123.0647); Pothole Creek
(39.9347, –123.0440).
(6) Cape Mendocino Hydrologic Unit
1112—(i) Oil Creek Hydrologic Sub-area
111210. Outlet(s) = Guthrie Creek (Lat
40.5407, Long –124.3626); Oil Creek
(40.5195, –124.3767) upstream to
endpoint(s) in: Guthrie Creek (40.5320,
–124.3128); Oil Creek (40.5061,
–124.2875); Unnamed Tributary
(40.4946, –124.3091); Unnamed
Tributary (40.4982, –124.3549);
Unnamed Tributary (40.5141,
–124.3573); Unnamed Tributary
(40.4992, –124.3070).
(ii) Capetown Hydrologic Sub-area
111220. Outlet(s) = Bear River (Lat
40.4744, Long –124.3881); Davis Creek
(40.3850, –124.3691); Singley Creek
(40.4311, –124.4034) upstream to
endpoint(s) in: Antone Creek (40.4281,
–124.2114); Bear River (40.3591,
–124.0536); Beer Bottle Gulch (40.3949,
–124.1410); Bonanza Gulch (40.4777,
–124.2966); Brushy Creek (40.4102,
–124.1050); Davis Creek (40.3945,
–124.2912); Harmonica Creek (40.3775,
–124.0735); Hollister Creek (40.4109,
–124.2891); Nelson Creek (40.3536,
–124.1154); Peaked Creek (40.4123,
–124.1897); Pullen Creek (40.4057,
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–124.0814); Singley Creek (40.4177,
–124.3305); South Fork Bear River
(40.4047, –124.2631); Unnamed
Tributary (40.4271, –124.3107);
Unnamed Tributary (40.4814,
–124.2741); Unnamed Tributary
(40.3633, –124.0651); Unnamed
Tributary (40.3785, –124.0599);
Unnamed Tributary (40.4179,
–124.2391); Unnamed Tributary
(40.4040, –124.0923); Unnamed
Tributary (40.3996, –124.3175);
Unnamed Tributary (40.4045,
–124.0745); Unnamed Tributary
(40.4668, –124.2364); Unnamed
Tributary (40.4389, –124.2350);
Unnamed Tributary (40.4516,
–124.2238); Unnamed Tributary
(40.4136, –124.1594); Unnamed
Tributary (40.4350, –124.1504);
Unnamed Tributary (40.4394,
–124.3745); West Side Creek (40.4751,
–124.2432).
(iii) Mattole River Hydrologic Subarea 111230. Outlet(s) = Big Creek (Lat
40.1567, Long –124.2114); Big Flat
Creek (40.1275, –124.1764); Buck Creek
(40.1086, –124.1218); Cooskie Creek
(40.2192, –124.3105); Fourmile Creek
(40.2561, –124.3578); Gitchell Creek
(40.0938, –124.1023); Horse Mountain
Creek (40.0685, –124.0822); Kinsey
Creek (40.1717, –124.2310); Mattole
River (40.2942, –124.3536); McNutt
Gulch (40.3541, –124.3619); Oat Creek
(40.1785, –124.2445); Randall Creek
(40.2004, –124.2831); Shipman Creek
(40.1175, –124.1449); Spanish Creek
(40.1835, –124.2569); Telegraph Creek
(40.0473, –124.0798); Whale Gulch
(39.9623, –123.9785) upstream to
endpoint(s) in: Anderson Creek
(40.0329, –123.9674); Baker Creek
(40.0143, –123.9048); Bear Creek
(40.1262, –124.0631); Bear Creek
(40.2819, –124.3336); Bear Trap Creek
(40.2157, –124.1422); Big Creek
(40.1742, –124.1924); Big Finley Creek
(40.0910, –124.0179); Big Flat Creek
(40.1444, –124.1636); Blue Slide Creek
(40.1562, –123.9283); Box Canyon Creek
(40.1078, –123.9854); Bridge Creek
(40.0447, –124.0118); Buck Creek
(40.1166, –124.1142); Conklin Creek
(40.3197, –124.2055); Cooskie Creek
(40.2286, –124.2986); Devils Creek
(40.3432, –124.1365); Dry Creek
(40.2646, –124.0660); East Branch North
Fork Mattole River (40.3333,
–124.1490); East Fork Honeydew Creek
(40.1625, –124.0929); Eubank Creek
(40.0997, –123.9661); Fire Creek
(40.1533, –123.9509); Fourmile Creek
(40.2604, –124.3079); Fourmile Creek
(40.1767, –124.0759); French Creek
(40.1384, –124.0072); Gibson Creek
(40.0304, –123.9279); Gilham Creek
(40.2078, –124.0085); Gitchell Creek
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(40.1086, –124.0947); Green Ridge Creek
(40.3254, –124.1258); Grindstone Creek
(40.2019, –123.9890); Harris Creek
(40.0381, –123.9304); Harrow Creek
(40.1612, –124.0292); Helen Barnum
Creek (40.0036, –123.9101); Honeydew
Creek (40.1747, –124.1410); Horse
Mountain Creek (40.0769, –124.0729);
Indian Creek (40.2772, –124.2759);
Jewett Creek (40.1465, –124.0414);
Kinsey Creek (40.1765, –124.2220); Lost
Man Creek (39.9754, –123.9179);
Mattole Canyon (40.2021, –123.9570);
Mattole River (39.9714, –123.9623);
McGinnis Creek (40.3186, –124.1801);
McKee Creek (40.0864, –123.9480);
McNutt Gulch (40.3458, –124.3418);
Middle Creek (40.2591, –124.0366); Mill
Creek (40.0158, –123.9693); Mill Creek
(40.3305, –124.2598); Mill Creek
(40.2839, –124.2946); Nooning Creek
(40.0616, –124.0050); North Fork
Mattole River (40.3866, –124.1867);
North Fork Bear Creek (40.1494,
–124.1060); North Fork Fourmile Creek
(40.2019, –124.0722); Oat Creek
(40.1884, –124.2296); Oil Creek
(40.3214, –124.1601); Painter Creek
(40.0844, –123.9639); Prichett Creek
(40.2892, –124.1704); Randall Creek
(40.2092, –124.2668); Rattlesnake Creek
(40.3250, –124.0981); Shipman Creek
(40.1250, –124.1384); Sholes Creek
(40.1603, –124.0619); South Branch
West Fork Bridge Creek (40.0326,
–123.9853); South Fork Bear Creek
(40.0176, –124.0016); Spanish Creek
(40.1965, –124.2429); Squaw Creek
(40.1934, –124.2002); Stanley Creek
(40.0273, –123.9166); Sulphur Creek
(40.3647, –124.1586); Telegraph Creek
(40.0439, –124.0640); Thompson Creek
(39.9913, –123.9707); Unnamed
Tributary (40.3475, –124.1606);
Unnamed Tributary (40.3522,
–124.1533); Unnamed Tributary
(40.0891, –123.9839); Unnamed
Tributary (40.2223, –124.0172);
Unnamed Tributary (40.1733,
–123.9515); Unnamed Tributary
(40.2899, –124.0955); Unnamed
Tributary (40.2853, –124.3227);
Unnamed Tributary (39.9969,
–123.9071); Upper East Fork Honeydew
Creek (40.1759, –124.1182); Upper
North Fork Mattole River (40.2907,
–124.1115); Vanauken Creek (40.0674,
–123.9422); West Fork Bridge Creek
(40.0343, –123.9990); West Fork
Honeydew Creek (40.1870, –124.1614);
Westlund Creek (40.2440, –124.0036);
Whale Gulch (39.9747, –123.9812);
Woods Creek (40.2119, –124.1611); Yew
Creek (40.0018, –123.9762).
(7) Mendocino Coast Hydrologic Unit
1113—(i) Usal Creek Hydrologic Subarea 111311. Outlet(s) = Jackass Creek
(Lat 39.8806, Long –123.9155); Usal
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Creek (39.8316, –123.8507) upstream to
endpoint(s) in: Bear Creek (39.8898,
–123.8344); Jackass Creek (39.8901,
–123.8928); Julias Creek (39.8542,
–123.7937); Little Bear Creek (39.8629,
–123.8400); North Fork Jackass Creek
(39.9095, –123.9101); North Fork Julias
Creek (39.8581, –123.8045); Soldier
Creek (39.8679, –123.8162); South Fork
Usal Creek (39.8356, –123.7865);
Unnamed Tributary (39.8890,
–123.8480); Usal Creek (39.8957,
–123.8797); Waterfall Gulch (39.8787,
–123.8680).
(ii) Wages Creek Hydrologic Sub-area
111312. Outlet(s) = Cottaneva Creek (Lat
39.7360, Long –123.8293); DeHaven
Creek (39.6592, –123.7863); Hardy
Creek (39.7107, –123.8082); Howard
Creek (39.6778, –123.7915); Juan Creek
(39.7028, –123.8042); Wages Creek
(39.6513, –123.7851) upstream to
endpoint(s) in: Cottaneva Creek
(39.7825, –123.8210); DeHaven Creek
(39.6687, –123.7060); Dunn Creek
(39.8103, –123.8320); Hardy Creek
(39.7221, –123.7822); Howard Creek
(39.6808, –123.7463); Juan Creek
(39.7107, –123.7472); Kimball Gulch
(39.7559, –123.7828); Little Juan Creek
(39.7003, –123.7609); Middle Fork
Cottaneva Creek (39.7738, –123.8058);
North Fork Cottaneva Creek (39.8011,
–123.8047); North Fork Dehaven Creek
(39.6660, –123.7382); North Fork Wages
Creek (39.6457, –123.7066); Rider Gulch
(39.6348, –123.7621); Rockport Creek
(39.7346, –123.8021); Slaughterhouse
Gulch (39.7594, –123.7914); South Fork
Cottaneva Creek (39.7447, –123.7773);
South Fork Wages Creek (39.6297,
–123.6862); Wages Creek (39.6297,
–123.6862).
(iii) Ten Mile River Hydrologic Subarea 111313. Outlet(s) = Abalobadiah
Creek (Lat 39.5654, Long –123.7672);
Chadbourne Gulch (39.6133,
–123.7822); Ten Mile River (39.5529,
–123.7658); Seaside Creek (39.5592,
–123.7655) upstream to endpoint(s) in:
Abalobadiah Creek (39.5878,
–123.7503); Bald Hill Creek (39.6278,
–123.6461); Barlow Gulch (39.6046,
–123.7384); Bear Pen Creek (39.5824,
–123.6402); Booth Gulch (39.5567,
–123.5918); Buckhorn Creek (39.6093,
–123.6980); Campbell Creek (39.5053,
–123.6610); Cavanough Gulch (39.6107,
–123.6776); Chadbourne Gulch
(39.6190, –123.7682); Clark Fork
(39.5280, –123.5134); Curchman Creek
(39.4789, –123.6398); Gulch 11
(39.4687, –123.5816); Gulch 19
(39.5939, –123.5781); Little Bear Haven
Creek (39.5655, –123.6147); Little North
Fork (39.6264, –123.7350); Mill Creek
(39.5392, –123.7068); North Fork Ten
Mile River (39.5870, –123.5480);
O’Conner Gulch (39.6042, –123.6632);
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Patsy Creek (39.5714, –123.5669);
Redwood Creek (39.5142, –123.5620);
Seaside Creek (39.5612, –123.7501);
Smith Creek (39.5251, –123.6499);
South Fork Bear Haven Creek (39.5688,
–123.6527); South Fork Ten Mile River
(39.5083, –123.5395); Ten Mile River
(39.5721, –123.7098); Unnamed
Tributary (39.5180, –123.5948);
Unnamed Tributary (39.5146,
–123.6183); Unnamed Tributary
(39.5898, –123.7657); Unnamed
Tributary (39.5813, –123.7526);
Unnamed Tributary (39.5936,
–123.6034).
(iv) Noyo River Hydrologic Sub-area
111320. Outlet(s) = Digger Creek (Lat
39.4088, Long –123.8164); Hare Creek
(39.4171, –123.8128); Jug Handle Creek
(39.3767, –123.8176); Mill Creek
(39.4894, –123.7967); Mitchell Creek
(39.3923, –123.8165); Noyo River
(39.4274, –123.8096); Pudding Creek
(39.4588, –123.8089); Virgin Creek
(39.4714, –123.8045) upstream to
endpoint(s) in: Bear Gulch (39.3881,
–123.6614); Brandon Gulch (39.4191,
–123.6645); Bunker Gulch (39.3969,
–123.7153); Burbeck Creek (39.4354,
–123.4235); Covington Gulch (39.4099,
–123.7546); Dewarren Creek (39.4974,
–123.5535); Digger Creek (39.3932,
–123.7820); Duffy Gulch (39.4469,
–123.6023); Gulch Creek (39.4441,
–123.4684); Gulch Seven (39.4523,
–123.5183); Hare Creek (39.3781,
–123.6922); Hayworth Creek (39.4857,
–123.4769); Hayshed Creek (39.4200,
–123.7391); Jug Handle Creek (39.3647,
–123.7523); Kass Creek (39.4262,
–123.6807); Little North Fork (39.4532,
–123.6636); Little Valley Creek (39.5026,
–123.7277); Marble Gulch (39.4423,
–123.5479); McMullen Creek (39.4383,
–123.4488); Middle Fork North Fork
(39.4924, –123.5231); Mill Creek
(39.4813, –123.7600); Mitchell Creek
(39.3813, –123.7734); North Fork
Hayworth Creek (39.4891, –123.5026);
North Fork Noyo River (39.4765,
–123.5535); North Fork Noyo (39.4765,
–123.5535); North Fork South Fork
Noyo River (39.3971, –123.6108); Noyo
River (39.4242, –123.4356); Olds Creek
(39.3964, –123.4448); Parlin Creek
(39.3700, –123.6111); Pudding Creek
(39.4591, –123.6516); Redwood Creek
(39.4660, –123.4571); South Fork Hare
Creek (39.3785, –123.7384); South Fork
Noyo River (39.3620, –123.6188);
Unnamed Tributary (39.4113,
–123.5621); Unnamed Tributary
(39.3918, –123.6425); Unnamed
Tributary (39.4168, –123.4578);
Unnamed Tributary (39.4656,
–123.7467); Unnamed Tributary
(39.4931, –123.7371); Unnamed
Tributary (39.4922, –123.7381);
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Unnamed Tributary (39.4939,
–123.7184); Unnamed Tributary
(39.4158, –123.6428); Unnamed
Tributary (39.4002, –123.7347);
Unnamed Tributary (39.3831,
–123.6177); Unnamed Tributary
(39.4926, –123.4764); Virgin Creek
(39.4621, –123.7855); Unnamed
Tributary (39.4650, –123.7463).
(v) Big River Hydrologic Sub-area
111330. Outlet(s) = Big River (Lat
39.3030, Long –123.7957); Casper Creek
(39.3617, –123.8169); Doyle Creek
(39.3603, –123.8187); Jack Peters Creek
(39.3193, –123.8006); Russian Gulch
(39.3288, –123.8050) upstream to
endpoint(s) in: Berry Gulch (39.3585,
–123.6930); Big River (39.3166,
–123.3733); Casper Creek (39.3462,
–123.7556); Chamberlain Creek
(39.4007, –123.5317); Daugherty Creek
(39.1700, –123.3699); Doyle Creek
(39.3517, –123.8007); East Branch Little
North Fork Big River (39.3372,
–123.6410); East Branch North Fork Big
River (39.3354, –123.4652); Gates Creek
(39.2083, –123.3944); Jack Peters Gulch
(39.3225, –123.7850); James Creek
(39.3922, –123.4747); Johnson Creek
(39.1963, –123.3927); Johnson Creek
(39.2556, –123.4485); Laguna Creek
(39.2910, –123.6334); Little North Fork
Big River (39.3497, –123.6242); Marten
Creek (39.3290, –123.4279); Mettick
Creek (39.2591, –123.5193); Middle
Fork North Fork Casper Creek (39.3575,
–123.7170); North Fork Big River
(39.3762, –123.4591); North Fork Casper
Creek (39.3610, –123.7356); North Fork
James Creek (39.3980, –123.4939); North
Fork Ramone Creek (39.2760,
–123.4846); Pig Pen Gulch (39.3226,
–123.4609); Pruitt Creek (39.2592,
–123.3812); Ramone Creek (39.2714,
–123.4415); Rice Creek (39.2809,
–123.3963); Russell Brook (39.2863,
–123.4461); Russian Gulch (39.3237,
–123.7650); Snuffins Creek (39.1836,
–123.3854); Soda Creek (39.2230,
–123.4239); South Fork Big River
(39.2317, –123.3687); South Fork Casper
Creek (39.3493, –123.7216); Two Log
Creek (39.3484, –123.5781); Unnamed
Tributary (39.3897, –123.5556);
Unnamed Tributary (39.3637,
–123.5464); Unnamed Tributary
(39.3776, –123.5274); Unnamed
Tributary (39.4029, –123.5771);
Valentine Creek (39.2694, –123.3957);
Water Gulch (39.3607, –123.5891).
(vi) Albion River Hydrologic Sub-area
111340. Outlet(s) = Albion River (Lat
39.2253, Long –123.7679); Big Salmon
Creek (39.2150, –123.7660); Buckhorn
Creek (39.2593, –123.7839); Dark Gulch
(39.2397, –123.7740); Little Salmon
Creek (39.2150, –123.7660); Little River
(39.2734, –123.7914) upstream to
endpoint(s) in: Albion River (39.2613,
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–123.5766); Big Salmon Creek (39.2070,
–123.6514); Buckhorn Creek (39.2513,
–123.7595); Dark Gulch (39.2379,
–123.7592); Duck Pond Gulch (39.2456,
–123.6960); East Railroad Gulch
(39.2604, –123.6381); Hazel Gulch
(39.2141, –123.6418); Kaison Gulch
(39.2733, –123.6803); Little North Fork
South Fork Albion River (39.2350,
–123.6431); Little River (39.2683,
–123.7190); Little Salmon Creek
(39.2168, –123.7515); Marsh Creek
(39.2325, –123.5596); Nordon Gulch
(39.2489, –123.6503); North Fork Albion
River (39.2854, –123.5752); Pleasant
Valley Gulch (39.2379, –123.6965);
Railroad Gulch (39.2182, –123.6932);
Soda Springs Creek (39.2943,
–123.5944); South Fork Albion River
(39.2474, –123.6107); Tom Bell Creek
(39.2805, –123.6519); Unnamed
Tributary (39.2279, –123.6972);
Unnamed Tributary (39.2194,
–123.7100); Unnamed Tributary
(39.2744, –123.5889); Unnamed
Tributary (39.2254, –123.6733).
(vii) Navarro River Hydrologic Subarea 111350. Outlet(s) = Navarro River
(Lat 39.1921, Long –123.7611) upstream
to endpoint(s) in: Alder Creek (38.9830,
–123.3946); Anderson Creek (38.9644,
–123.2907); Bailey Creek (39.1733,
–123.4804); Barton Gulch (39.1804,
–123.6783); Bear Creek (39.1425,
–123.4326); Bear Wallow Creek
(39.0053, –123.4075); Beasley Creek
(38.9366, –123.3265); Bottom Creek
(39.2117, –123.4607); Camp 16 Gulch
(39.1937, –123.6095); Camp Creek
(38.9310, –123.3527); Cold Spring Creek
(39.0376, –123.5027); Con Creek
(39.0374, –123.3816); Cook Creek
(39.1879, –123.5109); Cune Creek
(39.1622, –123.6014); Dago Creek
(39.0731, –123.5068); Dead Horse Gulch
(39.1576, –123.6124); Dutch Henry
Creek (39.2112, –123.5794); Floodgate
Creek (39.1291, –123.5365); Fluem
Gulch (39.1615, –123.6695); Flynn
Creek (39.2099, –123.6032); German
Creek (38.9452, –123.4269); Gut Creek
(39.0803, –123.3312); Ham Canyon
(39.0164, –123.4265); Horse Creek
(39.0144, –123.4960); Hungry Hollow
Creek (39.1327, –123.4488); Indian
Creek (39.0708, –123.3301); Jimmy
Creek (39.0117, –123.2888); John Smith
Creek (39.2275, –123.5366); Little North
Fork Navarro River (39.1941,
–123.4553); Low Gap Creek (39.1590,
–123.3783); Navarro River (39.0537,
–123.4409); Marsh Gulch (39.1692,
–123.7049); McCarvey Creek (39.1589,
–123.4048); Mill Creek (39.1270,
–123.4315); Minnie Creek (38.9751,
–123.4529); Murray Gulch (39.1755,
–123.6966); Mustard Gulch (39.1673,
–123.6393); North Branch (39.2069,
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–123.5361); North Fork Indian Creek
(39.1213, –123.3345); North Fork
Navarro River (39.1708, –123.5606);
Parkinson Gulch (39.0768, –123.4070);
Perry Gulch (39.1342, –123.5707);
Rancheria Creek (38.8626, –123.2417);
Ray Gulch (39.1792, –123.6494);
Robinson Creek (38.9845, –123.3513);
Rose Creek (39.1358, –123.3672);
Shingle Mill Creek (39.1671,
–123.4223); Soda Creek (39.0238,
–123.3149); Soda Creek (39.1531,
–123.3734); South Branch (39.1409,
–123.3196); Spooner Creek (39.2221,
–123.4811); Tramway Gulch (39.1481,
–123.5958); Yale Creek (38.8882,
–123.2785).
(viii) Greenwood Creek Hydrologic
Sub-area 111361. Outlet(s) =
Greenwood Creek (Lat 39.1262, Long
–123.7181) upstream to endpoint(s) in:
Greenwood Creek (39.0894, –123.5924).
(ix) Elk Creek Hydrologic Sub-area
111362. Outlet(s) = Elk Creek (Lat
39.1024, Long –123.7080) upstream to
endpoint(s) in: Elk Creek (39.0657,
–123.6245).
(x) Alder Creek Hydrologic Sub-area
111363. Outlet(s) = Alder Creek (Lat
39.0044, Long –123.6969); Mallo Pass
Creek (39.0341, –123.6896) upstream to
endpoint(s) in: Alder Creek (38.9961,
–123.6471); Mallo Pass Creek (39.0287,
–123.6373).
(xi) Brush Creek Hydrologic Sub-area
111364. Outlet(s) = Brush Creek (Lat
38.9760, Long –123.7120) upstream to
endpoint(s) in: Brush Creek (38.9730,
–123.5563); Mill Creek (38.9678,
–123.6515); Unnamed Tributary
(38.9724, –123.6571).
(xii) Garcia River Hydrologic Sub-area
111370. Outlet(s) = Garcia River (Lat
38.9550, Long –123.7338); Point Arena
Creek (38.9141, –123.7103); Schooner
Gulch (38.8667, –123.6550) upstream to
endpoint(s) in: Blue Water Hole Creek
(38.9378, –123.5023); Flemming Creek
(38.8384, –123.5361); Garcia River
(38.8965, –123.3681); Hathaway Creek
(38.9287, –123.7011); Inman Creek
(38.8804, –123.4370); Larmour Creek
(38.9419, –123.4469); Mill Creek
(38.9078, –123.3143); North Fork Garcia
River (38.9233, –123.5339); North Fork
Schooner Gulch (38.8758, –123.6281);
Pardaloe Creek (38.8895, –123.3423);
Point Arena Creek (38.9069, –123.6838);
Redwood Creek (38.9241, –123.3343);
Rolling Brook (38.8965, –123.5716);
Schooner Gulch (38.8677, –123.6198);
South Fork Garcia River (38.8450,
–123.5420); Stansburry Creek (38.9422,
–123.4720); Signal Creek (38.8639,
–123.4414); Unnamed Tributary
(38.8758, –123.5692); Unnamed
Tributary (38.8818, –123.5723);
Whitlow Creek (38.9141, –123.4624).
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(xiii) North Fork Gualala River
Hydrologic Sub-area 111381. Outlet(s) =
North Fork Gualala River (Lat 38.7784,
Long –123.4992) upstream to
endpoint(s) in: Bear Creek (38.8347,
–123.3842); Billings Creek (38.8652,
–123.3496); Doty Creek (38.8495,
–123.5131); Dry Creek (38.8416,
–123.4455); Little North Fork Gualala
River (38.8295, –123.5570); McGann
Gulch (38.8026, –123.4458); North Fork
Gualala River (38.8479, –123.4113);
Robinson Creek (38.8416, –123.3725);
Robinson Creek (38.8386, –123.4991);
Stewart Creek (38.8109, –123.4157);
Unnamed Tributary (38.8487,
–123.3820).
(xiv) Rockpile Creek Hydrologic Subarea 111382. Outlet(s) = Rockpile Creek
(Lat 38.7507, Long –123.4706) upstream
to endpoint(s) in: Rockpile Creek
(38.7966, –123.3872).
(xv) Buckeye Creek Hydrologic Subarea 111383. Outlet(s) = Buckeye Creek
(Lat 38.7403, Long –123.4580) upstream
to endpoint(s) in: Buckeye Creek
(38.7400, –123.2697); Flat Ridge Creek
(38.7616, –123.2400); Franchini Creek
(38.7500, –123.3708); North Fork
Buckeye (38.7991, –123.3166).
(xvi) Wheatfield Fork Hydrologic Subarea 111384. Outlet(s) = Wheatfield
Fork Gualala River (Lat 38.7018, Long
–123.4168) upstream to endpoint(s) in:
Danfield Creek (38.6369, –123.1431);
Fuller Creek (38.7109, –123.3256);
Haupt Creek (38.6220, –123.2551);
House Creek (38.6545, –123.1184);
North Fork Fuller Creek (38.7252,
–123.2968); Pepperwood Creek
(38.6205, –123.1665); South Fork Fuller
Creek (38.6973, –123.2860); Tombs
Creek (38.6989, –123.1616); Unnamed
Tributary (38.7175, –123.2744);
Wheatfield Fork Gualala River (38.7497,
–123.2215).
(xvii) Gualala Hydrologic Sub-area
111385. Outlet(s) = Fort Ross Creek (Lat
38.5119, Long –123.2436); Gualala River
(38.7687, –123.5334); Kolmer Gulch
(38.5238, –123.2646) upstream to
endpoint(s) in: Big Pepperwood Creek
(38.7951, –123.4638); Carson Creek
(38.5653, –123.1906); Fort Ross Creek
(38.5174, –123.2363); Groshong Gulch
(38.7814, –123.4904); Gualala River
(38.7780, –123.4991); Kolmer Gulch
(38.5369, –123.2247); Little Pepperwood
(38.7738, –123.4427); Marshall Creek
(38.5647, –123.2058); McKenzie Creek
(38.5895, –123.1730); Palmer Canyon
Creek (38.6002, –123.2167); South Fork
Gualala River (38.5646, –123.1689);
Sproule Creek (38.6122, –123.2739);
Turner Canyon (38.5294, –123.1672);
Unknown Tributary (38.5634,
–123.2003).
(xviii) Russian Gulch Hydrologic Subarea 111390. Outlet(s) = Russian Gulch
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Creek (Lat 38.4669, Long –123.1569)
upstream to endpoint(s) in: Russian
Gulch Creek (38.4956, –123.1535); West
Branch Russian Gulch Creek (38.4968,
–123.1631).
(8) Maps of critical habitat for the
Northern California Steelhead ESU
follow:
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(h) Central California Coast Steelhead
(O. mykiss). Critical habitat is
designated to include the areas defined
in the following CALWATER
Hydrologic Units:
(1) Russian River Hydrologic Unit
1114—(i) Guerneville Hydrologic Subarea 111411. Outlet(s) = Russian River
(Lat 38.4507, Long –123.1289) upstream
to endpoint(s) in: Atascadero Creek
(38.3473, –122.8626); Austin Creek
(38.5098, –123.0680); Baumert Springs
(38.4195, –122.9658); Dutch Bill Creek
(38.4132, –122.9508); Duvoul Creek
(38.4527, –122.9525); Fife Creek
(38.5584, –122.9922); Freezeout Creek
(38.4405, –123.0360); Green Valley
Creek, (38.4445, –122.9185); Grub Creek
(38.4411, –122.9636); Hobson Creek
(38.5334, –122.9401); Hulbert Creek
(38.5548, –123.0362); Jenner Gulch
(38.4869, –123.0996); Kidd Creek
(38.5029, –123.0935); Lancel Creek
(38.4247, –122.9322); Mark West Creek
(38.4961, –122.8489); Mays Canyon
(38.4800, –122.9715); North Fork Lancel
Creek (38.4447, –122.9444); Pocket
Canyon (38.4650, –122.9267); Porter
Creek (38.5435, –122.9332); Purrington
Creek (38.4083, –122.9307); Sheep
House Creek (38.4820, –123.0921);
Smith Creek (38.4622, –122.9585);
Unnamed Tributary (38.4560,
–123.0246); Unnamed Tributary
(38.3976, –122.8994); Unnamed
Tributary (38.3772, –122.8938); Willow
Creek (38.4249, –123.0022).
(ii) Austin Creek Hydrologic Sub-area
111412. Outlet(s) = Austin Creek (Lat
38.5098, Long –123.0680) upstream to
endpoint(s) in: Austin Creek (38.6262,
–123.1347); Bear Pen Creek (38.5939,
–123.1644); Big Oat Creek (38.5615,
–123.1299); Black Rock Creek (38.5586,
–123.0730); Blue Jay Creek (38.5618,
–123.1399); Conshea Creek (38.5830,
–123.0824); Devil Creek (38.6163,
–123.0425); East Austin Creek (38.6349,
–123.1238); Gilliam Creek (38.5803,
–123.0152); Gray Creek (38.6132,
–123.0107); Thompson Creek (38.5747,
–123.0300); Pole Mountain Creek
(38.5122, –123.1168); Red Slide Creek
(38.6039, –123.1141); Saint Elmo Creek
(38.5130, –123.1125); Schoolhouse
Creek (38.5595, –123.0175); Spring
Creek (38.5041, –123.1364); Sulphur
Creek (38.6187, –123.0553); Ward Creek
(38.5720, –123.1547).
(iii) Mark West Hydrologic Sub-area
111423. Outlet(s) = Mark West Creek
(Lat 38.4962, Long –122.8492) upstream
to endpoint(s) in: Humbug Creek
(38.5412, –122.6249); Laguna de Santa
Rosa (38.4526, –122.8347); Mark West
Creek (38.5187, –122.5995); Pool Creek
(38.5486, –122.7641); Pruit Creek
(38.5313, –122.7615); Windsor Creek
(38.5484, –122.8101).
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(iv) Warm Springs Hydrologic Subarea 111424. Outlet(s) = Dry Creek (Lat
38.5862, Long –122.8577) upstream to
endpoint(s) in: Angel Creek (38.6101,
–122.9833); Crane Creek (38.6434,
–122.9451); Dry Creek (38.7181,
–123.0091); Dutcher Creek (38.7223,
–122.9770); Felta Creek (38.5679,
–122.9379); Foss Creek (38.6244,
–122.8754); Grape Creek (38.6593,
–122.9707); Mill Creek (38.5976,
–122.9914); North Slough Creek
(38.6392, –122.8888); Palmer Creek
(38.5770, –122.9904); Pena Creek
(38.6384, –123.0743); Redwood Log
Creek (38.6705, –123.0725); Salt Creek
(38.5543, –122.9133); Wallace Creek
(38.6260, –122.9651); Wine Creek
(38.6662, –122.9682); Woods Creek
(38.6069, –123.0272).
(v) Geyserville Hydrologic Sub-area
111425. Outlet(s) = Russian River (Lat
38.6132, Long –122.8321) upstream to
endpoint(s) in: Ash Creek (38.8556,
–123.0082); Bear Creek (38.7253,
–122.7038); Bidwell Creek (38.6229,
–122.6320); Big Sulphur Creek (38.8279,
–122.9914); Bluegum Creek (38.6988,
–122.7596); Briggs Creek (38.6845,
–122.6811); Coon Creek (38.7105,
–122.6957); Crocker Creek (38.7771,
–122.9595); Edwards Creek (38.8592,
–123.0758); Foote Creek (38.6433,
–122.6797); Foss Creek (38.6373,
–122.8753); Franz Creek (38.5726,
–122.6343); Gill Creek (38.7552,
–122.8840); Gird Creek (38.7055,
–122.8311); Ingalls Creek (38.7344,
–122.7192); Kellog Creek (38.6753,
–122.6422); Little Briggs Creek (38.7082,
–122.7014); Maacama Creek (38.6743,
–122.7431); McDonnell Creek (38.7354,
–122.7338); Mill Creek (38.7009,
–122.6490); Miller Creek (38.7211,
–122.8608); Oat Valley Creek (38.8461,
–123.0712); Redwood Creek (38.6342,
–122.6720); Sausal Creek (38.6924,
–122.7930); South Fork Gill Creek
(38.7420, –122.8760); Unnamed
Tributary (38.7329, –122.8601);
Yellowjacket Creek (38.6666,
–122.6308).
(vi) Sulphur Creek Hydrologic Subarea 111426. Outlet(s) = Big Sulphur
Creek (Lat 38.8279, Long –122.9914)
upstream to endpoint(s) in: Alder Creek
(38.8503, –122.8953); Anna Belcher
Creek (38.7537, –122.7586); Big Sulphur
Creek (38.8243, –122.8774); Frasier
Creek (38.8439, –122.9341); Humming
Bird Creek (38.8460, –122.8596); Little
Sulphur Creek (38.7469, –122.7425);
Lovers Gulch (38.7396, –122.8275);
North Branch Little Sulphur Creek
(38.7783, –122.8119); Squaw Creek
(38.8199, –122.7945).
(vii) Ukiah Hydrologic Sub-area
111431. Outlet(s) = Russian River (Lat
38.8828, Long –123.0557) upstream to
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–122.9329).
(viii) Forsythe Creek Hydrologic Subarea 111433. Outlet(s) = West Branch
Russian River (Lat 39.2257, Long
–123.2012) upstream to endpoint(s) in:
Bakers Creek (39.2859, –123.2432);
Eldridge Creek (39.2250, –123.3309);
Forsythe Creek (39.2976, –123.2963);
Jack Smith Creek (39.2754, –123.3421);
Mariposa Creek (39.3472, –123.2625);
Mill Creek (39.2969, –123.3360); Salt
Hollow Creek (39.2585, –123.1881);
Seward Creek (39.2606, –123.2646);
West Branch Russian River (39.3642,
–123.2334).
(2) Bodega Hydrologic Unit 1115—(i)
Salmon Creek Hydrologic Sub-area
111510. Outlet(s) = Salmon Creek (Lat
38.3554, Long –123.0675) upstream to
endpoint(s) in: Coleman Valley Creek
(38.3956, –123.0097); Faye Creek
(38.3749, –123.0000); Finley Creek
(38.3707, –123.0258); Salmon Creek
(38.3877, –122.9318); Tannery Creek
(38.3660, –122.9808).
(ii) Estero Americano Hydrologic Subarea 111530. Outlet(s) = Estero
Americano (Lat 38.2939, Long
–123.0011) upstream to endpoint(s) in:
Estero Americano (38.3117, –122.9748);
Ebabias Creek (38.3345, –122.9759).
(3) Marin Coastal Hydrologic Unit
2201—(i) Walker Creek Hydrologic Subarea 220112. Outlet(s) = Walker Creek
(Lat 38.2213, Long –122.9228);
Millerton Gulch (38.1055, –122.8416)
upstream to endpoint(s) in: Chileno
Creek (38.2145, –122.8579); Frink
Canyon (38.1761, –122.8405); Millerton
Gulch (38.1376, –122.8052); Verde
Canyon (38.1630, –122.8116); Unnamed
Tributary (38.1224, –122.8095); Walker
Creek (38.1617, –122.7815).
(ii) Lagunitas Creek Hydrologic Subarea 220113. Outlet(s) = Lagunitas Creek
(Lat 38.0827, Long –122.8274) upstream
to endpoint(s) in: Cheda Creek (38.0483,
–122.7329); Devil’s Gulch (38.0393,
–122.7128); Giacomini Creek (38.0075,
–122.7386); Horse Camp Gulch
(38.0078, –122.7624); Lagunitas Creek
(37.9974, –122.7045); Olema Creek
(37.9719, –122.7125); Quarry Gulch
(38.0345, –122.7639); San Geronimo
Creek (38.0131, –122.6499); Unnamed
Tributary (37.9893, –122.7328);
Unnamed Tributary (37.9976,
–122.7553).
(iii) Point Reyes Hydrologic Sub-area
220120. Outlet(s) = Creamery Bay Creek
(Lat 38.0779, Long –122.9572); East
Schooner Creek (38.0913, –122.9293);
Home Ranch (38.0705, –122.9119);
Laguna Creek (38.0235, –122.8732);
Muddy Hollow Creek (38.0329,
–122.8842) upstream to endpoint(s) in:
Creamery Bay Creek (38.0809,
–122.9561); East Schooner Creek
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(38.0928, –122.9159); Home Ranch
Creek (38.0784, –122.9038); Laguna
Creek (38.0436, –122.8559); Muddy
Hollow Creek (38.0549, –122.8666).
(iv) Bolinas Hydrologic Sub-area
220130. Outlet(s) = Easkoot Creek (Lat
37.9026, Long –122.6474); McKinnon
Gulch (37.9126, –122.6639); Morse
Gulch (37.9189, –122.6710); Pine Gulch
Creek (37.9218, –122.6882); Redwood
Creek (37.8595, –122.5787); Stinson
Gulch (37.9068, –122.6517); Wilkins
Creek (37.9343, –122.6967) upstream to
endpoint(s) in: Easkoot Creek (37.8987,
–122.6370); Kent Canyon (37.8866,
–122.5800); McKinnon Gulch (37.9197,
–122.6564); Morse Gulch (37.9240,
–122.6618); Pine Gulch Creek (37.9557,
–122.7197); Redwood Creek (37.9006,
–122.5787); Stinson Gulch (37.9141,
–122.6426); Wilkins Creek (37.9450,
–122.6910).
(4) San Mateo Hydrologic Unit 2202—
(i) San Mateo Coastal Hydrologic Subarea 220221. Outlet(s) = Denniston
Creek (37.5033, –122.4869); Frenchmans
Creek (37.4804, –122.4518); San Pedro
Creek (37.5964, –122.5057) upstream to
endpoint(s) in: Denniston Creek
(37.5184, –122.4896); Frenchmans Creek
(37.5170, –122.4332); Middle Fork San
Pedro Creek (37.5758, –122.4591); North
Fork San Pedro Creek (37.5996,
–122.4635).
(ii) Half Moon Bay Hydrologic Subarea 220222. Outlet(s) = Pilarcitos Creek
(Lat 37.4758, Long –122.4493) upstream
to endpoint(s) in: Apanolio Creek
(37.5202, –122.4158); Arroyo Leon
Creek (37.4560, –122.3442); Mills Creek
(37.4629, –122.3721); Pilarcitos Creek
(37.5259, –122.3980); Unnamed
Tributary (37.4705, –122.3616).
(iii) Tunitas Creek Hydrologic Subarea 220223. Outlet(s) = Lobitos Creek
(Lat 37.3762, Long –122.4093); Tunitas
Creek (37.3567, –122.3999) upstream to
endpoint(s) in: East Fork Tunitas Creek
(37.3981, –122.3404); Lobitos Creek
(37.4246, –122.3586); Tunitas Creek
(37.4086, –122.3502).
(iv) San Gregorio Creek Hydrologic
Sub-area 220230. Outlet(s) = San
Gregorio Creek (Lat 37.3215, Long
–122.4030) upstream to endpoint(s) in:
Alpine Creek (37.3062, –122.2003);
Bogess Creek (37.3740, –122.3010); El
Corte Madera Creek (37.3650,
–122.3307); Harrington Creek (37.3811,
–122.2936); La Honda Creek (37.3680,
–122.2655); Langley Creek (37.3302,
–122.2420); Mindego Creek (37.3204,
–122.2239); San Gregorio Creek
(37.3099, –122.2779); Woodruff Creek
(37.3415, –122.2495).
(v) Pescadero Creek Hydrologic Subarea 220240. Outlet(s) = Pescadero
Creek (Lat 37.2669, Long –122.4122);
Pomponio Creek (37.2979, –122.4061)
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upstream to endpoint(s) in: Bradley
Creek (37.2819, –122.3802); Butano
Creek (37.2419, –122.3165); Evans Creek
(37.2659, –122.2163); Honsinger Creek
(37.2828, –122.3316); Little Boulder
Creek (37.2145, –122.1964); Little
Butano Creek (37.2040, –122.3492); Oil
Creek (37.2572, –122.1325); Pescadero
Creek (37.2320, –122.1553); Lambert
Creek (37.3014, –122.1789); Peters Creek
(37.2883, –122.1694); Pomponio Creek
(37.3030, –122.3805); Slate Creek
(37.2530, –122.1935); Tarwater Creek
(37.2731, –122.2387); Waterman Creek
(37.2455, –122.1568).
(5) Bay Bridge Hydrologic UnitT
2203—(i) San Rafael Hydrologic Subarea 220320. Outlet(s) = Arroyo Corte
Madera del Presidio (Lat 37.8917, Long
–122.5254); Corte Madera Creek
(37.9425, –122.5059) upstream to
endpoint(s) in: Arroyo Corte Madera del
Presidio (37.9298, –122.5723); Cascade
Creek (37.9867, –122.6287); Cascade
Creek (37.9157, –122.5655); Larkspur
Creek (37.9305, –122.5514); Old Mill
Creek (37.9176, –122.5746); Ross Creek
(37.9558, –122.5752); San Anselmo
Creek (37.9825, –122.6420); Sleepy
Hollow Creek (38.0074, –122.5794);
Tamalpais Creek (37.9481, –122.5674).
(ii) [Reserved]
(6) Santa Clara Hydrologic Unit
2205—(i) Coyote Creek Hydrologic Subarea 220530. Outlet(s) = Coyote Creek
(Lat 37.4629, Long –121.9894; 37.2275,
–121.7514) upstream to endpoint(s) in:
Arroyo Aguague (37.3907, –121.7836);
Coyote Creek (37.2778, –121.8033;
37.1677, –121.6301); Upper Penitencia
Creek (37.3969, –121.7577).
(ii) Guadalupe River—San Jose
Hydrologic Sub-area 220540. Outlet(s) =
Coyote Creek (Lat 37.2778, Long
–121.8033) upstream to endpoint(s) in:
Coyote Creek (37.2275, –121.7514).
(iii) Palo Alto Hydrologic Sub-area
220550. Outlet(s) = Guadalupe River
(Lat 37.4614, Long –122.0240); San
Francisquito Creek (37.4658,
–122.1152); Stevens Creek (37.4456,
–122.0641) upstream to endpoint(s) in:
Bear Creek (37.4164, –122.2690); Corte
Madera Creek (37.4073, –122.2378);
Guadalupe River (37.3499, –.121.9094);
Los Trancos (37.3293, –122.1786);
McGarvey Gulch (37.4416, –122.2955);
Squealer Gulch (37.4335, –122.2880);
Stevens Creek (37.2990, –122.0778);
West Union Creek (37.4528, –122.3020).
(7) San Pablo Hydrologic Unit 2206—
(i) Petaluma River Hydrologic Sub-area
220630. Outlet(s) = Petaluma River (Lat
38.1111, Long –122.4944) upstream to
endpoint(s) in: Adobe Creek (38.2940,
–122.5834); Lichau Creek (38.2848,
–122.6654); Lynch Creek (38.2748,
–122.6194); Petaluma River (38.3010,
–122.7149); Schultz Slough (38.1892,
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–122.5953); San Antonio Creek
(38.2049, –122.7408); Unnamed
Tributary (38.3105, –122.6146); Willow
Brook (38.3165, –122.6113).
(ii) Sonoma Creek Hydrologic Subarea 220640. Outlet(s) = Sonoma Creek
(Lat 38.1525, Long –122.4050) upstream
to endpoint(s) in: Agua Caliente Creek
(38.3368, –122.4518); Asbury Creek
(38.3401, –122.5590); Bear Creek
(38.4656, –122.5253); Calabazas Creek
(38.4033, –122.4803); Carriger Creek
(38.3031, –122.5336); Graham Creek
(38.3474, –122.5607); Hooker Creek
(38.3809, –122.4562); Mill Creek
(38.3395, –122.5454); Nathanson Creek
(38.3350, –122.4290); Rodgers Creek
(38.2924, –122.5543); Schell Creek
(38.2554, –122.4510); Sonoma Creek
(38.4507, –122.4819); Stuart Creek
(38.3936, –122.4708); Yulupa Creek
(38.3986, –122.5934).
(iii) Napa River Hydrologic Sub-area
220650. Outlet(s) = Napa River (Lat
38.0786, Long –122.2468) upstream to
endpoint(s) in: Bale Slough (38.4806,
–122.4578); Bear Canyon Creek
(38.4512, –122.4415); Bell Canyon Creek
(38.5551, –122.4827); Brown’s Valley
Creek (38.3251, –122.3686); Canon
Creek (38.5368, –122.4854); Carneros
Creek (38.3108, –122.3914); Conn Creek
(38.4843, –122.3824); Cyrus Creek
(38.5776, –122.6032); Diamond
Mountain Creek (38.5645, –122.5903);
Dry Creek (38.4334, –122.4791); Dutch
Henery Creek (38.6080, –122.5253);
Garnett Creek (38.6236, –122.5860);
Huichica Creek (38.2811, –122.3936);
Jericho Canyon Creek (38.6219,
–122.5933); Miliken Creek (38.3773,
–122.2280); Mill Creek (38.5299,
–122.5513); Murphy Creek (38.3155,
–122.2111); Napa Creek (38.3047,
–122.3134); Napa River (38.6638,
–122.6201); Pickle Canyon Creek
(38.3672, –122.4071); Rector Creek
(38.4410, –122.3451); Redwood Creek
(38.3765, –122.4466); Ritchie Creek
(38.5369, –122.5652); Sarco Creek
(38.3567, –122.2071); Soda Creek
(38.4156, –122.2953); Spencer Creek
(38.2729, –122.1909); Sulphur Creek
(38.4895, –122.5088); Suscol Creek
(38.2522, –122.2157); Tulucay Creek
(38.2929, –122.2389); Unnamed
Tributary (38.4248, –122.4935);
Unnamed Tributary (38.4839,
–122.5161); York Creek (38.5128,
–122.5023).
(8) Big Basin Hydrologic Unit 3304—
(i) Davenport Hydrologic Sub-area
330411. Outlet(s) = Baldwin Creek (Lat
36.9669, –122.1232); Davenport Landing
Creek (37.0231, –122.2153); Laguna
Creek (36.9824, –122.1560); Liddell
Creek (37.0001, –122.1816); Majors
Creek (36.9762, –122.1423); Molino
Creek (37.0368, –122.2292); San Vicente
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Creek (37.0093, –122.1940); Scott Creek
(37.0404, –122.2307); Waddell Creek
(37.0935, –122.2762); Wilder Creek
(36.9535, –122.0775) upstream to
endpoint(s) in: Baldwin Creek (37.0126,
–122.1006); Bettencourt Creek (37.1081,
–122.2386); Big Creek (37.0832,
–122.2175); Davenport Landing Creek
(37.0475, –122.1920); East Branch
Waddell Creek (37.1482, –122.2531);
East Fork Liddell Creek (37.0204,
–122.1521); Henry Creek (37.1695,
–122.2751); Laguna Creek (37.0185,
–122.1287); Little Creek (37.0688,
–122.2097); Majors Creek (36.9815,
–122.1374); Middle Fork East Fork
Liddell Creek (37.0194, –122.1608); Mill
Creek (37.1034, –122.2218); Mill Creek
(37.0235, –122.2218); Molino Creek
(37.0384, –122.2125); Peasley Gulch
(36.9824, –122.0861); Queseria Creek
(37.0521, –122.2042); San Vicente Creek
(37.0417, –122.1741); Scott Creek
(37.1338, –122.2306); West Branch
Waddell Creek (37.1697, –122.2642);
West Fork Liddell Creek (37.0117,
–122.1763); Unnamed Tributary
(37.0103, –122.0701); Wilder Creek
(37.0107, –122.0770).
(ii) San Lorenzo Hydrologic Sub-area
330412. Outlet(s) = Arana Gulch Creek
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(Lat 36.9676, Long –122.0028); San
Lorenzo River (36.9641, –122.0125)
upstream to endpoint(s) in: Arana Gulch
Creek (37.0270, –121.9739); Bean Creek
(37.0956, –122.0022); Bear Creek
(37.1711, –122.0750); Boulder Creek
(37.1952, –122.1892); Bracken Brae
Creek (37.1441, –122.1459); Branciforte
Creek (37.0701, –121.9749); Crystal
Creek (37.0333, –121.9825); Carbonera
Creek (37.0286, –122.0202); Central
Branch Arana Gulch Creek (37.0170,
–121.9874); Deer Creek (37.2215,
–122.0799); Fall Creek (37.0705,
–122.1063); Gold Gulch Creek (37.0427,
–122.1018); Granite Creek (37.0490,
–121.9979); Hare Creek (37.1544,
–122.1690); Jameson Creek (37.1485,
–122.1904); Kings Creek (37.2262,
–122.1059); Lompico Creek (37.1250,
–122.0496); Mackenzie Creek (37.0866,
–122.0176); Mountain Charlie Creek
(37.1385, –121.9914); Newell Creek
(37.1019, –122.0724); San Lorenzo River
(37.2276, –122.1384); Two Bar Creek
(37.1833, –122.0929); Unnamed
Tributary (37.2106, –122.0952);
Unnamed Tributary (37.2032,
–122.0699); Zayante Creek (37.1062,
–122.0224).
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(iii) Aptos-Soquel Hydrologic Subarea 330413. Outlet(s) = Aptos Creek
(Lat 36.9692, Long –121.9065); Soquel
Creek (36.9720, –121.9526) upstream to
endpoint(s) in: Amaya Creek (37.0930,
–121.9297); Aptos Creek (37.0545,
–121.8568); Bates Creek (37.0099,
–121.9353); Bridge Creek (37.0464,
–121.8969); East Branch Soquel Creek
(37.0690, –121.8297); Hester Creek
(37.0967, –121.9458); Hinckley Creek
(37.0671, –121.9069); Moores Gulch
(37.0573, –121.9579); Valencia Creek
(37.0323, –121.8493); West Branch
Soquel Creek (37.1095, –121.9606).
(iv) Ano Nuevo Hydrologic Sub-area
330420. Outlet(s) = Ano Nuevo Creek
(Lat 37.1163, Long –122.3060); Gazos
Creek (37.1646, –122.3625); Whitehouse
Creek (37.1457, –122.3469) upstream to
endpoint(s) in: Ano Nuevo Creek
(37.1269, –122.3039); Bear Gulch
(37.1965, –122.2773); Gazos Creek
(37.2088, –122.2868); Old Womans
Creek (37.1829, –122.3033); Whitehouse
Creek (37.1775, –122.2900).
(9) Maps of critical habitat for the
Central California Coast Steelhead ESU
follow:
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(i) South-Central California Coast
Steelhead (O. mykiss). Critical habitat is
designated to include the areas defined
in the following CALWATER
Hydrologic Units:
(1) Pajaro River Hydrologic Unit
3305—(i) Watsonville Hydrologic Subarea 330510. Outlet(s) = Pajaro River
(Lat 36.8506, Long –121.8101) upstream
to endpoint(s) in: Banks Canyon Creek
(36.9958, –121.7264); Browns Creek
(37.0255, –121.7754); Casserly Creek
(36.9902, –121.7359); Corralitos Creek
(37.0666, –121.8359); Gaffey Creek
(36.9905, –121.7132); Gamecock Canyon
(37.0362, –121.7587); Green Valley
Creek (37.0073, –121.7256); Ramsey
Gulch (37.0447, –121.7755); Redwood
Canyon (37.0342, –121.7975);
Salsipuedes Creek (36.9350, –121.7426);
Shingle Mill Gulch (37.0446,
–121.7971).
(ii) Santa Cruz Mountains Hydrologic
Sub-area 330520. Outlet(s) = Pajaro
River (Lat 36.9010, Long –121.5861);
Bodfish Creek (37.0041, –121.6667);
Pescadero Creek (36.9125, –121.5882);
Tar Creek (36.9304, –121.5520); Uvas
Creek (37.0146, –121.6314) upstream to
endpoint(s) in: Blackhawk Canyon
(37.0168, –121.6912); Bodfish Creek
(36.9985, –121.6859); Little Arthur
Creek (37.0299, –121.6874); Pescadero
Creek (36.9826, –121.6274); Tar Creek
(36.9558, –121.6009); Uvas Creek
(37.0660, –121.6912).
(iii) South Santa Clara Valley
Hydrologic Sub-area 330530. Outlet(s) =
San Benito River (Lat 36.8961, Long
–121.5625); Pajaro River (36.9222,
–121.5388) upstream to endpoint(s) in:
Arroyo Dos Picachos (36.8866,
–121.3184); Bodfish Creek (37.0080,
–121.6652); Bodfish Creek (37.0041,
–121.6667); Carnadero Creek (36.9603,
–121.5328); Llagas Creek (37.1159,
–121.6938); Miller Canal (36.9698,
–121.4814); Pacheco Creek (37.0055,
–121.3598); San Felipe Lake (36.9835,
–121.4604); Tar Creek (36.9304,
–121.5520); Tequisquita Slough
(36.9170, –121.3887); Uvas Creek
(37.0146, –121.6314).
(iv) Pacheco-Santa Ana Creek
Hydrologic Sub-area 330540. Outlet(s) =
Arroyo Dos Picachos (Lat 36.8866, Long
–121.3184); Pacheco Creek (37.0055,
–121.3598) upstream to endpoint(s) in:
Arroyo Dos Picachos (36.8912,
–121.2305); Cedar Creek (37.0922,
–121.3641); North Fork Pacheco Creek
(37.0514, –121.2911); Pacheco Creek
(37.0445, –121.2662); South Fork
Pacheco Creek (37.0227, –121.2603).
(v) San Benito River Hyddrologic Subarea 330550. Outlet(s) = San Benito
River (Lat 36.7838, Long –121.3731)
upstream to endpoint(s) in: Bird Creek
(36.7604, –121.4506); Pescadero Creek
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(36.7202, –121.4187); San Benito River
(36.3324, –120.6316); Sawmill Creek
(36.3593, –120.6284).
(2) Carmel River Hydrologic Unit
3307—(i) Carmel River Hydrologic Subarea 330700. Outlet(s) = Carmel River
(Lat 36.5362, Long –121.9285) upstream
to endpoint(s) in: Aqua Mojo Creek
(36.4711, –121.5407); Big Creek
(36.3935, –121.5419); Blue Creek
(36.2796, –121.6530); Boronda Creek
(36.3542, –121.6091); Bruce Fork
(36.3221, –121.6385); Cachagua Creek
(36.3909 , –121.5950); Carmel River
(36.2837, –121.6203); Danish Creek
(36.3730, –121.7590); Hitchcock Canyon
Creek (36.4470, –121.7597); James Creek
(36.3235, –121.5804); Las Garzas Creek
(36.4607, –121.7944); Millers Fork
(36.2961, –121.5697); Pinch Creek
(36.3236, –121.5574); Pine Creek
(36.3827, –121.7727); Potrero Creek
(36.4801, –121.8258); Rana Creek
(36.4877, –121.5840); Rattlesnake Creek
(36.3442, –121.7080); Robertson Canyon
Creek (36.4776, –121.8048); Robertson
Creek (36.3658, –121.5165); San
Clemente Creek (36.4227, –121.8115);
Tularcitos Creek (36.4369, –121.5163);
Ventana Mesa Creek (36.2977,
–121.7116).
(ii) [Reserved]
(3) Santa Lucia Hydrologic Unit 3308(i) Santa Lucia Hydrologic Sub-area
330800. Outlet(s) = Alder Creek (Lat
35.8578, Long –121.4165); Big Creek
(36.0696, –121.6005); Big Sur River
(36.2815, –121.8593); Bixby Creek
(36.3713, –121.9029); Garrapata Creek
(36.4176, –121.9157); Limekiln Creek
(36.0084, –121.5196); Little Sur River
(36.3350, –121.8934); Malpaso Creek
(36.4814, –121.9384); Mill Creek
(35.9825, –121.4917); Partington Creek
(36.1753, –121.6973); Plaskett Creek
(35.9195, –121.4717); Prewitt Creek
(35.9353, –121.4760); Rocky Creek
(36.3798, –121.9028); Salmon Creek
(35.3558, –121.3634); San Jose Creek
(36.5259, –121.9253); Vicente Creek
(36.0442, –121.5855); Villa Creek
(35.8495, –121.4087); Willow Creek
(35.8935, –121.4619) upstream to
endpoint(s) in: Alder Creek (35.8685,
–121.3974); Big Creek (36.0830,
–121.5884); Big Sur River (36.2490,
–121.7269); Bixby Creek (36.3715,
–121.8440); Devil’s Canyon Creek
(36.0773, –121.5695); Garrapata Creek
(36.4042, –121.8594); Joshua Creek
(36.4182, –121.9000); Limekiln Creek
(36.0154, –121.5146); Little Sur River
(36.3312, –121.7557); Malpaso Creek
(36.4681, –121.8800); Mill Creek
(35.9907, –121.4632); North Fork Big
Sur River (36.2178, –121.5948);
Partington Creek (36.1929, –121.6825);
Plaskett Creek (35.9228, –121.4493);
Prewitt Creek (35.9419, –121.4598);
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Redwood Creek (36.2825, –121.6745);
Rocky Creek (36.3805, –121.8440); San
Jose Creek (36.4662, –121.8118); South
Fork Little Sur River (36.3026,
–121.8093); Vicente Creek (36.0463,
–121.5780); Villa Creek (35.8525,
–121.3973); Wildcat Canyon Creek
(36.4124, –121.8680); Williams Canyon
Creek (36.4466, –121.8526); Willow
Creek (35.9050, –121.3851).
(ii) [Reserved]
(4) Salinas River Hydrologic Unit
3309–(i) Neponset Hydrologic Sub-area
330911. Outlet(s) = Salinas River (Lat
36.7498, Long –121.8055); upstream to
endpoint(s) in: Gabilan Creek (36.6923,
–121.6300); Old Salinas River (36.7728,
–121.7884); Tembladero Slough
(36.6865, –121.6409).
(ii) Chualar Hydrologic Sub-area
330920. Outlet(s) = Gabilan Creek (Lat
36.6923, Long –121.6300) upstream.
(iii) Soledad Hydrologic Sub-area
330930. Outlet(s) = Salinas River (Lat
36.4878, Long –121.4688) upstream to
endpoint(s) in: Arroyo Seco River
(36.2644, –121.3812); Reliz Creek
(36.2438, –121.2881).
(iv) Upper Salinas Valley Hydrologic
Sub-area 330940. Outlet(s) = Salinas
River (Lat 36.3183, Long –121.1837)
upstream.
(v) Arroyo Seco Hydrologic Sub-area
330960. Outlet(s) = Arroyo Seco River
(Lat 36.2644, Long –121.3812); Reliz
Creek ( 36.2438, –121.2881); Vasqueros
Creek (36.2648, –121.3368) upstream to
endpoint(s) in: Arroyo Seco River
(36.2041, –121.5002); Calaboose Creek
(36.2942, –121.5082); Church Creek
(36.2762, –121.5877); Horse Creek
(36.2046, –121.3931); Paloma Creek
(36.3195, –121.4894); Piney Creek
(36.3023, –121.5629); Reliz Creek
(36.1935, –121.2777); Rocky Creek
(36.2676, –121.5225); Santa Lucia Creek
(36.1999, –121.4785); Tassajara Creek
(36.2679, –121.6149); Vaqueros Creek
(36.2479, –121.3369); Willow Creek
(36.2059, –121.5642).
(vi) Gabilan Range Hydrologic Subarea 330970. Outlet(s) = Gabilan Creek
(Lat 36.7800, –121.5836) upstream to
endpoint(s) in: Gabilan Creek (36.7335,
–121.4939).
(vii) Paso Robles Hydrologic Sub-area
330981. Outlet(s) = Salinas River (Lat
35.9241, Long –120.8650) upstream to
endpoint(s) in:
Atascadero Creek (35.4468,
–120.7010); Graves Creek (35.4838,
–120.7631); Jack Creek (35.5815,
–120.8560); Nacimiento River (35.7610,
–120.8853); Paso Robles Creek (35.5636,
–120.8455); Salinas River (35.3886,
–120.5582); San Antonio River (35.7991,
–120.8849); San Marcos Creek (35.6734,
–120.8140); Santa Margarita Creek
(35.3923, –120.6619); Santa Rita Creek
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(35.5262, –120.8396); Sheepcamp Creek
(35.6145, –120.7795); Summit Creek
(35.6441, –120.8046); Tassajera Creek
(35.3895, –120.6926); Trout Creek
(35.3394, –120.5881); Willow Creek
(35.6107, –120.7720).
(5) Estero Bay Hydrologic Unit 3310—
(i) San Carpoforo Hydrologic Sub-area
331011. Outlet(s) = San Carpoforo Creek
(Lat 35.7646, Long –121.3247) upstream
to endpoint(s) in: Dutra Creek (35.8197,
–121.3273); Estrada Creek (35.7710,
–121.2661); San Carpoforo Creek
(35.8202, –121.2745); Unnamed
Tributary (35.7503, –121.2703); Wagner
Creek (35.8166, –121.2387).
(ii) Arroyo De La Cruz Hydrologic
Sub-area 331012. Outlet(s) = Arroyo De
La Cruz (Lat 35.7097, Long –121.3080)
upstream to endpoint(s) in: Arroyo De
La Cruz (35.6986, –121.1722); Burnett
Creek (35.7520, –121.1920); Green
Canyon Creek (35.7375 , –121.2314);
Marmolejo Creek (35.6774, –121.1082);
Spanish Cabin Creek (35.7234,
–121.1497); Unnamed Tributary
(35.7291, –121.1977); West Fork Burnett
Creek (35.7516, –121.2075).
(iii) San Simeon Hydrologic Sub-area
331013. Outlet(s) = Arroyo del Corral
(Lat 35.6838, Long –121.2875); Arroyo
del Puerto (35.6432, –121.1889); Little
Pico Creek (35.6336, –121.1639); Oak
Knoll Creek (35.6512, –121.2197); Pico
Creek (35.6155, –121.1495); San Simeon
Creek (35.5950, –121.1272) upstream to
endpoint(s) in: Arroyo Laguna (35.6895,
–121.2337); Arroyo del Corral (35.6885,
–121.2537); Arroyo del Puerto (35.6773,
–121.1713); Little Pico Creek (35.6890,
–121.1375); Oak Knoll Creek (35.6718,
–121.2010); North Fork Pico Creek
(35.6886, –121.0861); San Simeon Creek
(35.6228, –121.0561); South Fork Pico
Creek (35.6640, –121.0685); Steiner
Creek (35.6032, –121.0640); Unnamed
Tributary (35.6482, –121.1067);
Unnamed Tributary (35.6616,
–121.0639); Unnamed Tributary
(35.6741, –121.0981); Unnamed
Tributary (35.6777, –121.1503);
Unnamed Tributary (35.6604,
–121.1571); Unnamed Tributary
(35.6579, –121.1356); Unnamed
Tributary (35.6744, –121.1187);
Unnamed Tributary (35.6460,
–121.1373); Unnamed Tributary
(35.6839, –121.0955); Unnamed
Tributary (35.6431, –121.0795);
Unnamed Tributary (35.6820,
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(35.6977, –121.2613); Unnamed
Tributary (35.6702, –121.1884);
Unnamed Tributary (35.6817,
–121.0885); Van Gordon Creek (35.6286,
–121.0942).
(iv) Santa Rosa Hydrologic Sub-area
331014. Outlet(s) = Santa Rosa Creek
(Lat 35.5685, Long –121.1113) upstream
to endpoint(s) in: Green Valley Creek
(35.5511, –120.9471); Perry Creek
(35.5323–121.0491); Santa Rosa Creek
(35.5525, –120.9278); Unnamed
Tributary (35.5965, –120.9413);
Unnamed Tributary (35.5684,
–120.9211); Unnamed Tributary
(35.5746, –120.9746).
(v) Villa Hydrologic Sub-area 331015.
Outlet(s) = Villa Creek (Lat 35.4601,
Long –120.9704) upstream to
endpoint(s) in: Unnamed Tributary
(35.4798, –120.9630); Unnamed
Tributary (35.5080, –121.0171);
Unnamed Tributary (35.5348,
–120.8878); Unnamed Tributary
(35.5510, –120.9406); Unnamed
Tributary (35.5151, –120.9497);
Unnamed Tributary (35.4917,
–120.9584); Unnamed Tributary
(35.5173, –120.9516); Villa Creek
(35.5352, –120.8942).
(vi) Cayucos Hydrologic Sub-area
331016. Outlet(s) = Cayucos Creek (Lat
35.4491, Long –120.9079) upstream to
endpoint(s) in: Cayucos Creek (35.5257,
–120.9271); Unnamed Tributary
(35.5157, –120.9005); Unnamed
Tributary (35.4943, –120.9513);
Unnamed Tributary (35.4887,
–120.8968).
(vii) Old Hydrologic Sub-area 331017.
Outlet(s) = Old Creek (Lat 35.4345, Long
–120.8868) upstream to endpoint(s) in:
Old Creek (35.4480, –120.8871)
(viii) Toro Hydrologic Sub-area
331018. Outlet(s) = Toro Creek (Lat
35.4126, Long –120.8739) upstream to
endpoint(s) in: Toro Creek (35.4945,
–120.7934); Unnamed Tributary
(35.4917, –120.7983).
(ix) Morro Hydrologic Sub-area
331021. Outlet(s) = Morro Creek (Lat
35.3762, Long –120.8642) upstream to
endpoint(s) in: East Fork Morro Creek
(35.4218, –120.7282); Little Morro Creek
(35.4155, –120.7532); Morro Creek
(35.4291, –120.7515); Unnamed
Tributary (35.4292, –120.8122);
Unnamed Tributary (35.4458,
–120.7906); Unnamed Tributary
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(35.4122, –120.8335); Unnamed
Tributary (35.4420, –120.7796).
(x) Chorro Hydrologic Sub-area
331022. Outlet(s) = Chorro Creek (Lat
35.3413, Long –120.8388) upstream to
endpoint(s) in: Chorro Creek (35.3340,
–120.6897); Dairy Creek (35.3699,
–120.6911); Pennington Creek (35.3655,
–120.7144); San Bernardo Creek
(35.3935, –120.7638); San Luisito
(35.3755, –120.7100); Unnamed
Tributary (35.3821, –120.7217);
Unnamed Tributary (35.3815,
–120.7350).
(xi) Los Osos Hydrologic Sub-area
331023. Outlet(s) = Los Osos Creek (Lat
35.3379, Long –120.8273) upstream to
endpoint(s) in: Los Osos Creek (35.2718,
–120.7627).
(xii) San Luis Obispo Creek
Hydrologic Sub-area 331024. Outlet(s) =
San Luis Obispo Creek (Lat 35.1822,
Long –120.7303) upstream to
endpoint(s) in: Brizziolari Creek
(35.3236, –120.6411); Froom Creek
(35.2525, –120.7144); Prefumo Creek
(35.2615, –120.7081); San Luis Obispo
Creek (35.3393, –120.6301); See Canyon
Creek (35.2306, –120.7675); Stenner
Creek (35.3447, –120.6584); Unnamed
Tributary (35.2443, –120.7655).
(xiii) Point San Luis Hydrologic Subarea 331025. Outlet(s) = Coon Creek (Lat
35.2590, Long –120.8951); Islay Creek
(35.2753, –120.8884) upstream to
endpoint(s) in: Coon Creek (35.2493,
–120.7774); Islay Creek (35.2574,
–120.7810); Unnamed Tributary
(35.2753, –120.8146); Unnamed
Tributary (35.2809, –120.8147);
Unnamed Tributary (35.2648,
–120.7936).
(xiv) Pismo Hydrologic Sub-area
331026. Outlet(s) = Pismo Creek (Lat
35.1336, Long –120.6408) upstream to
endpoint(s) in: East Corral de Piedra
Creek (35.2343, –120.5571); Pismo
Creek (35.1969, –120.6107); Unnamed
Tributary (35.2462, –120.5856).
(xv) Oceano Hydrologic Sub-area
331031. Outlet(s) = Arroyo Grande
Creek (Lat 35.1011, Long –120.6308)
upstream to endpoint(s) in: Arroyo
Grande Creek (35.1868, –120.4881); Los
Berros Creek (35.0791, –120.4423).
(6) Maps of critical habitat for the
South-Central Coast Steelhead ESU
follow:
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(j) Southern California Steelhead (O.
mykiss). Critical habitat is designated to
include the areas defined in the
following CALWATER Hydrologic
Units:
(1) Santa Maria River Hydrologic Unit
3312—(i) Santa Maria Hydrologic Subarea 331210. Outlet(s) = Santa Maria
River (Lat 34.9710, Long –120.6504)
upstream to endpoint(s) in: Cuyama
River (34.9058, –120.3026); Santa Maria
River (34.9042, –120.3077); Sisquoc
River (34.8941, –120.3063).
(ii) Sisquoc Hydrologic Sub-area
331220. Outlet(s) = Sisquoc River (Lat
34.8941, Long –120.3063) upstream to
endpoint(s) in: Abel Canyon (34.8662,
–119.8354); Davey Brown Creek
(34.7541, –119.9650); Fish Creek
(34.7531, –119.9100); Foresters Leap
(34.8112, –119.7545); La Brea Creek
(34.8804, –120.1316); Horse Creek
(34.8372, –120.0171); Judell Creek
(34.7613, –119.6496); Manzana Creek
(34.7082, –119.8324); North Fork La
Brea Creek (34.9681, –120.0112);
Sisquoc River (34.7087, –119.6409);
South Fork La Brea Creek (34.9543,
–119.9793); South Fork Sisquoc River
(34.7300, –119.7877); Unnamed
Tributary (34.9342, –120.0589);
Unnamed Tributary (34.9510,
–120.0140); Unnamed Tributary
(34.9687, –120.1419); Unnamed
Tributary (34.9626, –120.1500);
Unnamed Tributary (34.9672,
–120.1194); Unnamed Tributary
(34.9682, –120.0990); Unnamed
Tributary (34.9973, –120.0662);
Unnamed Tributary (34.9922,
–120.0294); Unnamed Tributary
(35.0158, –120.0337); Unnamed
Tributary (34.9464, –120.0309);
Unnamed Tributary (34.7544,
–119.9476); Unnamed Tributary
(34.7466, –119.9047); Unnamed
Tributary (34.7646, –119.8673);
Unnamed Tributary (34.8726,
–119.9525); Unnamed Tributary
(34.8884, –119.9325); Unnamed
Tributary (34.8659, –119.8982);
Unnamed Tributary (34.8677,
–119.8513); Unnamed Tributary
(34.8608, –119.8541); Unnamed
Tributary (34.8784, –119.8458);
Unnamed Tributary (34.8615,
–119.8159); Unnamed Tributary
(34.8694, –119.8229); Unnamed
Tributary (34.7931, –119.8485);
Unnamed Tributary (34.7846,
–119.8337); Unnamed Tributary
(34.7872, –119.7684); Unnamed
Tributary (34.7866, –119.7552);
Unnamed Tributary (34.8129,
–119.7714); Unnamed Tributary
(34.7760, –119.7448); Unnamed
Tributary (34.7579, –119.7999);
Unnamed Tributary (34.7510,
–119.7921); Unnamed Tributary
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(34.7769, –119.7149); Unnamed
Tributary (34.7617, –119.6878);
Unnamed Tributary (34.7680,
–119.6503); Unnamed Tributary
(34.7738, –119.6493); Unnamed
Tributary (34.7332, –119.6286);
Unnamed Tributary (34.7519,
–119.6209); Unnamed Tributary
(34.7188, –119.6673); Water Canyon
(34.8754, –119.9324).
(2) Santa Ynex Hydrologic Unit
3314—(i) Mouth of Santa Ynez
Hydrologic Sub-area 331410. Outlet(s) =
Santa Ynez River (Lat 34.6930, Long
–120.6033) upstream to endpoint(s) in:
San Miguelito Creek (34.6309,
–120.4631).
(ii) Santa Ynez, Salsipuedes
Hydrologic Sub-area 331420. Outlet(s) =
Santa Ynez River (Lat 34.6335, Long
–120.4126) upstream to endpoint(s) in:
El Callejon Creek (34.5475, –120.2701);
El Jaro Creek (34.5327, –120.2861);
Llanito Creek (34.5499, –120.2762);
Salsipuedes Creek (34.5711, –120.4076).
(iii) Santa Ynez, Zaca Hydrologic
Sub-area 331430. Outlet(s) = Santa Ynez
River (Lat 34.6172, Long –120.2352)
upstream.
(iv) Santa Ynez to Bradbury
Hydrologic Sub-area 331440. Outlet(s) =
Santa Ynez River (Lat 34.5847, Long
–120.1445) upstream to endpoint(s) in:
Alisal Creek (34.5465, –120.1358);
Hilton Creek (34.5839, –119.9855);
Quiota Creek (34.5370, –120.0321); San
Lucas Creek (34.5558, –120.0119); Santa
Ynez River (34.5829, –119.9805);
Unnamed Tributary (34.5646,
–120.0043).
(3) South Coast Hydrologic Unit
3315—(i) Arroyo Hondo Hydrologic
Sub-area 331510. Outlet(s) = Alegria
Creek (Lat 34.4688, Long –120.2720);
Arroyo Hondo Creek (34.4735,
–120.1415); Cojo Creek (34.4531,
–120.4165); Dos Pueblos Creek (34.4407,
–119.9646); El Capitan Creek (34.4577,
–120.0225); Gato Creek (34.4497,
–119.9885); Gaviota Creek (34.4706,
–120.2267); Jalama Creek (34.5119,
–120.5023); Refugio Creek (34.4627,
–120.0696); Sacate Creek (34.4708,
–120.2942); San Augustine Creek
(34.4588, –120.3542); San Onofre Creek
(34.4699, –120.1872); Santa Anita Creek
(34.4669, –120.3066); Tecolote Creek
(34.4306, –119.9173) upstream to
endpoint(s) in: Alegria Creek (34.4713,
–120.2714); Arroyo Hondo Creek
(34.5112, –120.1704); Cojo Creek
(34.4840, –120.4106); Dos Pueblos Creek
(34.5230, –119.9249); El Capitan Creek
(34.5238, –119.9806); Escondido Creek
(34.5663, –120.4643); Gato Creek
(34.5203, –119.9758); Gaviota Creek
(34.5176, –120.2179); Jalama Creek
(34.5031, –120.3615); La Olla (34.4836,
–120.4071); Refugio Creek (34.5109,
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–120.0508); Sacate Creek (34.4984,
–120.2993); San Augustine Creek
(34.4598, –120.3561); San Onofre Creek
(34.4853, –120.1890); Santa Anita Creek
(34.4742, –120.3085); Tecolote Creek
(34.5133, –119.9058); Unnamed
Tributary (34.5527, –120.4548);
Unnamed Tributary (34.4972,
–120.3026).
(ii) UCSB Slough Hydrologic Sub-area
331531. Outlet(s) = San Pedro Creek (Lat
34.4179, Long –119.8295); Tecolito
Creek (34.4179, –119.8295) upstream to
endpoint(s) in: Atascadero Creek
(34.4345, –119.7755); Carneros Creek
(34.4674, –119.8584); Cieneguitas Creek
(34.4690, –119.7565); Glen Annie Creek
(34.4985, –119.8666); Maria Ygnacio
Creek (34.4900, –119.7830); San
Antonio Creek (34.4553, –119.7826);
San Pedro Creek (34.4774, –119.8359);
San Jose Creek (34.4919, –119.8032);
Tecolito Creek (34.4478, –119.8763);
Unnamed Tributary (34.4774,
–119.8846).
(iii) Mission Hydrologic Sub-area
331532. Outlet(s) = Arroyo Burro Creek
(Lat 34.4023, Long –119.7430); Mission
Creek (34.4124, –119.6876); Sycamore
Creek (34.4166, –119.6668) upstream to
endpoint(s) in: Arroyo Burro Creek
(34.4620, –119.7461); Mission Creek
(34.4482, –119.7089); Rattlesnake Creek
(34.4633, –119.6902); San Roque Creek
(34.4530, –119.7323); Sycamore Creek
(34.4609, –119.6841).
(iv) San Ysidro Hydrologic Sub-area
331533. Outlet(s) = Montecito Creek (Lat
34.4167, Long –119.6344); Romero
Creek (34.4186, –119.6208); San Ysidro
Creek (34.4191, –119.6254); upstream to
endpoint(s) in: Cold Springs Creek
(34.4794, –119.6604); Montecito Creek
(34.4594, –119.6542); Romero Creek
(34.4452, –119.5924); San Ysidro Creek
(34.4686, –119.6229); Unnamed
Tributary (34.4753, –119.6437).
(v) Carpinteria Hydrologic Sub-area
331534. Outlet(s) = Arroyo Paredon (Lat
34.4146, Long –119.5561); Carpenteria
Lagoon (Carpenteria Creek) (34.3904,
–119.5204); Rincon Lagoon (Rincon
Creek) (34.3733, –119.4769) upstream to
endpoint(s) in: Arroyo Paredon
(34.4371, –119.5481); Carpinteria Creek
(34.4429, –119.4964); El Dorado Creek
(34.4682, –119.4809); Gobernador Creek
(34.4249, –119.4746); Rincon Lagoon
(Rincon Creek) (34.3757, –119.4777);
Steer Creek (34.4687, –119.4596);
Unnamed Tributary (34.4481,
–119.5112).
(4) Ventura River Hydrologic Unit
4402—(i) Ventura Hydrologic Sub-area
440210. Outlet(s) = Ventura Estuary
(Ventura River) (Lat 34.2742, Long
–119.3077) upstream to endpoint(s) in:
Canada Larga (34.3675, –119.2377);
Hammond Canyon (34.3903,
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–119.2230); Sulphur Canyon (34.3727,
–119.2362); Unnamed Tributary
(34.3344, –119.2426); Unnamed
Tributary (34.3901, –119.2747).
(ii) Ventura Hydrologic Sub-area
440220. Outlet(s) = Ventura River (Lat
34.3517, Long –119.3069) upstream to
endpoint(s) in: Coyote Creek (34.3735,
–119.3337); Matilija Creek (34.4846,
–119.3086); North Fork Matilija Creek
(34.5129, –119.2737); San Antonio
Creek (34.4224, –119.2644); Ventura
River (34.4852, –119.3001).
(iii) Lions Hydrologic Sub-area
440231. Outlet(s) = Lion Creek (Lat
34.4222, Long –119.2644) upstream to
endpoint(s) in: Lion Creek (34.4331,
–119.2004).
(iv) Thatcher Hydrologic Sub-area
440232. Outlet(s) = San Antonio Creek
(Lat 34.4224, Long –119.2644) upstream
to endpoint(s) in: San Antonio Creek
(34.4370, –119.2417).
(5) Santa Clara Calleguas Hydrologic
Unit 4403—(i) Mouth of Santa Clara
Hydrologic Sub-area 440310. Outlet(s) =
Santa Clara River (Lat 34.2348, Long
–119.2568) upstream.
(ii) Santa Clara, Santa Paula
Hydrologic Sub-area 440321. Outlet(s) =
Santa Clara River (Lat 34.2731, Long
–119.1474) upstream to endpoint(s) in:
Santa Paula Creek (34.4500, –119.0563).
(iii) Sisar Hydrologic Sub-area
440322. Outlet(s) = Sisar Creek (Lat
34.4271, Long –119.0908) upstream to
endpoint(s) in: Sisar Creek (34.4615,
–119.1312).
(iv) Sespe, Santa Clara Hydrologic
Sub-area 440331. Outlet(s) = Santa Clara
River (Lat 34.3513, Long –119.0397)
upstream to endpoint(s) in: Sespe Creek
(34.4509, –118.9258).
(v) Sespe Hydrologic Sub-area
440332. Outlet(s) = Sespe Creek (Lat
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34.4509, Long –118.9258) upstream to
endpoint(s) in: Abadi Creek (34.6099,
–119.4223); Alder Creek (34.5691,
–118.9528); Bear Creek (34.5314,
–119.1041); Chorro Grande Creek
(34.6285, –119.3245); Fourfork Creek
(34.4735, –118.8893); Howard Creek
(34.5459, –119.2154); Lady Bug Creek
(34.5724, –119.3173); Lion Creek
(34.5047, –119.1101); Little Sespe Creek
(34.4598, –118.8938); Munson Creek
(34.6152, –119.2963); Park Creek
(34.5537, –119.0028); Piedra Blanca
Creek (34.6109, –119.1838); Pine
Canyon Creek (34.4488, –118.9661);
Portrero John Creek (34.6010,
–119.2695); Red Reef Creek (34.5344,
–119.0441); Rose Valley Creek (34.5195,
–119.1756); Sespe Creek (34.6295,
–119.4412); Timber Creek (34.5184,
–119.0698); Trout Creek (34.5869,
–119.1360); Tule Creek (34.5614,
–119.2986); Unnamed Tributary
(34.5125, –118.9311); Unnamed
Tributary (34.5537, –119.0088);
Unnamed Tributary (34.5537,
–119.0048); Unnamed Tributary
(34.5757, –119.3051); Unnamed
Tributary (34.5988, –119.2736);
Unnamed Tributary (34.5691,
–119.3428); West Fork Sespe Creek
(34.5106, –119.0502).
(vi) Santa Clara, Hopper Canyon, Piru
Hydrologic Sub-area 440341. Outlet(s) =
Santa Clara River (Lat 34.3860, Long
–118.8711) upstream to endpoint(s) in:
Hopper Creek (34.4263, –118.8309); Piru
Creek (34.4613, –118.7537); Santa Clara
River (34.3996, –118.7837).
(6) Santa Monica Bay Hydrologic Unit
4404—(i) Topanga Hydrologic Sub-area
440411. Outlet(s) = Topanga Creek (Lat
34.0397, Long –118.5831) upstream to
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endpoint(s) in: Topanga Creek (34.0838,
–118.5980).
(ii) Malibu Hydrologic Sub-area
440421. Outlet(s) = Malibu Creek (Lat
34.0322, Long –118.6796) upstream to
endpoint(s) in: Malibu Creek (34.0648,
–118.6987).
(iii) Arroyo Sequit Hydrologic Subarea 440444. Outlet(s) = Arroyo Sequit
(Lat 34.0445, Long –118.9338) upstream
to endpoint(s) in: Arroyo Sequit
(34.0839, –118.9186); West Fork Arroyo
Sequit (34.0909, –118.9235).
(7) Calleguas Hydrologic Unit 4408—
(i) Calleguas Estuary Hydrologic Subarea 440813. Outlet(s) = Mugu Lagoon
(Calleguas Creek) (Lat 34.1093, Long
–119.0917) upstream to endpoint(s) in:
Mugu Lagoon (Calleguas Creek) (Lat
34.1125, Long –119.0816).
(ii) [Reserved]
(8) San Juan Hydrologic Unit 4901—
(i) Middle Trabuco Hydrologic Sub-area
490123. Outlet(s) = Trabuco Creek (Lat
33.5165, Long –117.6727) upstream to
endpoint(s) in: Trabuco Creek (33.5264,
–117.6700).
(ii) Lower San Juan Hydrologic Subarea 490127. Outlet(s) = San Juan Creek
(Lat 33.4621, Long –117.6842) upstream
to endpoint(s) in: San Juan Creek
(33.4929, –117.6610); Trabuco Creek
(33.5165, –117.6727).
(iii) San Mateo Hydrologic Sub-area
490140. Outlet(s) = San Mateo Creek
(Lat 33.3851, Long –117.5933) upstream
to endpoint(s) in: San Mateo Creek
(33.4779, –117.4386); San Mateo
Canyon (33.4957, –117.4522).
(9) Maps of critical habitat for the
Southern California Steelhead ESU
follow:
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(k) Central Valley Spring Run
Chinook Salmon (O. tshawytscha).
Critical habitat is designated to include
the areas defined in the following
CALWATER Hydrologic Units:
(1) Tehama Hydrologic Unit 5504—(i)
Lower Stony Creek Hydrologic Sub-area
550410. Outlet(s) = Glenn-Colusa Canal
(Lat 39.6762, Long –122.0151); Stony
Creek (39.7122, –122.0072) upstream to
endpoint(s) in: Glenn-Colusa Canal
(39.7122, –122.0072); Stony Creek
(39.8178, –122.3253).
(ii) Red Bluff Hydrologic Sub-area
550420. Outlet(s) = Sacramento River
(Lat 39.6998, Long –121.9419) upstream
to endpoint(s) in: Antelope Creek
(40.2023, –122.1275); Big Chico Creek
(39.7757, –121.7525); Blue Tent Creek
(40.2284, –122.2551); Burch Creek
(39.8526, –122.1502); Butler Slough
(40.1579, –122.1320); Coyote Creek
(40.0929, –122.1621); Craig Creek
(40.1617, –122.1350); Deer Creek
(40.0144, –121.9481); Dibble Creek
(40.2003, –122.2420); Dye Creek
(40.0904, –122.0767); Elder Creek
(40.0526, –122.1717); Jewet Creek
(39.8913, –122.1005); Kusal Slough
(39.7577, –121.9699); Lindo Channel
(39.7623, –121.7923); McClure Creek
(40.0074, –122.1729); Mill Creek
(40.0550, –122.0317); Mud Creek
(39.7931, –121.8865); New Creek
(40.1873, –122.1350); Oat Creek
(40.0847, –122.1658); Pine Creek
(39.8760, –121.9777); Red Bank Creek
(40.1391, –122.2157); Reeds Creek
(40.1687, –122.2377); Rice Creek
(39.8495, –122.1626); Rock Creek
(39.8189, –121.9124); Salt Creek
(40.1869, –122.1845); Singer Creek
(39.9200, –121.9612); Thomes Creek
(39.8822, –122.5527); Toomes Creek
(39.9808, –122.0642); Unnamed
Tributary (39.8532, –122.1627);
Unnamed Tributary (40.1682,
–122.1459); Unnamed Tributary
(40.1867, –122.1353).
(2) Whitmore Hydrologic Unit 5507—
(i) Inks Creek Hydrologic Sub-area
550711. Outlet(s) = Inks Creek (Lat
40.3305, Long –122.1520) upstream to
endpoint(s) in: Inks Creek 40.3418,
–122.1332).
(ii) Battle Creek Hydrologic Sub-area
550712 Outlet(s) = Battle Creek (Lat
40.4083, Long –122.1102) upstream to
endpoint(s) in: Battle Creek (40.4228,
–121.9975); North Fork Battle Creek
(40.4746, –121.8436); South Fork Battle
Creek (40.3549, –121.6861).
(iii) Inwood Hydrologic Sub-area
550722. Outlet(s) = Bear Creek (Lat
40.4352, Long –122.2039) upstream to
endpoint(s) in: Bear Creek (40.4859,
–122.1529); Dry Creek (40.4574,
–122.1993).
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(3) Redding Hydrologic Unit 5508—(i)
Enterprise Flat Hydrologic Sub-area
550810. Outlet(s)= Sacramento River
(Lat 40.2526, Long –122.1707) upstream
to endpoint(s) in: Anderson Creek
(40.3910, –122.1984); Ash Creek
(40.4451, –122.1815); Battle Creek
(40.4083, –122.1102); Churn Creek
(40.5431, –122.3395); Clear Creek
(40.5158, –122.5256); Cow Creek
(40.5438, –122.1318); Olney Creek
(40.5262, –122.3783); Paynes Creek
(40.2810, –122.1587); Stillwater Creek
(40.4789, –122.2597).
(ii) Lower Cottonwood Hydrologic
Sub-area 550820. Outlet(s) =
Cottonwood Creek (Lat 40.3777, Long
–122.1991) upstream to endpoint(s) in:
Cottonwood Creek (40.3943, –122.5254);
Middle Fork Cottonwood Creek
(40.3314, –122.6663); South Fork
Cottonwood Creek (40.1578, –122.5809).
(4) Eastern Tehama Hydrologic Unit
5509—(i) Big Chico Creek Hydrologic
Sub-area 550914. Outlet(s) = Big Chico
Creek (Lat 39.7757, Long –121.7525)
upstream to endpoint(s) in: Big Chico
Creek (39.8873, –121.6979).
(ii) Deer Creek Hydrologic Sub-area
550920. Outlet(s) = Deer Creek (Lat
40.0144, Long –121.9481) upstream to
endpoint(s) in: Deer Creek (40.2019,
–121.5130).
(iii) Upper Mill Creek Hydrologic Subarea 550942. Outlet(s) = Mill Creek (Lat
40.0550, Long –122.0317) upstream to
endpoint(s) in: Mill Creek (40.3997,
–121.5131).
(iv) Antelope Creek Hydrologic Subarea 550963. Outlet(s) = Antelope Creek
(Lat 40.2023, Long –122.1272) upstream
to endpoint(s) in: Antelope Creek
(40.2416, –121.8630); North Fork
Antelope Creek (40.2691, –121.8226);
South Fork Antelope Creek (40.2309,
–121.8325).
(5) Sacramento Delta Hydrologic Unit
5510—(i) Sacramento Delta Hydrologic
Sub-area 551000. Outlet(s) =
Sacramento River (Lat 38.0612, Long
–121.7948) upstream to endpoint(s) in:
Cache Slough (38.3086, –121.7633);
Delta Cross Channel (38.2433,
–121.4964); Elk Slough (38.4140,
–121.5212); Elkhorn Slough (38.2898,
–121.6271); Georgiana Slough (38.2401,
–121.5172); Miners Slough (38.2864,
–121.6051); Prospect Slough (38.1477,
–121.6641); Sevenmile Slough (38.1171,
–121.6298); Steamboat Slough (38.3052,
–121.5737); Sutter Slough (38.3321,
–121.5838); Threemile Slough (38.1155,
–121.6835); Yolo Bypass (38.5800,
–121.5838).
(ii) [Reserved]
(6) Valley-Putah-Cache Hydrologic
Unit 5511—(i) Lower Putah Creek
Hydrologic Sub-area 551120. Outlet(s) =
Yolo Bypass (Lat 38.5800, Long
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–121.5838) upstream to endpoint(s) in:
Sacramento Bypass (38.6057,
–121.5563); Yolo Bypass (38.7627,
–121.6325).
(ii) [Reserved]
(7) Marysville Hydrologic Unit 5515—
(i) Lower Yuba River Hydrologic Subarea 551510. Outlet(s) = Bear River (Lat
38.9398, Long –121.5790) upstream to
endpoint(s) in: Bear River (38.9783,
–121.5166).
(ii) Lower Yuba River Hydrologic Subarea 551530. Outlet(s) = Yuba River (Lat
39.1270, Long –121.5981) upstream to
endpoint(s) in: Yuba River (39.2203,
–121.3314).
(iii) Lower Feather River Hydrologic
Sub-area 551540. Outlet(s) = Feather
River (Lat 39.1270, Long –121.5981)
upstream to endpoint(s) in: Feather
River (39.5203, –121.5475).
(8) Yuba River Hydrologic Unit
5517—(i) Browns Valley Hydrologic
Sub-Area 551712. Outlet(s) = Dry Creek
(Lat 39.2207, Long –121.4088); Yuba
River (39.2203, –121.3314) upstream to
endpoint(s) in: Dry Creek (39.3201,
–121.3117); Yuba River (39.2305,
–121.2813).
(ii) Englebright Hydrologic Sub-area
551714. Outlet(s) = Yuba River (Lat
39.2305, Long –121.2813) upstream to
endpoint(s) in: Yuba River (39.2388,
–121.2698).
(9) Valley-American Hydrologic Unit
5519—(i) Lower American Hydrologic
Sub-area 551921. Outlet(s) = American
River (Lat 38.5971, Long –121.5088)
upstream to endpoint(s) in: American
River (38.5669, –121.3827).
(ii) Pleasant Grove Hydrologic Subarea 551922. Outlet(s) = Sacramento
River (Lat 38.5965, Long –121.5086)
upstream to endpoint(s) in: Feather
River (39.1270, –121.5981).
(10) Colusa Basin Hydrologic Unit
5520—(i) Sycamore-Sutter Hydrologic
Sub-area 552010. Outlet(s) =
Sacramento River (Lat 38.7604, Long
–121.6767) upstream to endpoint(s) in:
Tisdale Bypass (39.0261, –121.7456).
(ii) Sutter Bypass Hydrologic Sub-area
552030. Outlet(s) = Sacramento River
(Lat 38.7849, Long –121.6219) upstream
to endpoint(s) in: Butte Creek (39.1987,
–121.9285); Butte Slough (39.1987,
–121.9285); Nelson Slough (38.8901,
–121.6352); Sacramento Slough
(38.7843, –121.6544); Sutter Bypass
(39.1417, –121.8196; 39.1484,
–121.8386); Tisdale Bypass (39.0261,
–121.7456); Unnamed Tributary
(39.1586, –121.8747).
(iii) Butte Basin Hydrologic Sub-area
552040. Outlet(s) = Butte Creek (Lat
39.1990, Long –121.9286); Sacramento
River (39.4141, –122.0087) upstream to
endpoint(s) in: Butte creek (39.7095,
–121.7506); Colusa Bypass (39.2276,
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–121.9402); Unnamed Tributary
(39.6762, –122.0151).
(11) Butte Creek Hydrologic Unit
5521—Upper Little Chico Hydrologic
Sub-area 552130. Outlet(s) = Butte
Creek (Lat 39.7096, –121.7504)
upstream to endpoint(s) in Butte Creek
(39.8665, –121.6344).
(12) Shasta Bally Hydrologic Unit
5524—(i) Platina Hydrologic Sub-area
552436. Outlet(s) = Middle Fork
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Cottonwood Creek (Lat 40.3314,
–122.6663) upstream to endpoint(s) in
Beegum Creek (40.3066, –122.9205);
Middle Fork Cottonwood Creek
(40.3655, –122.7451).
(ii) Spring Creek Hydrologic Sub-area
552440. Outlet(s) = Sacramento River
(Lat 40.5943, Long –122.4343) upstream
to endpoint(s) in: Sacramento River
(40.6116, –122.4462)
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(iii) Kanaka Peak Hydrologic Sub-area
552462. Outlet(s) = Clear Creek (Lat
40.5158, Long –122.5256) upstream to
endpoint(s) in: Clear Creek (40.5992,
–122.5394).
(13) Maps of critical habitat for the
Central Valley Spring Run Chinook ESU
follow:
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(l) Central Valley steelhead (O.
mykiss). Critical habitat is designated to
include the areas defined in the
following CALWATER Hydrologic
Units:
(1) Tehama Hydrologic Unit 5504—(i)
Lower Stony Creek Hydrologic Sub-area
550410. Outlet(s) = Stony Creek (Lat
39.6760, Long –121.9732) upstream to
endpoint(s) in: Stony Creek (39.8199,
–122.3391).
(ii) Red Bluff Hydrologic Sub-area
550420. Outlet(s) = Sacramento River
(Lat 39.6998, Long –121.9419) upstream
to endpoint(s) in: Antelope Creek
(40.2023, –122.1272); Big Chico Creek
(39.7757, –121.7525); Blue Tent Creek
(40.2166, –122.2362); Burch Creek
(39.8495, –122.1615); Butler Slough
(40.1579, –122.1320); Craig Creek
(40.1617, –122.1350); Deer Creek
(40.0144, –121.9481); Dibble Creek
(40.2002, –122.2421); Dye Creek
(40.0910, –122.0719); Elder Creek
(40.0438, –122.2133); Lindo Channel
(39.7623, –121.7923); McClure Creek
(40.0074, –122.1723); Mill Creek
(40.0550, –122.0317); Mud Creek
(39.7985, –121.8803); New Creek
(40.1873, –122.1350); Oat Creek
(40.0769, –122.2168); Red Bank Creek
(40.1421, –122.2399); Rice Creek
(39.8495, –122.1615); Rock Creek
(39.8034, –121.9403); Salt Creek
(40.1572, –122.1646); Thomes Creek
(39.8822, –122.5527); Unnamed
Tributary (40.1867, –122.1353);
Unnamed Tributary (40.1682,
–122.1459); Unnamed Tributary
(40.1143, –122.1259); Unnamed
Tributary (40.0151, –122.1148);
Unnamed Tributary (40.0403,
–122.1009); Unnamed Tributary
(40.0514, –122.0851); Unnamed
Tributary (40.0530, –122.0769).
(2) Whitmore Hydrologic Unit 5507—
(i) Inks Creek Hydrologic Sub-area
550711. Outlet(s) = Inks Creek (Lat
40.3305, Long –122.1520) upstream to
endpoint(s) in: Inks Creek (40.3418,
–122.1332).
(ii) Battle Creek Hydrologic Sub-area
550712. Outlet(s) = Battle Creek (Lat
40.4083, Long –122.1102) upstream to
endpoint(s) in: Baldwin Creek (40.4369,
–121.9885); Battle Creek (40.4228,
–121.9975); Brush Creek (40.4913,
–121.8664); Millseat Creek (40.4808,
–121.8526); Morgan Creek (40.3654,
–121.9132); North Fork Battle Creek
(40.4877, –121.8185); Panther Creek
(40.3897, –121.6106); South Ditch
(40.3997, –121.9223); Ripley Creek
(40.4099, –121.8683); Soap Creek
(40.3904, –121.7569); South Fork Battle
Creek (40.3531, –121.6682); Unnamed
Tributary (40.3567, –121.8293);
Unnamed Tributary (40.4592,
–121.8671).
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(iii) Ash Creek Hydrologic Sub-area
550721. Outlet(s) = Ash Creek (Lat
40.4401, Long –122.1375) upstream to
endpoint(s) in: Ash Creek (40.4628,
–122.0066).
(iv) Inwood Hydrologic Sub-area
550722. Outlet(s) = Ash Creek (Lat
40.4628, Long –122.0066); Bear Creek
(40.4352, –122.2039) upstream to
endpoint(s) in: Ash Creek (40.4859,
–121.8993); Bear Creek (40.5368,
–121.9560); North Fork Bear Creek
(40.5736, –121.8683).
(v) South Cow Creek Hydrologic Subarea 550731. Outlet(s) = South Cow
Creek (Lat 40.5438, Long –122.1318)
upstream to endpoint(s) in: South Cow
Creek (40.6023, –121.8623).
(vi) Old Cow Creek Hydrologic Subarea 550732. Outlet(s) = Clover Creek
(Lat 40.5788, Long –122.1252); Old Cow
Creek (40.5442, –122.1317) upstream to
endpoint(s) in: Clover Creek (40.6305,
–122.0304); Old Cow Creek (40.6295,
–122.9619).
(vii) Little Cow Creek Hydrologic Subarea 550733. Outlet(s) = Little Cow
Creek (Lat 40.6148, –122.2271); Oak
Run Creek (40.6171, –122.1225)
upstream to endpoint(s) in: Little Cow
Creek (40.7114, –122.0850); Oak Run
Creek (40.6379, –122.0856).
(3) Redding Hydrologic Unit 5508—(i)
Enterprise Flat Hydrologic Sub-area
550810. Outlet(s) = Sacramento River
(Lat 40.2526, Long –122.1707) upstream
to endpoint(s) in: Ash Creek (40.4401,
–122.1375); Battle Creek (40.4083,
–122.1102); Bear Creek (40.4360,
–122.2036); Calaboose Creek (40.5742,
–122.4142); Canyon Creek (40.5532,
–122.3814); Churn Creek (40.5986,
–122.3418); Clear Creek (40.5158,
–122.5256); Clover Creek (40.5788,
–122.1252); Cottonwood Creek (40.3777,
–122.1991); Cow Creek (40.5437,
–122.1318); East Fork Stillwater Creek
(40.6495, –122.2934); Inks Creek
(40.3305, –122.1520); Jenny Creek
(40.5734, –122.4338); Little Cow Creek
(40.6148, –122.2271); Oak Run (40.6171,
–122.1225); Old Cow Creek (40.5442,
–122.1317); Olney Creek (40.5439,
–122.4687); Oregon Gulch (40.5463,
–122.3866); Paynes Creek (40.3024,
–122.1012); Stillwater Creek (40.6495,
–122.2934); Sulphur Creek (40.6164,
–122.4077).
(ii) Lower Cottonwood Hydrologic
Sub-area 550820. Outlet(s) =
Cottonwood Creek (Lat 40.3777, Long
–122.1991) upstream to endpoint(s) in:
Cold Fork Cottonwood Creek (40.2060,
–122.6608); Cottonwood Creek (40.3943,
–122.5254); Middle Fork Cottonwood
Creek (40.3314, –122.6663); North Fork
Cottonwood Creek (40.4539, –122.5610);
South Fork Cottonwood Creek (40.1578,
–122.5809).
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(4) Eastern Tehama Hydrologic Unit
5509—(i) Big Chico Creek Hydrologic
Sub-area 550914. Outlet(s) = Big Chico
Creek (Lat 39.7757, Long –121.7525)
upstream to endpoint(s) in: Big Chico
Creek (39.8898, –121.6952).
(ii) Deer Creek Hydrologic Sub-area
550920. Outlet(s) = Deer Creek (Lat
40.0142, Long –121.9476) upstream to
endpoint(s) in: Deer Creek (40.2025,
–121.5130).
(iii) Upper Mill Creek Hydrologic Subarea 550942. Outlet(s) = Mill Creek (Lat
40.0550, Long –122.0317) upstream to
endpoint(s) in: Mill Creek (40.3766,
–121.5098); Rocky Gulch Creek
(40.2888, –121.5997).
(iv) Dye Creek Hydrologic Sub-area
550962. Outlet(s) = Dye Creek (Lat
40.0910, Long –122.0719) upstream to
endpoint(s) in: Dye Creek (40.0996,
–121.9612).
(v) Antelope Creek Hydrologic Subarea 550963. Outlet(s) = Antelope Creek
(Lat 40.2023, Long –122.1272) upstream
to endpoint(s) in: Antelope Creek
(40.2416, –121.8630); Middle Fork
Antelope Creek (40.2673, –121.7744);
North Fork Antelope Creek (40.2807,
–121.7645); South Fork Antelope Creek
(40.2521, –121.7575).
(5) Sacramento Delta Hydrologic Unit
5510—Sacramento Delta Hydrologic
Sub-area 551000. Outlet(s) =
Sacramento River (Lat 38.0653, Long
–121.8418) upstream to endpoint(s) in:
Cache Slough (38.2984, –121.7490); Elk
Slough (38.4140, –121.5212); Elkhorn
Slough (38.2898, –121.6271); Georgiana
Slough (38.2401, –121.5172); Horseshoe
Bend (38.1078, –121.7117); Lindsey
Slough (38.2592, –121.7580); Miners
Slough (38.2864, –121.6051); Prospect
Slough (38.2830, –121.6641); Putah
Creek (38.5155, –121.5885); Sevenmile
Slough (38.1171, –121.6298);
Streamboat Slough (38.3052,
–121.5737); Sutter Slough (38.3321,
–121.5838); Threemile Slough (38.1155,
–121.6835); Ulatis Creek (38.2961,
–121.7835); Unnamed Tributary
(38.2937, –121.7803); Unnamed
Tributary (38.2937, –121.7804); Yolo
Bypass (38.5800, –121.5838).
(6) Valley-Putah-Cache Hydrologic
Unit 5511—Lower Putah Creek
Hydrologic Sub-area 551120. Outlet(s) =
Sacramento Bypass (Lat 38.6057, Long
–121.5563); Yolo Bypass (38.5800,
–121.5838) upstream to endpoint(s) in:
Sacramento Bypass (38.5969,
–121.5888); Yolo Bypass (38.7627,
–121.6325).
(7) American River Hydrologic Unit
5514—Auburn Hydrologic Sub-area
551422. Outlet(s) = Auburn Ravine (Lat
38.8921, Long –121.2181); Coon Creek
(38.9891, –121.2556); Doty Creek
(38.9401, –121.2434) upstream to
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endpoint(s) in: Auburn Ravine (38.8888,
–121.1151); Coon Creek (38.9659,
–121.1781); Doty Creek (38.9105,
–121.1244).
(8) Marysville Hydrologic Unit 5515—
(i) Lower Bear River Hydrologic Subarea 551510. Outlet(s) = Bear River (Lat
39.9398, Long –121.5790) upstream to
endpoint(s) in: Bear River (39.0421,
–121.3319).
(ii) Lower Yuba River Hydrologic Subarea 551530. Outlet(s) = Yuba River (Lat
39.1270, Long –121.5981) upstream to
endpoint(s) in: Yuba River (39.2203,
–121.3314).
(iii) Lower Feather River Hydrologic
Sub-area 551540. Outlet(s) = Feather
River (Lat 39.1264, Long –121.5984)
upstream to endpoint(s) in: Feather
River (39.5205, –121.5475).
(9) Yuba River Hydrologic Unit
5517—(i) Browns Valley Hydrologic
Sub-area 551712. Outlet(s) = Dry Creek
(Lat 39.2215, Long –1121.4082); Yuba
River (39.2203, –1121.3314) upstream to
endpoint(s) in: Dry Creek (39.3232, Long
–1121.3155); Yuba River (39.2305,
–1121.2813).
(ii) Englebright Hydrologic Sub-area
551714. Outlet(s) = Yuba River (Lat
39.2305, Long –1121.2813) upstream to
endpoint(s) in: Yuba River (39.2399,
–1121.2689).
(10) Valley American Hydrologic Unit
5519—(i) Lower American Hydrologic
Sub-area 551921. Outlet(s) = American
River (Lat 38.5971, –1121.5088)
upstream to endpoint(s) in: American
River (38.6373, –1121.2202); Dry Creek
(38.7554, –1121.2676); Miner’s Ravine
(38.8429, –1121.1178); Natomas East
Main Canal (38.6646, –1121.4770);
Secret Ravine(38.8541, –1121.1223).
(ii) Pleasant Grove Hydrologic Subarea 551922. Outlet(s) = Sacramento
River (Lat 38.6026, Long –1121.5155)
upstream to endpoint(s) in: Auburn
Ravine (38.8913, –1121.2424); Coon
Creek (38.9883, –1121.2609); Doty Creek
(38.9392, –1121.2475); Feather River
(39.1264, –1121.5984).
(11) Colusa Basin Hydrologic Unit
5520—(i) Sycamore-Sutter Hydrologic
Sub-area 552010. Outlet(s) =
Sacramento River (Lat 38.7604, Long
–1121.6767) upstream to endpoint(s) in:
Tisdale Bypass (39.0261, –1121.7456).
(ii) Sutter Bypass Hydrologic Sub-area
552030. Outlet(s) = Sacramento River
(Lat 38.7851, Long –1121.6238)
upstream to endpoint(s) in: Butte Creek
(39.1990, –1121.9286); Butte Slough
(39.1987, –1121.9285); Nelson Slough
(38.8956, –1121.6180); Sacramento
Slough (38.7844, –1121.6544); Sutter
Bypass (39.1586, –1121.8747).
(iii) Butte Basin Hydrologic Sub-area
552040. Outlet(s) = Butte Creek (Lat
39.1990, Long –1121.9286); Sacramento
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River (39.4141, –1122.0087) upstream to
endpoint(s) in: Butte Creek (39.7096,
–1121.7504); Colusa Bypass (39.2276,
–1121.9402); Little Chico Creek
(39.7380, –1121.7490); Little Dry Creek
(39.6781, –1121.6580).
(12) Butte Creek Hydrologic Unit
5521—(i) Upper Dry Creek Hydrologic
Sub-area 552110. Outlet(s) = Little Dry
Creek (Lat 39.6781, –1121.6580)
upstream to endpoint(s) in: Little Dry
Creek (39.7424, –1121.6213).
(ii) Upper Butte Creek Hydrologic
Sub-area 552120. Outlet(s) = Little
Chico Creek (Lat 39.7380, Long
–1121.7490) upstream to endpoint(s) in:
Little Chico Creek (39.8680,
–1121.6660).
(iii) Upper Little Chico Hydrologic
Sub-area 552130. Outlet(s) = Butte
Creek (Lat 39.7096, Long –1121.7504)
upstream to endpoint(s) in: Butte Creek
(39.8215, –1121.6468); Little Butte
Creek (39.8159, –1121.5819).
(13) Ball Mountain Hydrologic Unit
5523—Thomes Creek Hydrologic Subarea 552310. Outlet(s) = Thomes Creek
(39.8822, –1122.5527) upstream to
endpoint(s) in: Doll Creek (39.8941,
–1122.9209); Fish Creek (40.0176,
–1122.8142); Snake Creek (39.9945,
–1122.7788); Thomes Creek (39.9455,
–1122.8491); Willow Creek (39.8941,
–1122.9209).
(14) Shasta Bally Hydrologic Unit
5524—(i) South Fork Hydrologic Subarea 552433. Outlet(s) = Cold Fork
Cottonwood Creek (Lat 40.2060, Long
–1122.6608); South Fork Cottonwood
Creek (40.1578, –1122.5809) upstream
to endpoint(s) in: Cold Fork Cottonwood
Creek (40.1881, –1122.8690); South Fork
Cottonwood Creek (40.1232,
–1122.8761).
(ii) Platina Hydrologic Sub-area
552436. Outlet(s) = Middle Fork
Cottonwood Creek (Lat 40.3314, Long
–1122.6663) upstream to endpoint(s) in:
Beegum Creek (40.3149, –1122.9776):
Middle Fork Cottonwood Creek
(40.3512, –1122.9629).
(iii) Spring Creek Hydrologic Sub-area
552440. Outlet(s) = Sacramento River
(Lat 40.5943, Long –1122.4343)
upstream to endpoint(s) in: Middle
Creek (40.5904, –1121.4825); Rock
Creek (40.6155, –1122.4702);
Sacramento River (40.6116,
–1122.4462); Salt Creek (40.5830,
–1122.4586); Unnamed Tributary
(40.5734, –1122.4844).
(iv) Kanaka Peak Hydrologic Sub-area
552462. Outlet(s) = Clear Creek (Lat
40.5158, Long –1122.5256) upstream to
endpoint(s) in: Clear Creek (40.5998,
122.5399).
(15) North Valley Floor Hydrologic
Unit 5531—(i) Lower Mokelumne
Hydrologic Sub-area 553120. Outlet(s) =
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Mokelumne River (Lat 38.2104, Long
–1121.3804) upstream to endpoint(s) in:
Mokelumne River (38.2263,
–1121.0241); Murphy Creek (38.2491,
–1121.0119).
(ii) Lower Calaveras Hydrologic Subarea 553130. Outlet(s) = Calaveras River
(Lat 37.9836, Long –1121.3110);
Mormon Slough (37.9456,-121.2907)
upstream to endpoint(s) in: Calaveras
River (38.1025, –1120.8503); Mormon
Slough (38.0532, –1121.0102); Stockton
Diverting Canal (37.9594, –1121.2024).
(16) Upper Calaveras Hydrologic Unit
5533—New Hogan Reservoir Hydrologic
Sub-area 553310. Outlet(s) = Calaveras
River (Lat 38.1025, Long –1120.8503)
upstream to endpoint(s) in: Calaveras
River (38.1502, –1120.8143).
(17) Stanislaus River Hydrologic Unit
5534—Table Mountain Hydrologic Subarea 553410. Outlet(s) = Stanislaus
River (Lat 37.8355, Long –1120.6513)
upstream to endpoint(s) in: Stanislaus
River (37.8631, –1120.6298).
(18) San Joaquin Valley Floor
Hydrologic Unit 5535—(i) Riverbank
Hydrologic Sub-area 553530. Outlet(s) =
Stanislaus River (Lat 37.6648, Long
–1121.2414) upstream to endpoint(s) in:
Stanislaus River (37.8355, –1120.6513).
(ii) Turlock Hydrologic Sub-area
553550. Outlet(s) = Tuolumne River (Lat
37.6059, Long –1121.1739) upstream to
endpoint(s) in: Tuolumne River
(37.6401, –1120.6526).
(iii) Montpelier Hydrologic Sub-area
553560. Outlet(s) = Tuolumne River (Lat
37.6401, Long –1120.6526) upstream to
endpoint(s) in: Tuolumne River
(37.6721, –1120.4445).
(iv) El Nido-Stevinson Hydrologic
Sub-area 553570. Outlet(s) = Merced
River (Lat 37.3505, Long –1120.9619)
upstream to endpoint(s) in: Merced
River (37.3620, –1120.8507).
(v) Merced Hydrologic Sub-area
553580. Outlet(s) = Merced River (Lat
37.3620, Long –1120.8507) upstream to
endpoint(s) in: Merced River (37.4982,
–1120.4612).
(vi) Fahr Creek Hydrologic Sub-area
553590. Outlet(s) = Merced River (Lat
37.4982, Long –1120.4612) upstream to
endpoint(s) in: Merced River (37.5081,
–1120.3581).
(19) Delta-Mendota Canal Hydrologic
Unit 5541—(i) Patterson Hydrologic
Sub-area 554110. Outlet(s) = San
Joaquin River (Lat 37.6763, Long
–1121.2653) upstream to endpoint(s) in:
San Joaquin River (37.3491,
–1120.9759).
(ii) Los Banos Hydrologic Sub-area
554120. Outlet(s) = Merced River (Lat
37.3490, Long –1120.9756) upstream to
endpoint(s) in: Merced River (37.3505,
–1120.9619).
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(20) North Diablo Range Hydrologic
Unit 5543—North Diablo Range
Hydrologic Sub-area 554300. Outlet(s) =
San Joaquin River (Lat 38.0247, Long
–1121.8218) upstream to endpoint(s) in:
San Joaquin River (38.0246,
–1121.7471).
(21) San Joaquin Delta Hydrologic
Unit 5544—San Joaquin Delta
Hydrologic Sub-area 554400. Outlet(s) =
San Joaquin River (Lat 38.0246, Long
–1121.7471) upstream to endpoint(s) in:
Big Break (38.0160, –1121.6849); Bishop
Cut (38.0870, –1121.4158); Calaveras
River (37.9836, –1121.3110); Cosumnes
River (38.2538, –1121.4074);
Disappointment Slough (38.0439,
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–1121.4201); Dutch Slough (38.0088,
–1121.6281); Empire Cut (37.9714,
–1121.4762); False River (38.0479,
–1121.6232); Frank’s Tract (38.0220,
–1121.5997); Frank’s Tract (38.0300,
–1121.5830); Holland Cut (37.9939,
–1121.5757); Honker Cut (38.0680,
–1121.4589); Kellog Creek (37.9158,
–1121.6051); Latham Slough (37.9716,
–1121.5122); Middle River (37.8216,
–1121.3747); Mokelumne River
(38.2104, –1121.3804); Mormon Slough
(37.9456,-121.2907); Mosher Creek
(38.0327, –1121.3650); North
Mokelumne River (38.2274,
–1121.4918); Old River (37.8086,
–1121.3274); Orwood Slough (37.9409,
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–1121.5332); Paradise Cut (37.7605,
–1121.3085); Pixley Slough (38.0443,
–1121.3868); Potato Slough (38.0440,
–1121.4997); Rock Slough (37.9754,
–1121.5795); Sand Mound Slough
(38.0220, –1121.5997); Stockton Deep
Water Channel (37.9957, –1121.4201);
Turner Cut (37.9972, –1121.4434);
Unnamed Tributary (38.1165,
–1121.4976); Victoria Canal (37.8891,
–1121.4895); White Slough (38.0818,
–1121.4156); Woodward Canal (37.9037,
–1121.4973).
(22) Maps of critical habitat for the
Central Valley Steelhead ESU follow:
BILLING CODE 3510–22–P
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[FR Doc. 05–16389 Filed 9–1–05; 8:45 am]
Agencies
[Federal Register Volume 70, Number 170 (Friday, September 2, 2005)]
[Rules and Regulations]
[Pages 52488-52627]
From the Federal Register Online via the Government Printing Office [www.gpo.gov]
[FR Doc No: 05-16389]
[[Page 52487]]
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Part II
Department of Commerce
-----------------------------------------------------------------------
National Oceanic and Atmospheric Administration
-----------------------------------------------------------------------
50 CFR Part 226
Endangered and Threatened Species; Designation of Critical Habitat for
Seven Evolutionarily Significant Units of Pacific Salmon and Steelhead
in California; Final Rule
Federal Register / Vol. 70, No. 170 / Friday, September 2, 2005 /
Rules and Regulations
[[Page 52488]]
-----------------------------------------------------------------------
DEPARTMENT OF COMMERCE
National Oceanic and Atmospheric Administration
50 CFR Part 226
[Docket No. 041123329-5202-02; I.D. No.110904F]
RIN 0648-AO04
Endangered and Threatened Species; Designation of Critical
Habitat for Seven Evolutionarily Significant Units of Pacific Salmon
and Steelhead in California
AGENCY: National Marine Fisheries Service (NMFS), National Oceanic and
Atmospheric Administration, Commerce.
ACTION: Final rule.
-----------------------------------------------------------------------
SUMMARY: We, the National Marine Fisheries Service (NMFS), are issuing
a final rule designating critical habitat for two Evolutionarily
Significant Units (ESUs) of chinook salmon (Oncorhynchus tshawytscha)
and five ESUs of steelhead (O. mykiss) listed as of the date of this
designation under the Endangered Species Act of 1973, as amended (ESA).
The specific areas designated in the rule text set out below include
approximately 8,935 net mi (14,269 km) of riverine habitat and 470
mi2 (1,212 km2) of estuarine habitat (primarily
in San Francisco-San Pablo-Suisun Bays) in California. Some of the
areas designated are occupied by two or more ESUs. The annual net
economic impacts of changes to Federal activities as a result of the
critical habitat designations (regardless of whether those activities
would also change as a result of the ESA's jeopardy requirement) are
estimated to be approximately $81,647,439. We solicited information and
comments from the public in an Advanced Notice of Proposed Rulemaking
and on all aspects of the proposed rule. This rule is being issued to
meet the timeline established in litigation between NMFS and Pacific
Coast Federation of Fishermen's Associations (PCFFA et. al v. NMFS
(Civ.No. 03-1883)). In the proposed rule, we identified a number of
potential exclusions we were considering including exclusions for
federal lands subject to the Pacific Northwest Forest Plan, PACFISH and
INFISH. We are continuing to analyze whether exclusion of those federal
lands is appropriate.
DATES: This rule becomes effective January 2, 2006.
ADDRESSES: Comments and materials received, as well as supporting
documentation used in the preparation of this final rule, are available
for public inspection by appointment, during normal business hours, at
the National Marine Fisheries Service, NMFS, Protected Resources
Division, 501 W. Ocean Blvd., Suite 4200, Long Beach, CA 90802-4213.
The final rule, maps, and other materials relating to these
designations can be found on our Web site at https://swr.nmfs.noaa.gov.
FOR FURTHER INFORMATION CONTACT: Craig Wingert at the above address, at
562/980-4021, or Marta Nammack at 301/713-1401 ext. 180.
SUPPLEMENTARY INFORMATION:
Organization of the Final Rule
This Federal Register notice describes the final critical habitat
designations for seven ESUs of West Coast salmon and steelhead listed
under the ESA. The pages that follow summarize the comments and
information received in response to proposed designations published on
December 10, 2004 (69 FR 71880), describe any changes from the proposed
designations, and detail the final designations for seven ESUs. To
assist the reader, the content of this notice is organized as follows:
I. Background and Previous Federal Action
II. Summary of Comments and Recommendations
Notification and General Comments
Identification of Critical Habitat Areas
Economics Methodology
Weighing the Benefits of Designation vs. Exclusion
Effects of Designating Critical Habitat
ESU-specific Issues
III. Summary of Revisions
IV. Methods and Criteria Used to Identify Critical Habitat
Salmon Life History
Identifying the Geographical Area Occupied by the Species and
Specific Areas within the Geographical Area
Primary Constituent Elements
Special Management Considerations or Protections
Unoccupied Areas
Lateral Extent of Critical Habitat
Military Lands
Critical Habitat Analytical Review Teams
V. Application of ESA Section 4(b)(2)
Exclusions Based on ``Other Relevant Impacts''
Impacts to Tribes
Impacts to Landowners with Contractual Commitments to
Conservation
Exclusions Based on National Security Impacts
Exclusions Based on Economic Impacts
VI. Critical Habitat Designation
VII. Effects of Critical Habitat Designation
Section 7 Consultation
Activities Affected by Critical Habitat Designation
VIII. Required Determinations
IX. References Cited
I. Background and Previous Federal Action
We are responsible for determining whether species, subspecies, or
distinct population segments of Pacific salmon and steelhead
(Oncorhynchus spp.) are threatened or endangered, and for designating
critical habitat for them under the ESA (16 U.S.C. 1531 et seq). To
qualify as a distinct population segment, a Pacific salmon or steelhead
population must be substantially reproductively isolated from other
conspecific populations and represent an important component in the
evolutionary legacy of the biological species. According to agency
policy, a population meeting these criteria is considered to be an
Evolutionarily Significant Unit (ESU) (56 FR 58612, November 20, 1991).
We are also responsible for designating critical habitat for
species listed under our jurisdiction. Section 3 of the ESA defines
critical habitat as (1) specific areas within the geographical area
occupied by the species at the time of listing, on which are found
those physical or biological features that are essential to the
conservation of the listed species and that may require special
management considerations or protection, and (2) specific areas outside
the geographical area occupied by the species at the time of listing
that are essential for the conservation of a listed species. Our
regulations direct us to focus on ``primary constituent elements,'' or
PCEs, in identifying these physical or biological features. Section
7(a)(2) of the ESA requires that each Federal agency shall, in
consultation with and with the assistance of NMFS, ensure that any
action authorized, funded or carried out by such agency is not likely
to jeopardize the continued existence of an endangered or threatened
salmon or steelhead ESU or result in the destruction or adverse
modification of critical habitat. Section 4 of the ESA requires us to
consider the economic impacts, impacts on national security, and other
relevant impacts of specifying any particular area as critical habitat.
The timeline for completing the critical habitat designations
described in this Federal Register notice was established pursuant to
litigation between NMFS and the Pacific Coast Federation of Fishermen's
Associations, Institute for Fisheries Resources, the Center for
Biological Diversity, the Oregon Natural Resources Council, the Pacific
Rivers Council, and the Environmental Protection Information Center
(PCFFA, et al.) and is subject to a Consent Decree and Stipulated Order
[[Page 52489]]
of Dismissal (Consent Decree) approved by the D.C. District Court. A
complete summary of previous court action regarding these designations
can be found in the proposed rule (69 FR 71880; December 10, 2004).
In keeping with the Consent Decree, on December 10, 2004 (69 FR
71880), we published proposed critical habitat designations for two
ESUs of Chinook salmon and five ESUs of O. mykiss. (For the latter ESUs
we used the species' scientific name rather than ``steelhead'' because
at the time they were being proposed for revision to include both
anadromous (steelhead) and resident (rainbow/redband) forms of the
species--see 69 FR 33101, June 14, 2004). The seven ESUs addressed in
the proposed rule were: (1) California Coastal Chinook salmon; (2)
Northern California O. mykiss; (3) Central California Coast O. mykiss;
(4) South-Central Coast O. mykiss; (5) Southern California O. mykiss;
(6) Central Valley spring run Chinook salmon; and (7) Central Valley O.
mykiss. The comment period for the proposed critical habitat
designations was originally opened until February 8, 2005. On February
7, 2005 (70 FR 6394), we announced a court-approved Amendment to the
Consent Decree which revised the schedule for completing the
designations and extended the comment period until March 14, 2005, and
the date to submit final rules to the Federal Register as August 15,
2005.
In the critical habitat proposed rule we stated that ``the final
critical habitat designations will be based on the final listing
decisions for these seven ESUs due by June 2005 and thus will reflect
occupancy ``at the time of listing'' as the ESA requires.'' All of
these ESUs had been listed as threatened or endangered between 1997-
2000, but in 2002 we announced that we would reassess the listing
status of these and other ESUs (67 FR 6215; February 11, 2002). We
recently published final listing decisions for the two Chinook salmon,
but not for the five ESUs of O. mykiss (70 FR 37160; June 28, 2005).
Final listing determinations for these five ESUs are expected by
December 2005 (70 FR 37219; June 28, 2005). However, the Consent Decree
governing the schedule for our final critical habitat designations
requires that we complete final designations for those of the seven
ESUs identified above that are listed as of August 15, 2005. Because
anadromous forms (i.e., ``steelhead'') of the five O. mykiss ESUs have
been listed since 1997-2000 (see summary in June 14, 2004 Federal
Register notice, 69 FR 33103), we are now issuing final critical
habitat designations for them in this notice in accordance with the
Consent Decree. We are able to do so because in developing critical
habitat designations for this species we have focused on the co-
occurring range of both the anadromous and resident forms. Therefore,
both the proposed and final designations were restricted to the
species' anadromous range, although we did consider and propose to
designate some areas occupied solely by resident fish in upper Alameda
Creek in the San Francisco Bay area. We focused on the co-occurring
range due to uncertainties about: (1) The distribution of resident fish
outside the range of co-occurrence, (2) the location of natural
barriers impassable to steelhead and upstream of habitat areas proposed
for designation, and (3) the final listing status of the resident form.
Section 4(a)(3)(B) of the ESA provides for the revision of critical
habitat designations as appropriate, and we will do so (if necessary)
after making final listing determinations for these five O. mykiss
ESUs. Moreover, we intend to actively revise critical habitat as needed
for all seven ESUs to keep them as up-to-date as possible.
In an Advance Notice of Proposed Rulemaking (ANPR) (68 FR 55926;
September 29, 2003), we noted that the ESA and its supporting
regulations require the agency to address a number of issues before
designating critical habitat: ``What areas were occupied by the species
at the time of listing? What physical and biological features are
essential to the species' conservation? Are those essential features
ones that may require special management considerations or protection?
Are areas outside those currently occupied `essential for
conservation'? What are the benefits to the species of critical habitat
designation? What economic and other relevant impacts would result from
a critical habitat designation, even if coextensive with other causes
such as listing? What is the appropriate geographic scale for weighing
the benefits of exclusion and benefits of designation? What is the best
way to determine if the failure to designate an area as critical
habitat will result in the extinction of the species concerned?'' We
recognized that ``[a]nswering these questions involves a variety of
biological and economic considerations'' and therefore were seeking
public input before issuing a proposed rule. As we stated in the
proposed rule that followed: ``We received numerous comments in
response to the ANPR and considered them during development of this
proposed rulemaking. Where applicable, we have referenced these
comments in this Federal Register notice as well as in other documents
supporting this proposed rule.'' In the proposed rule, we described the
methods and criteria we applied to address these questions, relying
upon the unique life history traits and habitat requirements of salmon
and steelhead.
In issuing the final rule, we considered the comments we received
to determine whether a change in our proposed approach to designating
critical habitat for salmon and steelhead was warranted. In some
instances, we concluded based on comments received that a change was
warranted. For example, in this final rule we have revised our approach
to allow us to consider excluding areas covered by habitat conservation
plans in those cases where the benefits of exclusion outweigh the
benefits of designation.
In other instances, we believe the approach taken is supported by
the best available scientific information, and that given the time and
additional analyses required, changes to the methods and criteria we
applied in the proposed rule were not feasible. We recognize there are
other equally valid approaches to designating critical habitat and for
answering the myriad questions described above. Nevertheless, issuance
of the final rule for designating critical habitat for these ESUs is
subject to a Court Order that requires us to submit the final
regulation to the Federal Register no later than August 15, 2005, less
than 5 months after the close of the public comment period. Taking
alternative approaches to designating critical habitat would have
required a retooling of multiple interrelated analyses and undertaking
additional new analyses in support of the final rule, and was not
possible given the time available to us. We will continue to study
alternative methods and criteria and may apply them in future
rulemakings designating critical habitat for these or other species.
II. Summary of Comments and Recommendations
As described in agency regulations at 50 CFR 424.16(c)(1), in the
critical habitat proposed rule we requested that all interested parties
submit written comments on the proposals. We also contacted the
appropriate Federal, state, and local agencies, scientific
organizations, and other interested parties and invited them to comment
on the proposed rule. To facilitate public participation we made the
proposed rule available via the internet as soon as it was signed
(approximately 2 weeks prior to actual publication) and accepted
comments by standard mail
[[Page 52490]]
and fax as well as via e-mail and the internet (e.g.,
www.regulations.gov). In addition, we held four public hearings between
January 13, 2005, and February 1, 2005, in the following locations:
Arcata, Rohnert Park, Sacramento, and Santa Barbara, CA. We received
3,762 written comments (3,627 of which were form letters or in the form
of e-mails with nearly identical verbiage) during the comment period on
the proposed rule.
In December 2004, the Office of Management and Budget (OMB) issued
a Final Information Quality Bulletin for Peer Review establishing
minimum peer review standards, a transparent process for public
disclosure, and opportunities for public input (70 FR 2664; January 14,
2005). The OMB Peer Review Bulletin, implemented under the Information
Quality Act (Pub. L. 106-554), is intended to provide public oversight
on the quality of agency information, analyses, and regulatory
activities, and applies to information disseminated on or after June
16, 2005. Prior to publishing the proposed rule we submitted the
initial biological assessments of our Critical Habitat Analytical
Review Teams (hereafter referred to as CHART) to state co-managers and
asked them to review those findings. These co-manager reviews resulted
in some changes to the CHARTs' preliminary assessments (e.g., revised
fish distribution as well as conservation value ratings) and helped to
ensure that the CHARTs' revised findings (NMFS, 2004b) incorporated the
best available scientific data. We later solicited technical review of
the entire critical habitat proposal (biological, economic, and policy
bases) from several independent experts selected from the academic and
scientific community, Native American tribal groups, Federal and state
agencies, and the private sector. We also solicited opinions from three
individuals with economics expertise to review the draft economics
analysis supporting the proposed rule. All three of the economics
reviewers and one of the biological reviewers submitted written
opinions on our proposal. We have determined that the independent
expert review and comments received regarding the science involved in
this rulemaking constitute adequate prior review under section II.2 of
the OMB Peer Review Bulletin (NMFS, 2005b).
We reviewed all comments received from the peer reviewers and the
public for substantive issues and new information regarding critical
habitat for the various ESUs, and we address them in the following
summary. Peer reviewer comments were sufficiently similar to public
comments that we have responded to them through our general responses
below. For readers'convenience we have assigned comments to major issue
categories and where possible have combined similar comments into
single comments and responses.
Notification and General Comments
Comment 1: Some commenters raised concerns or complained about the
adequacy of public notification and time to comment.
Response: We made all reasonable attempts to communicate our
rulemaking process and the critical habitat proposal to the affected
public. Prior to the proposed rule we published an ANPR in which we
identified issues for consideration and evaluation, and solicited
comments regarding these issues and information regarding the areas and
species under consideration (68 FR 55926; September 29, 2003). We
considered comments on the ANPR during our development of the proposed
rule. As soon as the proposed rule was signed on November 29, 2004 (2
weeks before actual publication in the Federal Register), we posted it
and supporting information on the agency's internet site to facilitate
public review, and we have provided periodic updates to that site (see
ADDRESSES). In response to numerous requests--in particular from
plaintiffs as well as private citizens, counties, farm bureaus, and
state legislators in Washington--the original 60-day public comment
period was extended by 30 days (70 FR 6394; February 7, 2005) to allow
additional time for the public to submit comments on the critical
habitat proposals.
Additionally, we realize that the statute provides a short time
frame for designating critical habitat. Congress amended the ESA in
1982 to establish the current time frame for designation. In doing so,
Congress struck a balance between the recognition that critical habitat
designations are based upon information that may not be determinable at
the time of listing and the desire to ensure that designations occur in
a timely fashion. Additionally, the ESA and supporting regulations
provide that designations may be revised as new data become available
to the Secretary. We recognize that where the designation covers a
large geographic area, as is the case here, the short statutory time
frame requires a short period for the public to consider a great deal
of factual information. We also recognize that this designation takes a
new approach by considering relative conservation value of different
areas and applying a cost-effectiveness framework. In this notice we
are announcing our intention to consider revising the designations as
new habitat conservation plans and other management plans are
developed, and as other new information becomes available. Through that
process we anticipate continuing to engage the interested public and
affected landowners in an ongoing dialogue regarding critical habitat
designations.
Comment 2: Some commenters disagreed with our decision to vacate
the February 2000 critical habitat designations for these ESUs.
Response: We believe that the issues identified in a legal
challenge to our February 2000 designations warranted withdrawing that
rule. Developing a cost-effectiveness approach, designed to achieve the
greatest conservation at the least cost, is in keeping with long-
standing Executive direction on rulemaking and is a responsible and
conservation-oriented approach to implementing section 4(b)(2) of the
ESA. In addition, we had new and better information in 2004 than we had
in 2000, such as the information of fish distribution and habitat use
that was generated by agency fishery biologists. The ESA requires that
we use the best available information, and the distribution data is the
best information currently available. Finally, the litigation
challenging our 2000 designation also challenged the lack of
specificity in our designation of the riparian area, leading us to
consider whether there was a better approach that was more consistent
with our regulations and with the best available information.
Comment 3: Some commenters stated that we should wait to publish
final critical habitat designations until after final listing
determinations have been made and the final hatchery listing policy is
published.
Response: The ESA states that the Secretary shall designate
critical habitat, defined as areas within or outside the geographical
area occupied by the species at the time of listing and using the best
available information (emphasis added). These designations follow that
statutory mandate and have been completed on a schedule established
under a Consent Decree. Also, the final hatchery listing policy and
final listing determinations for several salmon ESUs were published on
June 28, 2005 (70 FR 37160 and 37204) in advance of the completion of
this final critical habitat designation. For reasons described above in
the ``Background and Previous Federal Action'' section, we are now
making final designations for those listed salmon and steelhead ESUs in
the
[[Page 52491]]
Southwest Region that are subject to the Consent Decree and listed as
of the date of this designation.
Identification of Critical Habitat Areas
Comment 4: Several commenters contended that we can only designate
areas that are essential for species conservation.
Response: Section 3(5)(A) of the ESA has a two-pronged definition
of critical habitat: ``(i) the specific areas within the geographical
area occupied by the species, at the time it is listed * * * on which
are found those physical or biological features (I) essential to the
conservation of the species and (II) which may require special
management considerations or protection; and (ii) specific areas
outside the geographical area occupied by the species, at the time it
is listed * * * upon a determination by the Secretary that such areas
are essential for the conservation of the species' (emphasis added). As
described in this rule and documented in the reports supporting it, we
have strictly applied this definition and made the requisite findings.
We requested and received comments on various aspects of our
identification of areas meeting this definition and address those here.
Only those areas meeting the definition were considered in the
designation process. Comments regarding the section 4(b)(2) process, in
which we considered the impacts of designation and whether areas should
be excluded, are addressed in a subsequent section.
Comment 5: In the proposed rule we considered occupied streams
within a CALWATER Hydrologic Subarea (HSA) as the ``specific area'' in
which the physical or biological features essential to conservation of
the ESUs were found. We also used these watershed delineations as the
``particular areas''--the analytical unit--for purposes of the section
4(b)(2) analysis. In the proposed rule we requested public comment on
whether considering exclusions on a stream-by-stream approach would be
more appropriate. Some commenters believed that the watershed scale was
too broad for making critical habitat designations and suggested that a
smaller watershed or a stream-by-stream approach was more appropriate.
Some commenters believed that we should conduct a reach-by-reach
assessment in their watersheds.
Response: Our ESA section 4(b)(2) report (NMFS, 2005c) acknowledges
that the delineation of both specific areas and particular areas should
be as small as practicable, to ensure our designations are not
unnecessarily broad and to carry out congressional intent that we fully
consider the impacts of designation. For reasons described in the
section below on ``Methods and Criteria Used to Identify Critical
Habitat,'' we continue to believe that the specific facts of salmon
biology and life history make CALWATER HSA watersheds in California an
appropriate scale to use in delineating the ``specific'' areas in which
physical or biological features are found. We also believe
consideration of the impacts of designation on an HSA watershed scale
results in a meaningful section 4(b)(2) balancing process. Moreover,
congressional direction requires that designations be completed in a
very short time frame by a specified deadline, ``based on such data as
may be available at that time.'' Given that short time frame and the
geographic extent of salmon critical habitat, the HSA watershed was the
smallest practicable area we were able to analyze.
Comment 6: Some commenters believed we applied the definition of
``specific areas within the geographical area occupied by the species
at the time it is listed'' too narrowly. In their views, this led to
two errors--failure to designate all ``accessible'' stream reaches and
failure to designate riparian and upstream areas. Commenters felt that
the ``best scientific data available'' support a conclusion that salmon
and steelhead will occupy all accessible streams in a watershed during
a period of time that can be reasonably construed as ``at the time it
is listed.'' One commenter stated that ``[w]hether a particular stream
reach is occupied cannot be determined with certainty based on
``occupation'' data alone, especially for fragmented, declining, or
depressed populations of fish.'' The commenter pointed to the rationale
provided in our 2000 rule for identifying occupied areas as all areas
accessible within a subbasin (a 4th field watershed, using U.S.
Geological Survey (USGS) terminology): ``NMFS believes that adopting a
more inclusive, watershed based description of critical habitat is
appropriate because it (1) recognizes the species' use of diverse
habitats and underscores the need to account for all of the habitat
types supporting the species' freshwater and estuarine life stages,
from small headwater streams to migration corridors and estuarine
rearing areas; (2) takes into account the natural variability in
habitat use that makes precise mapping problematic (e.g., some streams
may have fish present only in years with abundant rainfall) (65 FR
7764; February 16, 2000).''
Some commenters believe that in delineating ``specific areas within
the geographical area occupied by the species,'' we need not confine
ourselves to areas that are literally ``occupiable'' by the species in
that we should designate riparian and upstream areas. If there are
physical or biological features essential to conservation to be found
within a broadly defined ``geographical area occupied by the species,''
we have the duty to delineate specific areas in a way that encompasses
them. Some argued that limiting the designation to the stream channel
fails to recognize the biological and hydrological connections between
streams and riparian areas and would lead to further degradation of the
latter. Some commenters suggested that we use a fixed distance (e.g.,
300 feet (91.4 m) if a functional description is not used. Some
requested that we adopt the ``functional zone'' description for lateral
extent used in the 2000 designations (65 FR 7764; February 16, 2000),
while other commenters felt that our reference to habitat linkages with
upslope and upstream areas was vague and wondered whether we were
actually using the old approach anyway. Other commenters believed that
using the line of ordinary high water or bankfull width was appropriate
and noted that this would remove prior ambiguities about which areas
were designated. Other commenters supported the approach taken in this
designation, to identify specific areas occupied by the species and not
broadly designate ``all areas accessible,'' some commenting that this
was a more rigorous assessment and more in keeping with the ESA.
Response: The approach we took in the proposed designation is
different from the approach we took in the vacated 2000 designation for
a variety of reasons. The ESA directs that we will use the best
scientific data available in designating critical habitat. Our
regulations also provide direction: ``[e]ach critical habitat will be
defined by specific limits using reference points and lines as found on
standard topographic maps of the area * * * Ephemeral reference points
(e.g., trees, sand bars) shall not be used in defining critical
habitat.'' (50 CFR 424.12(c)). With respect to our approach for
identifying ``the geographical area occupied by the species,'' we
recognize that the available fish and habitat use distribution data are
limited to areas that have been surveyed or where professional judgment
has been applied to infer distribution, and that large areas of
watersheds containing fish may not have been observed or considered. We
also recognize there have been many instances in which previously
unobserved areas are found to be
[[Page 52492]]
occupied once they are surveyed. Nevertheless, we believe the extensive
data compiled by agency biologists, which was not available when we
completed the 2000 designations, represents the best scientific
information currently available regarding the geographical area
occupied by the species. Moreover, the CHARTs had an opportunity to
interact with the state fish biologists with the California Department
of Fish and Game (CDFG) to confirm the accuracy of the data. We also
believe the approach we have taken in this designation better conforms
to the regulatory direction to use ``specific limits'' for the
designation. The approach we used in 2000 used subbasin boundaries to
delineate ``specific areas,'' which arguably met the requirement to use
``specific limits,'' but we believe using latitude-longitude endpoints
in stream reaches, as we have done here, better adheres to the letter
and spirit of our regulations.
With respect to our approach of limiting the designation to the
occupied stream itself, not extending the designation into the riparian
zone or upstream areas, we acknowledge that our regulations contemplate
situations in which areas that are not literally occupiable may
nevertheless be designated. Paragraph (d) of 50 CFR 424.12 gives as an
example a situation in which areas upland of a pond or lake may be
designated if it is determined that ``the upland areas were essential
to the conservation of an aquatic species located in the ponds and
lakes.'' For this designation, however, given the vast amount of
habitat under consideration and the short statutory time frames in
which to complete the designation, we could not determine ``specific
limits'' that would allow us to map with accuracy what part of the
riparian zone or upstream area could be considered to contain PCEs. As
an alternative, we considered the approach we used in 2000, which was
to designate riparian areas that provide function, but concluded that
approach may not have been entirely consistent with the regulatory
requirement to use ``specific limits.'' We believe limiting the
designation to streams will not compromise the ability of an ESA
section 7 consultation to provide for conservation of the species.
Section 7 requires Federal agencies to ensure their actions are not
likely to destroy or adversely modify critical habitat. Actions
occurring in the riparian zone, upstream areas, or upland areas all
have the potential to destroy or adversely modify the critical habitat
in the stream. Although these areas are not themselves designated,
Federal agencies must nevertheless meet their section 7 obligations if
they are taking actions in these areas that ``may affect'' the
designated critical habitat in the stream. Even though these
designations are restricted to the stream itself, we will continue to
be concerned about the same activities we have addressed in past
consultations.
Comment 7: Several commenters believed we incorrectly applied the
definition of ``specific areas outside the geographical area occupied
by the species.'' In the view of some, we failed our duty under the ESA
by not making a determination that we had identified as critical
habitat enough areas (occupied and unoccupied) to support conservation.
In the view of others, it was this failure that led to one of the
errors described in the previous comment--the failure to designate all
``accessible stream reaches.'' Many commenters expressed concern about
statements made in the press that the change from ``all areas
accessible'' to areas documented as occupied led to a 90-percent
reduction in critical habitat. Other commenters supported the approach
taken in this designation, to identify specific areas occupied by the
species and not broadly designate ``all areas accessible,'' some
commenting that this was a more rigorous assessment and more in keeping
with the ESA.
Response: Section 3(5)(A)(I) of the ESA requires us to identify
specific areas within the geographical area occupied by the species
that contain physical or biological features that may require special
management considerations or protection. Section 3(5)(A)(ii) requires
that specific areas outside the geographical area occupied by the
species only fall within the definition of critical habitat if the
Secretary determines that the area is essential for conservation. Our
regulations further provide that we will designate unoccupied areas
``only when a designation limited to [the species'] present range would
be inadequate to ensure the conservation of the species (50 CFR
424.12(e)).'' The ESA requires the Secretary to designate critical
habitat at the time of listing. If critical habitat is not then
determinable, the Secretary may extend the period by 1 year, ``but not
later than the close of such additional year the Secretary must publish
a final regulation, based on such data as may be available at that
time, designating, to the maximum extent prudent, such habitat.''
At the present time, we do not have information allowing us to
determine that the specific areas within the geographical area occupied
by the species are inadequate for conservation, such that unoccupied
areas are essential for conservation. We anticipate revising our
critical habitat designations in the future as additional information
becomes available through recovery planning processes.
Comment 8: Some commenters questioned the adequacy of our
identification of PCEs, in particular the lack of specificity.
Response: To determine the physical or biological features
essential to conservation of these ESUs, we first considered their
complex life cycle. As described in the ANPR and proposed rule,
``[t]his complex life cycle gives rise to complex habitat needs,
particularly during the freshwater phase (see review by Spence et al.,
1996).'' We considered these habitat needs in light of our regulations
regarding criteria for designating critical habitat. Those criteria
state that the requirements essential to species' conservation include
such things as ``space * * * [f]ood, water, air, light, minerals, or
other nutritional or physiological requirements * * * cover or
shelter.'' They further state that we are to focus on the ``primary
constituent elements'' such as ``spawning sites, feeding sites, * * *
water quality or quantity,'' etc. In the ANPR and proposed rule we
identified the features of the habitat that are essential for the
species to complete each life stage and are therefore essential to its
conservation. We described the features in terms of sites (spawning,
rearing, migration) that contain certain elements.
Comment 9: In the proposed rule we requested comments on the extent
to which specific areas may require special management considerations
or protection in light of existing management plans. Several commenters
stated that lands covered by habitat conservation plans or other
management or regulatory schemes do not require special management
considerations or protection. Others commented that even where
management plans are present, there still may be ``methods or
procedures useful'' for protecting the habitat features.
Response: The statutory definition and our regulations (50 CFR
424.02 and 424.12) require that specific areas within the geographical
area occupied by the species must contain ``physical or biological
features'' that are ``essential to the conservation of the species,''
and that ``may require special management considerations or
protection.'' As described in the proposed rule, and documented in the
reports supporting it, we first identified the physical or biological
features essential to
[[Page 52493]]
conservation (described in our regulations at 50 CFR 424.12(b)(5) as
``primary constituent elements'' or PCEs). We next determined the
``specific areas'' in which those PCEs are found based on the occupied
stream reaches within a CALWATER HSA watershed. We used this watershed-
scale approach to delineating specific areas because it is relevant to
the spatial distribution of salmon and steelhead, whose innate homing
behavior brings them back to spawn in the watersheds where they were
born (Washington Department of Fisheries et al., 1992; Kostow, 1995;
McElhany et al., 2000). We then considered whether the PCEs in each
specific area (watershed) ``may require special management
considerations or protection.''
We recognize there are many ways in which ``specific areas'' may be
delineated, depending upon the biology of the species, the features of
its habitat and other considerations. In addressing these comments, we
considered whether to change the approach described in our proposed
rule and instead delineate specific areas based on ownership. The
myriad ownerships and state and local regulatory regimes present in any
watershed, as well as the timing issues discussed previously, made such
an approach impractical for this rulemaking, as noted in section I,
``Background and Previous Federal Action,'' above. While there are
other equally valid methods for identifying areas as critical habitat,
we believe that the watershed scale is an appropriate scale for
identifying specific areas for salmon and steelhead, and for then
determining whether the PCEs in these areas may require special
management considerations or protections. We will continue to study
this issue and alternative approaches in future rulemakings designating
critical habitat.
Comment 10: One commenter stated that we could not designate any
unoccupied areas if we had excluded any occupied areas, relying on the
regulatory provision cited in a previous comment and response.
Response: The comment assumes that all habitat areas are equivalent
and exchangeable, which they are not. An area may be essential for
conservation because it was historically the most productive spawning
area for an ESU and unless access to it is restored, the ESU will not
fully recover to the point that the protections of the ESA are no
longer necessary. This area will be essential regardless of whether
some other specific area has been excluded.
Comment 11: Several commenters supported the designation of
unoccupied areas above dams and some believed that by not designating
these areas we will make it more difficult to achieve fish passage in
the future. They further noted that excluding these presently blocked
areas now may promote habitat degradation that will hinder conservation
efforts should passage be provided in the future. Several commenters
identified areas above specified dams as being essential for
conservation.
Response: At the present time, we do not have information allowing
us to determine that the specific areas within the geographical area
occupied by the species are inadequate for conservation nor that
currently unoccupied areas above dams are essential for conservation.
The Southwest Region is actively involved in a multi-year, large-scale
recovery planning effort in California that involves scientific teams
(called technical recovery teams or TRTs) which are in the process of
identifying ESU population structure, population viability criteria,
and ESU level biological viability or recovery goals. These recovery
planning efforts are developing information which will inform our
decisions about whether unoccupied habitat will be needed to facilitate
conservation beyond what is currently occupied by the ESUs addressed in
this rulemaking. Until these efforts are more fully developed, we
cannot make the specific determinations required under the ESA to
designate critical habitat in ``unoccupied'' areas. We use our
authorities under the ESA and other statutes to advocate for salmon
passage above impassible dams where there is evidence such passage
would promote conservation. This is not the same, however, as making
the determinations required by the statute and our regulations to
support designation.
Comment 12: In the proposed rule we requested comments regarding
the use of professional judgment as a basis for identifying areas
occupied by the species. Some commenters indicated that it was
appropriate to accept the professional judgment of fish biologists who
are most familiar with fish habitat within a watershed. Others believed
that limiting the definition of occupied stream reaches to only those
where fish presence has been observed and documented is overly narrow
and fails to consider a number of conditions that affect species
distribution, including natural population fluctuations and habitat
alterations that affect accessibility or condition (e.g., de-watering
stream reaches). These commenters also argued that defining occupied
reaches should be based on a broad time scale that takes into account
metapopulation processes such as local extinction and recolonization,
adding along with other commenters that many streams have not been
adequately surveyed and species may frequent stream reaches but not
actually be observed by a biologist at the time that critical habitat
is being assessed.
Response: We relied on distribution and habitat use information
developed by our agency fishery biologists from a wide range of
sources, including the CDFG, to determine which specific stream reaches
were occupied by each ESU. The data sets we developed defined occupancy
based on field observations from stream surveys, and, in some cases,
professional judgment based on the expert opinion of area biologists.
In all cases the exercise of professional judgment included the
consideration of habitat suitability for the particular species. We
received several comments on our proposed rule regarding the accuracy
of the distribution data in specific locations, and, where we could
confirm that the information provided by the commenter was accurate, we
accepted it as the best available information and adjusted our
designation. We view designation of critical habitat as an ongoing
process and expect to adjust the designations as necessary as new
information or improved methods become available.
Comment 13: Some commenters addressed the CHART process although
few recommended changes to the CHARTs' ratings of watershed
conservation values. Some supported the process used, in particular the
recognition that not all habitats have the same conservation value for
an ESU and that this in turn allows for a more meaningful exclusion
assessment under section 4(b)(2) of the ESA. One commenter contended
that the CHART assessments were compromised by restricting them to
consider only the stream channel rather than upslope areas as well.
Response: The CHART process was an important part of our analytical
framework in that it allowed us to improve our analysis of the best
available scientific data and to provide watershed-specific
conservation ratings useful for the Secretary's exercise of discretion
in balancing whether the benefits of exclusion outweigh the benefits of
designation under section 4(b)(2) of the ESA. We do not believe that
designating only the stream channel compromised the CHARTs' ability to
assess watershed conservation values. As noted in the CHART report, the
CHARTs employed a scoring system to assess (among other area
characteristics) the quality, quantity, and distribution of
[[Page 52494]]
PCEs within a watershed. The PCEs we have defined for these ESUs are
found within occupied stream channels, and therefore, it is appropriate
to focus our assessment on those areas. The CHART scoring did include a
factor related to the potential improvement of existing PCEs and
thereby allowed the CHARTs to consider the ability of a watershed to
contribute PCEs via natural processes such as recruitment of large wood
and substrate, flow regulation, floodplain connectivity, etc. We
recognize that salmon habitat is dynamic and that our present
understanding of areas important for conservation will likely change as
recovery planning sheds light on areas that can and should be protected
and restored. We intend to actively update these designations as needed
so that they reflect the best available scientific data and
understanding.
Comment 14: Some commenters questioned whether the CHARTs
considered the work of the various Technical Recovery Teams (TRTs) and
suggested that the CHART assessments should be reviewed by the TRTs.
Response: Where information had been developed by the TRTs, the
CHARTs did consider that information in their assessments. The CHARTs
also solicited input and comments from the TRTs on their distribution
and habitat use information as well as their watershed conservation
assessments. We believe, therefore, that we have been able to integrate
much of the TRT findings to date into our final critical habitat
designations. Given their priorities (i.e., providing crucial recovery
planning criteria and guidance) and the time constraints under which we
needed to complete the critical habitat assessments, TRT members could
not participate on the CHARTs directly. We recognize that recovery
planning is an ongoing process and that new information from the TRTs
and recovery planning stakeholders may result in changes to our
critical habitat assessments in the future.
Economics Methodology
Comment 15: Several commenters stated that the economic analysis
overestimated the actual costs of critical habitat designation by
including costs that should be attributed to the baseline. For example,
commenters asserted that costs associated with listing and application
of the jeopardy requirement should not be included in the analysis.
Commenters also asserted that costs that would have occurred under
Pacific Fisheries (PACFISH) or the Northwest Forest Plan should be
excluded from the analysis. One commenter also stated that costs
associated with existing critical habitat designations for salmon or
other endangered species should be considered baseline impacts.
Response: Regarding costs associated with listing and application
of ESA section 7's jeopardy requirement, the economic analysis follows
the direction of the New Mexico Cattlegrowers decision, in which the
Court of Appeals for the Tenth Circuit called for ``a full analysis of
all of the economic impacts of a critical habitat designation,
regardless of whether those impacts are attributable coextensively to
other causes (New Mexico Cattle Growers' Association v. U.S. Fish and
Wildlife Service, 248 F.3d 1277, 10th Cir. 2001). Consistent with this
decision, the economic analysis includes incremental impacts, those
that are solely attributable to critical habitat designation and would
not occur without the designation, as well as coextensive impacts, or
those that are associated with habitat-modifying actions covered by
both the jeopardy and adverse modification standards under section 7 of
the ESA. We do not think this overestimate of costs creates a bias in
our 4(b)(2) balancing, however, for two reasons. On the ``benefit of
designation'' side of the balance, we consider the benefit of
designation to be the entire benefit that results from application of
section 7's requirements regarding adverse modification of critical
habitat, regardless of whether application of the jeopardy requirement
would result in the same impact. Moreover, the cost-effectiveness
approach we have adopted allows us to consider relative benefits of
designation or exclusion and prioritize for exclusion areas with a
relatively low conservation value and a relatively high economic cost.
With such an approach it is most important that we are confident our
analysis has accurately captured the relative economic impacts, and we
believe it has.
In many cases, the protections afforded by PACFISH, the Northwest
Forest Plan and other regulations are intertwined with those of ESA
section 7. In cases where the specific regulation or initiative driving
the salmon and steelhead conservation efforts is uncertain, we
considered it as an ESA section 7 impact and examined the record of
consultations with the affected agencies and based our analysis on the
habitat protection measures routinely incorporated into the
consultations. The economic analysis therefore assumes that the impacts
of these types of habitat protection measures are attributable to the
implementation of section 7. In these instances, to the extent that
conservation burdens on economic activity are not, in fact, resulting
from section 7 consultation, the economic analysis may overstate costs
of the designation. We took this possibility into account in conducting
the 4(b)(2) balancing of benefits. Conservation efforts clearly
engendered by other regulations are included in the regulatory
baseline. For example, Federal lands management activities in the
Northwest Forest Plan planning area are affected by PACFISH. As a
result, some projects that would have affected salmon habitat will not
be proposed, and therefore will not be subject to section 7
consultation. These changes in projects are considered baseline and are
not included as a cost of section 7 in the economic analysis.
Commenters correctly note that there are designations currently in
place protecting critical habitat for salmon (e.g., Sacramento River
winter run chinook salmon, Central California Coastal coho salmon). We
acknowledged this in our proposed rule, but also noted that the
presence of those existing designations weighs equally on both sides of
the 4(b)(2) balance--that is, the existing designations also could be
considered as part of the baseline for determining the benefit of
designation for the ESUs addressed in the present rule. This concern is
also addressed by the cost-effectiveness approach we have adopted since
it relies on relative benefits of designation and exclusion rather than
absolute benefits.
Comment 16: One commenter and one peer reviewer noted that the
economic analysis assigns costs to all activities within the geographic
boundary of the HSA watersheds, though not all activities in this area
will lead to an ESA section 7 consultation or are equally likely to
have economic impacts. By doing this, the agency assumed that if the
stream reaches currently occupied by salmon were designated as critical
habitat, then activities throughout the watershed would be affected,
whether or not they are adjacent to critical habitat stream reaches.
Response: It is possible for activities not directly adjacent to
the proposed stream reaches to affect salmon and steelhead or their
habitat (for example, by increasing risk of erosion or decreased water
quality), and, therefore, such activities may be subject to
consultation and modification. Thus, we believe the HSA watersheds
represent a reasonable proxy for the potential boundary of consultation
activities. In some cases the revised economic analysis applies costs
less broadly by refining the geographic scale for certain
[[Page 52495]]
activities. For example, the analysis of pesticide impacts has been
refined and are now calculated based on occupied stream mile estimates
within a watershed.
Comment 17: One commenter asserted that the draft report inflates
its cost estimates by repeatedly choosing the high-end of a range of
costs, while a peer reviewer suggested using the mid-range as a
representative cost estimate was problematic.
Response: In determining likely costs associated with modifications
to activities that would benefit salmon and steelhead, the economic
analysis identifies a range of costs using available data from, for
example, agency budgets, documented conversations with stakeholders,
and published literature. The full range of costs of these activities
is presented in the economic analysis, and individual watersheds are
generally ranked in terms of cost impact by the midpoint of the cost
range, as opposed to the high end. While we recognize that a formal
sample of projects costs based on the consultation record or other
sources is a better approach in theory, available data did not allow
such an approach. In gathering the cost information that was available,
we avoided using outliers and sought to construct a typical range of
costs.
Comment 18: Some commenters asserted that the economic analysis
fails to account for regional economic interactions between watersheds.
One commenter stated that this would result in an overstatement of the
costs, while other commenters state that this would underestimate the
costs. One peer reviewer suggested using regional economic models to
address these interactions.
Response: We acknowledge that modifications to economic activities
within one watershed may affect economic activities in other
watersheds. The economic analysis discusses the potential for regional
economic impacts associated with each of the potentially affected
activities. Impacts are assigned to particular areas (watersheds) based
on where they are generated as opposed to felt. That is, if the
designation of a watershed causes impacts in multiple nearby
watersheds, and exclusion of the impact-causing watershed would remove
those economic impacts from the region, the economic analysis
appropriately assigns the total cost impact to the impact-causing
watershed. This method of assigning impacts is most useful to us in
deciding the relative cost-effectiveness of excluding particular areas
from critical habitat designation. As we acknowledge in NMFS (NMFS
2005b), the economic analysis does not explicitly analyze the potential
for these regional interactions to introduce cumulative economic
impacts. Data are not available to support such an effort, nor would
the results necessarily be applicable at the level of a particular
watershed. If these impacts in fact exist, our results are likely to be
biased downward, in that we have likely underestimated the costs of
critical habitat designation at the level of the ESU. At the level of a
watershed, however, the potential error is smaller. For this reason, we
do not believe the lack of a regional modeling framework introduces a
significant bias into the results for particular watersheds.
Comment 19: Several commenters stated that the economic analysis
underestimates the actual costs of the rule by excluding several
categories of costs from the estimates. One commenter stated that the
New Mexico Cattlegrowers decision specifically requires a full analysis
of all impacts, including those resulting from the species' listing.
One comment argued that assessment of impacts stemming from activities
occurring outside the designated area should be included, including
indirect and regional impacts. Another commenter stated that the
analysis should consider direct, indirect, and induced economic impacts
including: changes in property values, property takings, water rights
impacts, business activity and potential economic growth, commercial
values, county and state tax base, public works project impacts,
disproportionate economic burdens on society sections, impacts to
custom and culture, impacts to other endangered species, environmental
impacts to other types of wildlife, and any other relevant impact.
Response: As noted in a previous response, the Court in the New
Mexico Cattlegrowers decision called for ``a full analysis of all of
the economic impacts of a critical habitat designation, regardless of
whether those impacts are attributable coextensively to other causes.''
(emphasis added) The economic analysis conducted for this rule
evaluated direct costs associated with the designation of critical
habitat and includes: (1) Direct coextensive impacts, or those that are
associated with habitat-modifying actions covered by both the jeopardy
(listing) and adverse modification (critical habitat) standards; and
(2) direct incremental impacts, or those that are solely attributable
to critical habitat designation.
We acknowledge that designation of critical habitat may also
trigger economic impacts outside of the direct effects of ESA section 7
or outside of the watersheds subject to the economic analysis. For
example, state or local environmental laws may contain provisions that
are triggered if a state- or locally regulated activity occurs in
Federally-designated critical habitat. Another possibility is that
critical habitat designation could have ``stigma'' effects, or impacts
on the economic value of private land not attributable to any direct
restrictions on the use of the land. Our economic analysis did not
reveal significant economic impacts from stigma effects for the
designation of salmon and steelhead. Further, significant impacts of
critical habitat on an industry may lead to broader regional economic
impacts. All of these types of impacts are considered in the analysis,
although it was not possible to estimate quantitative impacts in every
case. We took these considerations into account in balancing benefits
under section 4(b)(2).
We acknowledge that designation of critical habitat may also
trigger impacts on customs, culture, or other wildlife species. We
concluded that data were not presently available that would allow us to
quantify these impacts, at the scale of this designation, for the
economic analysis. Our analysis was further circumscribed by the short
time frames available, and our primary focus on conservation benefits
to the listed species that are the subject of this designation. We took
this limitation into account in the balancing of benefits under section
4(b)(2).
Comment 20: Several commenters indicated that the economic analysis
should include a discussion of the impact of changes in flow regimes on
water users, specifically in the timing of water flow through dams and
water withdrawal or diversion constraints. Among potentially affected
water users are crop irrigators and other agricultural water users,
regulators and consumers of public water supply in the region, and in
particular, water users of the Central Valley Project and State Water
Project, among others. Similarly, several commenters stated that the
analysis should include an analysis of impacts of changes to operations
that result in increased spill at hydropower dams on the cost of power
in the region. These commenters are concerned that excluding these
costs underestimates total economic impact. One commenter pointed out
that low flow years and drought years are not considered in the
economic impacts, and consideration of varying water year types is
especially relevant to estimating impacts of instream flow
augmentation. Another
[[Page 52496]]
commenter pointed out that existing, economically feasible alternate
sources of water may not be available to water users, and thus economic
costs could be large. One commenter estimated the potential loss of
agricultural income that would result from a reduction in water
availability to a specific region. One commenter stated that if
requisite minimum instream flows are developed that correspond to the
proposed critical habitat designation, they could be analyzed using the
CALVIN model developed by the University of California.
Response: While economic impacts would clearly result from future
changes to water supply availability, the amount of water within
particular areas that may be diverted from activities such as
irrigation, flood control, municipal water supply, and hydropower, for
the purposes of Pacific salmon and steelhead conservation, and thus the
requisite timing and volume of minimum instream flows, has not been
determined for most facilities. Many biological and hydrologic factors
are considered in determining flow requirements through dams for
Pacific salmon and steelhead, and the impacts of altering flow regimes
to meet these requirements are highly site-specific. For example, the
impact of increasing spill at a hydropower project depends on the level
and timing of the spill, and on the method by which any lost power
generation is replaced. Similarly, at a water supply facility, the
impact of increasing spill depends on the size and timing of the spill,
but also depends on the specific water rights held at the facility and
by downstream users, including the priority, volume, timing, and
particular use of those water rights.
The extent to which any future changes in flow may be attributable
to the designation of critical habitat, as opposed to the listing or
other wildlife-related regulations, is also unclear. The interrelated
nature of dam and diversion projects with hydrology across river
systems makes it very difficult to attribute flow-related impacts for
salmon and steelhead conservation to specific watersheds. As a result,
a comprehensive prospective analysis of the economic impacts of
potential restrictions on water use by these activities would be highly
speculative. We acknowledge this limitation of the economic analysis.
However, the revised economic analysis does include an expanded
discussion of what is known about the potential impacts of changes in
flow regimes on hydropower production and prices and water diversions
on irrigation based on historical examples.
Comment 21: Some commenters expressed concern that the economic
analysis does not address cumulative costs of multiple layers of
regulation on economic activities.
Response: Our economic analysis estimates costs associated with
conducting ESA section 7 consultation to ensure Federal agency actions
are not likely to destroy or adversely modify critical habitat. We did
not have information available at the scale of this designation to
determine the marginal cost or benefit of such a consultation, in
addition to any state or local review that may occur, nor did the
commenters provide data that would allow us to make such a
determination.
Comme