Endangered and Threatened Wildlife and Plants; 90-day Finding on Petitions to Establish the Northern Rocky Mountain Distinct Population Segment of Gray Wolf (Canis lupus) and to Remove the Gray Wolf in the Northern Rocky Mountain Distinct Population Segment from the List of Endangered and Threatened Species, 61770-61775 [05-21344]
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DEPARTMENT OF THE INTERIOR
Fish and Wildlife Service
50 CFR Part 17
Endangered and Threatened Wildlife
and Plants; 90-day Finding on
Petitions to Establish the Northern
Rocky Mountain Distinct Population
Segment of Gray Wolf (Canis lupus)
and to Remove the Gray Wolf in the
Northern Rocky Mountain Distinct
Population Segment from the List of
Endangered and Threatened Species
Fish and Wildlife Service,
Interior.
ACTION: Notice of a 90-day petition
finding and initiation of a status review.
AGENCY:
SUMMARY: We, the U.S. Fish and
Wildlife Service (USFWS), announce a
90-day finding for two petitions—(1) the
first that sought removal of the gray wolf
from the designation of endangered
under the Endangered Species Act of
1973, as amended (ESA); and (2) the
second that requested to establish the
northern Rocky Mountain Distinct
Population Segment (Rocky Mountain
DPS) of gray wolf (Canis lupus) and to
remove the gray wolf in the northern
Rocky Mountain DPS from the Federal
list of threatened and endangered
species, pursuant to the ESA. Although
only one of these petitions presented
substantial information, we have
considered the collective weight of
evidence indicating that the northern
Rocky Mountain population of gray
wolves may qualify as a DPS and that
delisting may be warranted. We are
initiating a status review to determine if
delisting the species is warranted. To
ensure that the review is
comprehensive, we are soliciting
information and data regarding this
species.
The finding announced in this
document was made on October 17,
2005. To be considered in the 12-month
finding for this petitioned action, data,
information, and comments should be
submitted to us by December 27, 2005.
ADDRESSES: Data, information, written
comments and materials, or questions
concerning these petitions and this
finding should be submitted to the U.S.
Fish and Wildlife Service, Western Gray
Wolf Recovery Coordinator, 100 N. Park,
Suite 320, Helena, Montana 59601.
Comments on this finding also may be
sent by electronic mail to
WesternGrayWolf@fws.gov. The petition
finding, supporting information, and
comments are available for public
inspection, by appointment, during
DATES:
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normal business hours at the above
address.
FOR FURTHER INFORMATION CONTACT: Ed
Bangs, Western Gray Wolf Recovery
Coordinator, at telephone number 406–
449–5225, extension 204.
SUPPLEMENTARY INFORMATION:
Background
Historically, wolves (Canis lupus)
occupied all of the conterminous United
States, except for arid deserts and
mountaintops of the western United
States and portions of the eastern and
southeastern United States (Youngman
and Goldman 1944; Hall 1981; Mech
1974; Nowak 2000). The gray wolf was
eliminated from Montana, Idaho, and
Wyoming by the 1930s (Young and
Goldman 1944). Thereafter, only
isolated observations of individuals and
non-breeding pairs were reported in the
area. In 1974, the USFWS listed the
eastern timber wolf (C. l. lycaon) as
threatened in Minnesota and the
northern Rocky Mountain wolf (C. l.
irremotus) as endangered in Montana
and Wyoming under the ESA (16 U.S.C.
1531 et seq.) (U.S. Department of the
Interior 1974; 39 FR 1171, January 4,
1974). To eliminate problems with
listing separate subspecies of the gray
wolf whose taxonomy was contentious,
and identifying relatively narrow
geographic areas in which those
subspecies were protected, on March 9,
1978, we published a rule (43 FR 9607)
relisting the gray wolf at the species
level (C. lupus) as endangered
throughout the conterminous 48 States
and Mexico, except for Minnesota,
where the gray wolf was reclassified as
threatened. In 1995 and 1996, we
reintroduced wolves from western
Canada to remote public lands in central
Idaho and Yellowstone National Park
(Bangs and Fritts 1996; Fritts et al. 1997;
Bangs et al. 1998). Prior to this
reintroduction of wolves, we
determined that a few lone individual
wolves but no packs remained in Idaho,
Wyoming, and Washington. By the end
of 2004, there were an estimated 835
wolves in 110 packs in the United States
northern Rocky Mountains (USFWS et
al. 2005). Sixty-six of these packs met
our definition of a ‘‘breeding pair’’ (i.e.,
an adult male and an adult female that
raise at least 2 pups until December 31
of the year of their birth) (USFWS et al.
1994; USFWS et al. 2005; 68 FR 15817,
April 1, 2003). As noted in the 2003,
2004, and 2005 Rocky Mountain Wolf
Recovery Annual Reports, the USFWS
will propose delisting (removal from
protection under the ESA) once all
provisions required for delisting are
met, including adequate regulatory
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mechanisms in the form of State laws
and wolf management plans that would
reasonably assure that the gray wolf
would not become threatened or
endangered again.
On April 1, 2003, we published a final
rule revising the listing status of the
gray wolf across most of the
conterminous United States from
endangered to threatened (68 FR 15804).
On January 31, 2005, and August 19,
2005, the U.S. District Courts in Oregon
and Vermont, respectively, concluded
that the 2003 final rule was ‘‘arbitrary
and capricious’’ and violated the ESA
(National Wildlife Federation v. Norton,
1:03–CV–340, D. VT. 2005; Defenders of
Wildlife v. Norton, 03–1348–JO, D. OR
2005). The Courts’ rulings invalidated
the April 2003 changes to the ESA
listing for the gray wolf (National
Wildlife Federation v. Norton; Defenders
of Wildlife v. Norton). Therefore, the
USFWS currently considers the
classification of the gray wolf in the
Rocky Mountains outside of areas
designated as nonessential experimental
populations to have reverted back to the
endangered status that existed prior to
the 2003 reclassification.
On October 30, 2001, we received a
petition dated October 5, 2001, from the
Friends of the Northern Yellowstone Elk
Herd, Inc., (hereafter referred to as the
Friends Petition) that sought removal of
the gray wolf from the designation of
endangered under the ESA (Karl
Knuchel, P.C., A Professional
Corporation Attorneys at Law in litt.
2001a). On November 16, 2001, we sent
a letter to the attorney representing this
group acknowledging the petition and
requested clarification on several issues
(T. J. Miller, USFWS, in litt. 2001).
Additional correspondence in late 2001
provided clarification of their intent that
the petition only apply to the Montana,
Wyoming, and Idaho population and
that the petition request full delisting of
this population (Knuchel in litt. 2001b).
In January 2002, this petition was
assigned to Region 6 of the USFWS for
processing (T. J. Miller in litt. 2002).
Since 2002, the USFWS has focused its
limited wolf recovery funding and staff
resources toward authoring regulations
and reclassification proposals, including
the completion of the 2003 downlisting
rule discussed above; assisting the
Department of Justice in litigation;
preparation of administrative records;
wolf recovery and management;
responding to correspondence and
Freedom of Information Act requests (5
U.S.C. 552, as amended by Pub. L. 104–
231, 110 Stat. 3048); and other
administrative and legal mandates.
On July 19, 2005, we received a
petition dated July 13, 2005, from the
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Office of the Governor, State of
Wyoming and the Wyoming Game and
Fish Commission (hereafter referred to
as the Wyoming Petition) to revise the
listing status for the gray wolf (Canis
lupus) by establishing the northern
Rocky Mountain DPS and to
concurrently remove the gray wolf in
the northern Rocky Mountain DPS from
the Federal list of threatened and
endangered species (Dave Freudenthal,
Office of the Governor, State of
Wyoming, in litt. 2005). On August 17,
2005, we provided a written response to
the petitioner explaining our intention
to complete a 90-day finding on this
petition as soon as possible (Ralph
Morgenweck, USFWS , in litt. 2005).
Section 4(b)(3)(A) of the ESA requires
that we make a finding on whether a
petition to list, delist, or reclassify a
species presents substantial scientific or
commercial information indicating that
the petitioned action may be warranted.
‘‘Substantial information’’ is defined in
50 CFR 424.14(b) as ‘‘that amount of
information that would lead a
reasonable person to believe that the
measure proposed in the petition may
be warranted.’’ Petitioners need not
prove that the petitioned action is
warranted to support a ‘‘substantial’’
finding; instead, the key consideration
in evaluating a petition for
substantiality involves demonstration of
the reliability and adequacy of the
scientific and commercial information
supporting the action advocated by the
petition. We do not conduct additional
scientific and commercial research at
this point, nor do we subject the
petition to rigorous critical review
regarding the delisting factors. If we find
substantial scientific and commercial
information exists to support the
petitioned action, we are required to
promptly commence a status review of
the species (50 CFR 424.14). To the
maximum extent practicable, this
finding is to be made within 90 days of
receipt of the petition, and the finding
is to be published promptly in the
Federal Register.
Species Information
For detailed information on this
species see the April 1, 2003, ‘‘Final
rule to reclassify and remove the gray
wolf from the list of endangered and
threatened wildlife in portions of the
conterminous United States’’ (68 FR
15804). Additional information,
including weekly gray wolf recovery
status reports and the Rocky Mountain
Wolf Recovery 2005 Annual Report, are
available online at https://
westerngraywolf.fws.gov/.
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Discussion of Information Presented by
the Petitions and Readily Available in
our Files
The Friends Petition identified the
organization requesting delisting, noted
that the gray wolf was protected under
the ESA, and requested removal of the
species from the protections of the ESA.
This two-page petition noted ‘‘that
substantial scientific and commercial
information exists that supports the
request,’’ but failed to elaborate on this
claim. The Friends Petition did not
discuss—(1) whether the northern
Rocky Mountain gray wolf population
constitutes a ‘‘listable entity’’ under the
ESA (i.e., a species, a subspecies, or a
Distinct Population Segment (61 FR
4722, February 7, 1996)), or (2) any of
the five factors considered in delisting
actions outlined in section 4(a)(1) of the
ESA. While the Friends Petition
provided a collection of ‘‘exhibits’’ in
support of its request, the petition failed
to present a case for delisting that would
lead a reasonable person to believe that
the measure proposed in the petition
may be warranted. Therefore, the
remainder of this finding focuses on the
assertions of the Wyoming Petition.
Below we respond to each of the major
assertions made in the Wyoming
Petition, including the assertions of
discreteness and significance of a
potential DPS and the ESA’s five listing
factors.
Both the Wyoming Petition and our
discussion of the information in our
files references scientific information in
the April 1, 2003, ‘‘Final rule to
reclassify and remove the gray wolf
from the list of endangered and
threatened wildlife in portions of the
conterminous United States’’ (68 FR
15804). Although this rule was vacated
and enjoined by Oregon and Vermont
Federal district courts, the scientific
information discussed below, cited to
the April 1, 2003, Federal Register, was
not challenged in those courts.
Therefore, we still view this document
as a valid summary of our view of the
science and a reliable summary of the
information in our files. This 90-day
finding is not a status assessment and
does not constitute a status review
under the ESA.
Distinct Population Segment
Pursuant to the ESA, we shall
consider for listing any species,
subspecies, or, for vertebrates, any DPS
of these taxa if there is sufficient
information to indicate that such an
action may be warranted. Under our
DPS policy, we must consider three
factors in a decision regarding the
establishment of a possible DPS,
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including—(1) discreteness of the
population segment in relation to the
remainder of the taxon (i.e. Canis
lupus); (2) the significance of the
population segment to the taxon to
which it belongs; and (3) the population
segment’s conservation status in relation
to the ESA’s standards for listing (i.e., is
the population segment, when treated as
if it were a species, endangered or
threatened) (61 FR 4722, February 7,
1996). What follows is not a formal DPS
analysis. Instead, our finding considers
whether the petition states a reasonable
case that the petitioned population may
be a listable entity.
Discreteness
Under our Policy Regarding the
Recognition of Distinct Vertebrate
Population Segments, a population
segment of a vertebrate species may be
considered discrete if it satisfies either
one of the following conditions—(1) It is
markedly separated from other
populations of the same taxon (i.e.,
Canis lupus) as a consequence of
physical, physiological, ecological, or
behavioral factors (quantitative
measures of genetic or morphological
discontinuity may provide evidence of
this separation); and/or (2) It is
delimited by international governmental
boundaries within which differences in
control of exploitation, management of
habitat, conservation status, or
regulatory mechanisms exist that are
significant in light of section 4(a)(1)(D)
(‘‘the inadequacy of existing regulatory
mechanisms’’) of the ESA (61 FR 4722,
February 7, 1996). Below we discuss
three arguments for discreteness put
forward by the Wyoming Petition,
including differences in management
among populations in the United States
and Canada, physiological differences
among populations, and geographic and
ecological factors separating
populations.
Discreteness Information Provided by
the Petitions—Management Differences
Among the United States and Canada.
The Wyoming Petition states that the
northern Rocky Mountain gray wolf
population in the United States and
Canada are discrete from each other
based on differences in exploitation and
conservation status. The Wyoming
Petition provides no citations in support
of this assertion.
Information in Our Files. This
assertion is consistent with the
information in our files and previous
USFWS determinations (68 FR 15804,
April 1, 2003). On April 1, 2003, we
published a Federal Register notice
which stated, ‘‘The Vertebrate
Population Policy allows us to use
international borders to delineate the
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boundaries of a DPS even if the current
distribution of the species extends
across that border. Therefore, we will
continue to use the United States—
Canada border to mark the northern
portions of the (DPS) * * * due to the
difference in control of exploitation,
conservation status, and regulatory
mechanisms between the two countries.
In general, wolf populations are more
numerous and wide-ranging in Canada;
therefore, wolves are not protected by
Federal laws in Canada and are publicly
trapped in most Canadian provinces’’
(68 FR 15819, April 1, 2003). Wolves in
Canada are publicly harvested and
subject to very liberal defense of
property take in most provinces
(Pletscher et al. 1991; Mech and Boitani
2003; Bangs et al. 2004; Phillips et al.
2005).
Discreteness Information Provided by
the Petitions—Physiological Differences.
The Wyoming Petition asserts that the
northern Rocky Mountain population of
gray wolves also is markedly separated
from other populations of the same
taxon as a consequence of physiological
(e.g., morphological) factors. The
Wyoming Petition cites our 2003
Federal Register notice (68 FR 15804,
April 1, 2003) and analyzes three of our
sources (Brewster and Fritts 1994;
Nowak 1994; Wayne et al. 1994) in
support of its statements that the
northern United States Rocky Mountain
wolf population is significantly larger
than other wolf populations in the
United States.
Information in Our Files. As suggested
by the Wyoming Petition, gray wolves in
the northern Rocky Mountains differ
physiologically from other United States
wolf populations. The average male
wolf in the northern Rockies weighs
approximately 45 kilograms (kg) (100
pounds (lb)) (68 FR 15804, April 1,
2003). By contrast, the average male
wolf in Wisconsin weighs 35 kg (77 lb)
(Wisconsin Department of Natural
Resources 1999; 68 FR 15804, April 1,
2003) and the average historic weights
of wild Mexican wolves ranged from 25
to 49 kg (54 to 99 lb) (Young and
Goldman 1944). According to Gipson et
al. (2002), wolves of the Northern Rocky
Mountains are slightly larger and
contain greater numbers of individuals
with black pelts than other wolf
populations within the continental
United States. Thus, this assertion is
consistent with the information in our
files.
Discreteness Information Provided in
the Petitions—Physical and Ecological
Factors. The Wyoming Petition asserts
that the northern Rocky Mountain
population of gray wolves is markedly
separated from other wolf populations
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as a consequence of physical
(geographic) and ecological factors. The
Wyoming Petition cites to a sizable
collection of literature (68 FR 15804,
April 1, 2003; Mech 1989; Mech et al.
1988; Oakleaf et al. 2003; Thiel 1985;
USFWS 1987, 1994; USFWS et al. 2003,
2004, 2005) suggesting that a broad
region of unsuitable habitats
surrounding the established northern
Rocky Mountain population constitutes
a significant physical separation that
effectively isolates this population from
distant, potentially suitable habitats.
Information in Our Files. This
assertion is consistent with the
information in our files and previous
USFWS determinations (68 FR 15804,
April 1, 2003). On April 1, 2003, we
published a Federal Register notice
which stated, ‘‘To date, we have no
evidence that any wolves from any of
[the United States wolf populations]
have dispersed [into other United States
wolf populations], although we expect
such dispersals to occur. The current
gray wolf populations * * * are
separated from [other] gray wolf
populations * * * by large areas that
are not occupied by breeding
populations of resident wild gray
wolves. Although small numbers of
dispersing individual gray wolves have
been seen in some of these unoccupied
areas, and it is possible that individual
dispersing wolves can completely cross
some of these gaps between occupied
areas and may therefore join another
wolf population, we believe that the
existing geographic isolation of wolf
populations * * * far exceeds the
Vertebrate Population Policy’s criterion
for discreteness’’ (68 FR 15818, April 1,
2003). Based on suitable habitat
modeling (Oakleaf et al. 2005; Carroll et
al. in prep.), genetic analysis (Forbes
and Boyd 1997; Boyd and Pletscher
1999), and known wolf distribution and
movement patterns (Bangs et al. 1996,
1998; Pletscher et al. 1991, 1998;
Phillips et al. 2005; USFWS et al. 1994,
2003, 2004, 2005), wolves in the
northern Rocky Mountains appear
discrete from other United States wolf
populations.
Significance
If we determine a population segment
is discrete, we next consider available
scientific evidence of its significance to
the taxon (i.e., Canis lupus) to which it
belongs. Our DPS policy states that this
consideration may include, but is not
limited to, the following—(1)
Persistence of the discrete population
segment in an ecological setting unusual
or unique for the taxon; (2) Evidence
that loss of the discrete population
segment would result in a significant
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gap in the range of the taxon; (3)
Evidence that the discrete population
segment represents the only surviving
natural occurrence of a taxon that may
be more abundant elsewhere as an
introduced population outside its
historic range; and/or (4) Evidence that
the discrete population segment differs
markedly from other populations of the
species in its genetic characteristics (61
FR 4722, February 7, 1996). The
Wyoming Petition only presented
information suggesting the loss of the
northern Rocky Mountain gray wolf
population would represent a
significant loss in the range of the taxon.
Below we discuss only this assertion.
Information Provided in the Petitions
on Significance. The Wyoming Petition
suggests that the loss of the northern
Rocky Mountain wolf population would
create a significant gap in the taxon’s
range as this is one of only two selfsustaining, viable populations of gray
wolves in the United States. The
Wyoming Petition provides no citations
in support of this assertion.
Information in Our Files. The USFWS
concurs with the assertion that the loss
of this population would represent a
significant gap in the range of the taxon.
On April 1, 2003, we published a
Federal Register notice which stated
that the loss of any of the three wolf
populations in the conterminous States
‘‘would clearly produce huge gaps in
current gray wolf distribution in the 48
States’’ (68 FR 15819). Given historic
occupancy of the conterminous States
and the portion of the historic range the
conterminous States represent, recovery
of wolves in the lower 48 has long been
viewed as important to the taxon (U.S.
Department of the Interior 1974; 39 FR
1171, January 4, 1974; 43 FR 9607,
March 9, 1978; Mech and Boitani 2003).
Although this 90-day finding has
determined that the petition and other
readily available information in our files
present a reasonable case that the
northern Rocky Mountain population of
gray wolves may be both discrete from
other wolf populations and significant
to the taxon, this finding expresses no
final agency view (1) as to the ultimate
issue of whether this population
qualifies as a DPS; nor (2) where to draw
the boundaries of a potential DPS.
Conservation Status
What follows is not a formal status
review under the ESA. Our finding
considers only whether the petition and
information in our files presents a
reasonable case that the petitioned
action may be warranted. Section 4 of
the ESA of 1973 and regulations
promulgated to implement the listing
provisions of the ESA (50 CFR Part 424)
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set forth the procedures for listing,
reclassifying, and delisting species
under the Federal list of endangered and
threatened species. A species may be
delisted, according to 50 CFR 424.11(d),
if the best scientific and commercial
data available demonstrates that the
species is no longer endangered or
threatened because of—(1) extinction;
(2) recovery; or (3) error in the original
data used for classification of the
species. The analysis for a delisting due
to recovery must be based on the five
factors outlined in section 4(a)(1) of the
ESA, including—(1) The present or
threatened destruction, modification, or
curtailment of its habitat or range; (2)
overutilization for commercial,
recreational, scientific, or educational
purposes; (3) disease or predation; (4)
the inadequacy of existing regulatory
mechanisms; and (5) other natural or
manmade factors affecting its continued
existence.
A. The Present or Threatened
Destruction, Modification, or
Curtailment of Its Habitat or Range
Information Provided in the Petitions
on Factor A. The Wyoming Petition’s
discussion of Factor A cites to and
quotes from the April 1, 2003 Federal
Register notice (68 FR 15804). The
Wyoming Petition suggests that public
lands and ungulate prey base remain
secure in suitable habitat. Regarding
secure habitat in the northwestern
Montana, Central Idaho, and Greater
Yellowstone Area recovery zones, the
2003 Federal Register notice read,
‘‘These areas of potential wolf habitat
are secure and no foreseeable habitatrelated threats prevent them from
supporting a wolf population that
exceeds recovery levels’’ (68 FR 15845,
April 1, 2003). Regarding ungulates, the
2003 Federal Register notice read, ‘‘The
States of Montana, Idaho, and Wyoming
have managed resident ungulate
populations for decades and maintained
them at densities that would support a
recovered wolf population. There is no
foreseeable condition that would cause
a decline in ungulate populations
significant enough to affect a recovered
wolf population’’ (68 FR 15845, April 1,
2003). The Wyoming Petition’s
discussion of this issue concludes with
the suggestion that the analysis of
foreseeable impacts to habitat done by
the USFWS in 2003 remains valid in
2005.
Information in Our Files. Although
our 2003 analysis described threats to
habitat and range for a downlisting, a
situation where many of the protections
of the ESA would have remained in
place, many of the same principles
apply to delisting. According to Oakleaf
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et al. (2005) and Carroll et al. (in prep),
public lands and ungulate prey base in
northern Rocky Mountain wolf habitat
appear largely secure. Thus, the USFWS
finds that the petition’s discussion of
Factor A presents substantial scientific
and commercial information indicating
that delisting the species may be
warranted.
B. Overutilization for Commercial,
Recreational, Scientific, or Educational
Purposes
Information Provided in the Petitions
on Factor B. The Wyoming Petition’s
discussion of Factor B cites to and
quotes from the final wolf downlisting
rule (68 FR 15804, April 1, 2003). The
Wyoming Petition suggests that
commercial, recreational, scientific, and
educational take of wolves, their pelts,
or other parts is believed to be rare. The
Wyoming Petition notes that such
utilization will be controlled by State
regulatory mechanisms described in
State wolf management plans for Idaho,
Montana, and Wyoming (70 FR 1289,
January 6, 2005). The Wyoming Petition
goes on to say that in National Parks,
post-delisting removal of wolves for
commercial, recreational, and
educational purposes will be prohibited
and post-delisting utilization for
scientific purposes will also be
extremely rare (U.S.C. 16, Chapter 1,
Sub Chapter V, Sect. 26). Finally, the
Wyoming Petition notes that National
Park non-lethal utilization of wolves
will be limited in order to minimize
impacts to wolves.
Information in Our Files. Although
commercial, recreational, scientific, and
educational take has been rare since
listing and is likely to continue to be
rare (68 FR 15804, April 1, 2003),
adequate State plans are necessary to
regulate this issue post-delisting (Bangs
et al. 1998, 2004, 2005). To date, only
the States of Idaho and Montana have
approved management plans for gray
wolves (70 FR 1289, January 6, 2005).
The USFWS has concerns with portions
of Wyoming’s State law and wolf
management plan relating to this factor
(USFWS Administrative Record 2004).
This issue is discussed further under
Factor D.
C. Disease or Predation
Information Provided in the Petitions
on Disease. The Wyoming Petition’s
discussion of disease cites to and quotes
from the final wolf downlisting rule (68
FR 15804, April 1, 2003). The Wyoming
Petition suggests that although
parvovirus, canine distemper, mange,
and brucellosis have all been
documented in wolves, none appear to
be a significant factor affecting wolf
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61773
population dynamics in the northern
Rocky Mountains (USFWS 1994 as in 68
FR 15804, April 1, 2003; Johnson 1992a,
1992b as in 68 FR 15804, April 1, 2003).
The Wyoming Petition notes that
disease and parasite occurrence require
diligent monitoring and appropriate
follow up for the foreseeable future
(Brand et al. 1995 as in 68 FR 15804,
April 1, 2003).
Information in Our Files. As of 2003,
disease did not appear to be having
significant impacts on wolf population
dynamics (68 FR 15804, April 1, 2003).
However, a recent outbreak of mange
has caused wolf mortality and
reproductive failure in several packs in
the Greater Yellowstone Area and is
under investigation (Jimenez et al. in
prep.). While we view the information
presented in the Petition as substantial,
additional evaluation of this issue is
necessary.
Information Provided in the Petitions
on Natural Predation. The Wyoming
Petition’s discussion of predation by
other wildlife cites to and quotes from
the final wolf downlisting rule (68 FR
15804, April 1, 2003). The Wyoming
Petition suggests that predation by other
wildlife occasionally occurs (Mech and
Nelson 1989 as in 68 FR 15804, April
1, 2003), but is not believed to be a
significant mortality source (68 FR
15804, April 1, 2003).
Information in Our Files. This
assertion is consistent with the
information in our files and previous
USFWS determinations (68 FR 15804,
April 1, 2003). No wild animals
habitually prey on gray wolves. Wolves
are occasionally killed by prey that they
are attacking (Mech and Nelson 1989),
but those instances are rare. Wolf
conflicts with mountain lions, grizzly
bears, and black bears rarely result in
the death of either species. Predation by
other wildlife does not appear to have
significant impacts on wolf population
dynamics (Bangs et al. 1998; Smith et al.
in prep.; USFWS et al. 2005).
Information Provided in the Petitions
on Human Predation. The Wyoming
Petition’s discussion of human
predation cites to and quotes from the
final wolf downlisting rule for a
discussion of this issue up to 2003 (68
FR 15804, April 1, 2003). The Wyoming
Petition notes that since the 2003
analysis, 27 wolves were killed in 2003
throughout the northern Rocky
Mountain region from human causes
other than control actions (USFWS et al.
2004) and that, in 2004, 54 wolves were
killed from human causes other than
control actions (USFWS et al. 2005).
However, the Wyoming Petition
suggests the total number of wolves
killed are not preventing the population
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from increasing; in fact, wolf
populations have increased from 663
individuals in 2002, to 761 in 2003, to
835 in 2004 (USFWS et al. 2003, 2004,
2005). Finally, the Wyoming Petition
notes that legal harvest by hunters will
be regulated under State laws, as
described in the State management
plans for gray wolves.
Information in Our Files. Adequate
State management is necessary to
regulate this issue post-delisting (Bangs
et al. 2004, 2005). To date, only the
States of Idaho and Montana have
approved management plans for gray
wolves (70 FR 1289, January 6, 2005).
The USFWS has concerns with portions
of Wyoming’s State law and wolf
management plan relating to this factor
(USFWS Administrative Record 2004).
This issue is discussed further under
Factor D.
D. The Inadequacy of Existing
Regulatory Mechanisms
Information Provided in the Petitions
on Factor D. The Wyoming Petition
asserts that the regulatory mechanisms
currently provided in Wyoming Statute
23–1–304 and the Wyoming Gray Wolf
Management Plan (2003) are sufficient
to reasonably assure Wyoming’s share of
the population will remain recovered
into the foreseeable future. The
Wyoming Petition suggests that—(1) the
Wyoming management plan can be
implemented within existing authorities
(State Attorney General in litt. 2003); (2)
the USFWS has overstated risks
associated with the initial classification
of gray wolves as a ‘‘predatory animal’’;
and (3) the Commission will reclassify
wolves as ‘‘trophy game’’ if necessary.
Information in Our Files. Based on
our review of the State management
plans, peer review comments, and the
State’s responses to those comments,
USFWS has determined that both the
Montana and Idaho wolf management
plans are adequate to maintain their
share and distribution of the tri-State
wolf population above recovery levels
(70 FR 1289, January 6, 2005). However,
we have concerns with portions of
Wyoming’s State law and wolf
management plan (USFWS
Administrative Record 2004). The
USFWS has determined that, for the
Wyoming statute and its State plan to
constitute an adequate regulatory
mechanism, in lieu of listing under the
ESA, they must satisfy three conditions.
First, Wyoming’s predatory animal
status for wolves must be changed
(Steve Williams, USFWS, in litt. 2004).
Second, to constitute an adequate
regulatory mechanism, Wyoming State
law and plan must clearly commit to
managing for at least 15 wolf packs in
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14:58 Oct 25, 2005
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the State (Williams, USFWS, in litt.
2004). Finally, the Wyoming definition
of a ‘‘pack’’ should be consistent among
the three States and be biologically
based (Williams, USFWS, in litt. 2004).
E. Other Natural or Manmade Factors
Affecting Its Continued Existence
Information Provided in the Petitions
on Factor E. The Wyoming Petition’s
discussion of Factor E cites to and
quotes from the final wolf downlisting
rule (68 FR 15804, April 1, 2003), noting
that ‘‘the primary determinant of the
long-term status of gray wolf
populations in the United States will be
human attitudes toward this large
predator. These attitudes are based on
the conflicts between human activities
and wolves, concern with the perceived
danger the species may pose to humans,
its symbolic representation of
wilderness, the economic effect of
livestock losses, the emotions regarding
threats to pets, the conviction that the
species should never be a target of sport
hunting or trapping, and wolf traditions
of Native American tribes.’’
Information in Our Files. This
assertion is consistent with the
information in our files and previous
USFWS determinations. Public support
for wolf recovery will be the primary
determinant of the long-term status of
gray wolf populations in the United
States (68 FR 15804, April 1, 2003). As
noted in the 2003 Federal Register
notice, ‘‘national support is evident for
wolf recovery in the northern U.S.
Rocky Mountains. With the continued
help of private conservation
organizations, States, and tribes, we can
continue to foster public support to
maintain viable populations in * * *
the West’’ (68 FR 15804, April 1, 2003;
Bangs et al. 2004).
Finding
Based on the information presented in
the petitions and information in our
files, it is reasonable to infer that the
gray wolf population in the northern
Rocky Mountains appears to have
experienced a significant recovery in
terms of current population numbers
and distribution. At the end of 2004,
835 wolves existed in 110 packs in the
northern Rocky Mountains (68 FR
15804, April 1, 2003; USFWS et al.
2005). Sixty-six of these packs met our
definition of a breeding pair. USFWS
determined that a minimum of 30 or
more breeding pairs of wolves,
comprising 300 or more individuals in
a metapopulation with some genetic
exchange between subpopulations, with
an equitable distribution among the 3
States for at least 3 successive years,
constitutes a viable and recovered wolf
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population (USFWS et al. 1994; 68 FR
15804, April 1, 2003). This criterion was
met at the end of 2002 and has been
surpassed every year since (68 FR
15804, April 1, 2003; USFWS et al.
2003, 2004, 2005).
On the whole, we find that the
Wyoming petition presents substantial
scientific and commercial information
indicating that the northern Rocky
Mountain gray wolf population may
qualify as a DPS and that this potential
DPS may warrant delisting. Beyond
substantial population and
distributional information indicating the
northern Rocky Mountain gray wolf
population has met its biological
recovery goals, the Wyoming petition
presented substantial information
regarding several of the five factors
outlined in section 4(a)(1) of the ESA.
The Friends petition failed to present a
case for delisting that would lead a
reasonable person to believe that the
measure proposed in the petition may
be warranted. Although only one of
these petitions presented substantial
information, we have considered the
collective weight of evidence and are
initiating a 12-month status review.
Although our January 2003
determination that Wyoming’s
regulatory mechanisms are inadequate
is still valid, we will fully evaluate this
issue in the status review and welcome
improvements to Wyoming’s Statutes
and the Wyoming Gray Wolf
Management Plan made within the 12month status review time period.
Information Solicited
When we make a finding that
substantial scientific and commercial
information is presented to indicate that
delisting a species may be warranted,
we are required to promptly commence
a review of the status of the species. To
ensure that the status review is
complete and based on the best
available scientific and commercial
data, we are soliciting information on
the northern Rocky Mountain
population of gray wolves. We request
any additional data, comments, and
suggestions from the public, other
concerned governmental agencies,
Native American Tribes, the scientific
community, industry, or any other
interested parties concerning the status
of the northern Rocky Mountain
population of gray wolves. We are
seeking information regarding the
species’ historical and current status
and distribution, its biology and
ecology, ongoing conservation measures
for the species and its habitat, and
threats to the species and its habitat
including the adequacy of regulatory
mechanisms. If you wish to comment or
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provide information, you may submit
your comments and materials
concerning this finding to the Western
Gray Wolf Recovery Coordinator, U.S.
Fish and Wildlife Service (see
ADDRESSES).
Our practice is to make comments and
materials provided, including names
and home addresses of respondents,
available for public review during
regular business hours. Respondents
may request that we withhold a
respondent’s identity, to the extent
allowable by law. If you wish us to
withhold your name or address, you
must state this request prominently at
the beginning of your submission.
However, we will not consider
anonymous comments. To the extent
consistent with applicable law, we will
make all submissions from
organizations or businesses, and from
individuals identifying themselves as
representatives or officials of
organizations or businesses, available
for public inspection in their entirety.
Comments and materials received will
be available for public inspection, by
appointment, during normal business
hours at the address listed above under
ADDRESSES.
References Cited
A complete list of all references cited
herein is available upon request from
the Western Gray Wolf Recovery
Coordinator, U.S. Fish and Wildlife
Service (see ADDRESSES).
Authority
The authority for this action is the
Endangered Species Act of 1973 as
amended (16 U.S.C. 1531 et seq.).
Dated: October 17, 2005.
Matt Hogan,
Acting Director, Fish and Wildlife Service.
[FR Doc. 05–21344 Filed 10–25–05; 8:45 am]
BILLING CODE 4310–55–P
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DEPARTMENT OF COMMERCE
National Oceanic and Atmospheric
Administration
50 CFR Part 679
[Docket No. 051017269–5269–01; I.D.
100705C]
RIN 0648–AT54
Fisheries of the Exclusive Economic
Zone Off Alaska; Cape Sarichef
Research Restriction Area Opening for
the Groundfish Fisheries of the Bering
Sea and Aleutian Islands Management
Area
National Marine Fisheries
Service (NMFS), National Oceanic and
Atmospheric Administration (NOAA),
Commerce.
ACTION: Proposed rule; request for
comments.
AGENCY:
SUMMARY: NMFS proposes to open the
Cape Sarichef Research Restriction Area
in the Bering Sea and Aleutian Islands
Management Area (BSAI) to directed
fishing for groundfish using trawl, pot,
and hook-and-line gear from March 15,
2006, through March 31, 2006. Because
NMFS’ Alaska Fisheries Science Center
(AFSC) will not conduct research in this
area in 2006, closure of the Cape
Sarichef Research Restriction Area is
not needed. This action is intended to
relieve an unnecessary restriction on
groundfish fisheries and allow the
optimum utilization of fishery
resources, in accordance with the
Magnuson-Stevens Fishery
Conservation and Management Act
(Magnuson-Stevens Act). This proposed
rule also would remove the regulations
for the Cape Sarichef Research
Restriction Area, as well as regulations
for the Chiniak Gully Research Area
because both research projects have
ended.
Comments on this proposed rule
must be received by November 25, 2005.
ADDRESSES: Send written comments to
Sue Salveson, Assistant Regional
Administrator, Sustainable Fisheries
Division, Alaska Region, NMFS, Attn:
Lori Durall. Comments may be
submitted by:
• Hand delivery: 709 West 9th Street,
Room 420A, Juneau, AK.
• E-mail: 0648–at54–
Sarichef@noaa.gov. Include in the
subject line the following document
identifier: Cape Sarichef RIN
0648-AT54. E-mail comments, with or
without attachments, are limited to 5
megabytes.
• Webform at the Federal eRulemaking
Portal: www.regulations.gov. Follow the
DATES:
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61775
instructions at that site for submitting
comments.
• Fax: 907–586–7557.
• Mail: P.O. Box 21668, Juneau, AK
99802–1668.
Copies of the regulatory impact
review (RIR), prepared for this action
are available from NMFS at the above
address or from the NMFS Alaska
Region website at www.fakr.noaa.gov.
FOR FURTHER INFORMATION CONTACT:
Becky Carls, 907–586–7228 or
becky.carls@noaa.gov.
The
groundfish fisheries in the exclusive
economic zone of the BSAI and Gulf of
Alaska (GOA) are managed by NMFS
under the Fishery Management Plans
(FMPs) for Groundfish of the BSAI and
Groundfish of the GOA. The FMPs were
prepared by the North Pacific Fishery
Management Council (Council) under
the Magnuson-Stevens Act, 16 U.S.C.
1801 et seq. Regulations governing U.S.
fisheries and implementing the FMPs
appear at 50 CFR parts 600 and 679.
SUPPLEMENTARY INFORMATION:
Background and Need for Action
In October 2002, the Council adopted
a regulatory amendment to implement a
seasonal closure to directed fishing for
groundfish by vessels using trawl, pot,
or hook-and-line gear in a portion of the
waters off Cape Sarichef just north of
Unimak Pass in the Aleutians (68 FR
11004, March 7, 2003). The purpose of
that action was to support an AFSC
research project testing the hypothesis
that commercial trawl fishing imposed
localized depletion on stocks of Pacific
cod. The results of the research project
had the potential to provide information
on the impacts of fishing on Pacific cod
stocks, and on Steller sea lion forage
resources. That research was scheduled
to occur in each of four consecutive
years (2003 through 2006) between
March 15 and March 31. The closure of
this area to pot, hook-and-line, and
trawl gear users is applicable through
March 31, 2006.
In June 2005, AFSC staff reported to
the Council that their research results
over the first three years were so
unambiguous and consistent that they
were ending the study one year earlier
than originally planned. The results of
the Cape Sarichef study are available on
the Internet at www.afsc.noaa.gov/
Quarterly/amj2005/divrptsREFM6.htm.
Because the study would not be
conducted in 2006, AFSC staff indicated
that the special closure of the study area
for March 15–31, 2006, would not be
needed. The Council recommended and
NMFS is proposing to remove the
closure specified in § 679.22(a)(11).
Maintaining the closure in 2006 would
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Agencies
[Federal Register Volume 70, Number 206 (Wednesday, October 26, 2005)]
[Proposed Rules]
[Pages 61770-61775]
From the Federal Register Online via the Government Printing Office [www.gpo.gov]
[FR Doc No: 05-21344]
[[Page 61770]]
=======================================================================
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DEPARTMENT OF THE INTERIOR
Fish and Wildlife Service
50 CFR Part 17
Endangered and Threatened Wildlife and Plants; 90-day Finding on
Petitions to Establish the Northern Rocky Mountain Distinct Population
Segment of Gray Wolf (Canis lupus) and to Remove the Gray Wolf in the
Northern Rocky Mountain Distinct Population Segment from the List of
Endangered and Threatened Species
AGENCY: Fish and Wildlife Service, Interior.
ACTION: Notice of a 90-day petition finding and initiation of a status
review.
-----------------------------------------------------------------------
SUMMARY: We, the U.S. Fish and Wildlife Service (USFWS), announce a 90-
day finding for two petitions--(1) the first that sought removal of the
gray wolf from the designation of endangered under the Endangered
Species Act of 1973, as amended (ESA); and (2) the second that
requested to establish the northern Rocky Mountain Distinct Population
Segment (Rocky Mountain DPS) of gray wolf (Canis lupus) and to remove
the gray wolf in the northern Rocky Mountain DPS from the Federal list
of threatened and endangered species, pursuant to the ESA. Although
only one of these petitions presented substantial information, we have
considered the collective weight of evidence indicating that the
northern Rocky Mountain population of gray wolves may qualify as a DPS
and that delisting may be warranted. We are initiating a status review
to determine if delisting the species is warranted. To ensure that the
review is comprehensive, we are soliciting information and data
regarding this species.
DATES: The finding announced in this document was made on October 17,
2005. To be considered in the 12-month finding for this petitioned
action, data, information, and comments should be submitted to us by
December 27, 2005.
ADDRESSES: Data, information, written comments and materials, or
questions concerning these petitions and this finding should be
submitted to the U.S. Fish and Wildlife Service, Western Gray Wolf
Recovery Coordinator, 100 N. Park, Suite 320, Helena, Montana 59601.
Comments on this finding also may be sent by electronic mail to
WesternGrayWolf@fws.gov. The petition finding, supporting information,
and comments are available for public inspection, by appointment,
during normal business hours at the above address.
FOR FURTHER INFORMATION CONTACT: Ed Bangs, Western Gray Wolf Recovery
Coordinator, at telephone number 406-449-5225, extension 204.
SUPPLEMENTARY INFORMATION:
Background
Historically, wolves (Canis lupus) occupied all of the conterminous
United States, except for arid deserts and mountaintops of the western
United States and portions of the eastern and southeastern United
States (Youngman and Goldman 1944; Hall 1981; Mech 1974; Nowak 2000).
The gray wolf was eliminated from Montana, Idaho, and Wyoming by the
1930s (Young and Goldman 1944). Thereafter, only isolated observations
of individuals and non-breeding pairs were reported in the area. In
1974, the USFWS listed the eastern timber wolf (C. l. lycaon) as
threatened in Minnesota and the northern Rocky Mountain wolf (C. l.
irremotus) as endangered in Montana and Wyoming under the ESA (16
U.S.C. 1531 et seq.) (U.S. Department of the Interior 1974; 39 FR 1171,
January 4, 1974). To eliminate problems with listing separate
subspecies of the gray wolf whose taxonomy was contentious, and
identifying relatively narrow geographic areas in which those
subspecies were protected, on March 9, 1978, we published a rule (43 FR
9607) relisting the gray wolf at the species level (C. lupus) as
endangered throughout the conterminous 48 States and Mexico, except for
Minnesota, where the gray wolf was reclassified as threatened. In 1995
and 1996, we reintroduced wolves from western Canada to remote public
lands in central Idaho and Yellowstone National Park (Bangs and Fritts
1996; Fritts et al. 1997; Bangs et al. 1998). Prior to this
reintroduction of wolves, we determined that a few lone individual
wolves but no packs remained in Idaho, Wyoming, and Washington. By the
end of 2004, there were an estimated 835 wolves in 110 packs in the
United States northern Rocky Mountains (USFWS et al. 2005). Sixty-six
of these packs met our definition of a ``breeding pair'' (i.e., an
adult male and an adult female that raise at least 2 pups until
December 31 of the year of their birth) (USFWS et al. 1994; USFWS et
al. 2005; 68 FR 15817, April 1, 2003). As noted in the 2003, 2004, and
2005 Rocky Mountain Wolf Recovery Annual Reports, the USFWS will
propose delisting (removal from protection under the ESA) once all
provisions required for delisting are met, including adequate
regulatory mechanisms in the form of State laws and wolf management
plans that would reasonably assure that the gray wolf would not become
threatened or endangered again.
On April 1, 2003, we published a final rule revising the listing
status of the gray wolf across most of the conterminous United States
from endangered to threatened (68 FR 15804). On January 31, 2005, and
August 19, 2005, the U.S. District Courts in Oregon and Vermont,
respectively, concluded that the 2003 final rule was ``arbitrary and
capricious'' and violated the ESA (National Wildlife Federation v.
Norton, 1:03-CV-340, D. VT. 2005; Defenders of Wildlife v. Norton, 03-
1348-JO, D. OR 2005). The Courts' rulings invalidated the April 2003
changes to the ESA listing for the gray wolf (National Wildlife
Federation v. Norton; Defenders of Wildlife v. Norton). Therefore, the
USFWS currently considers the classification of the gray wolf in the
Rocky Mountains outside of areas designated as nonessential
experimental populations to have reverted back to the endangered status
that existed prior to the 2003 reclassification.
On October 30, 2001, we received a petition dated October 5, 2001,
from the Friends of the Northern Yellowstone Elk Herd, Inc., (hereafter
referred to as the Friends Petition) that sought removal of the gray
wolf from the designation of endangered under the ESA (Karl Knuchel,
P.C., A Professional Corporation Attorneys at Law in litt. 2001a). On
November 16, 2001, we sent a letter to the attorney representing this
group acknowledging the petition and requested clarification on several
issues (T. J. Miller, USFWS, in litt. 2001). Additional correspondence
in late 2001 provided clarification of their intent that the petition
only apply to the Montana, Wyoming, and Idaho population and that the
petition request full delisting of this population (Knuchel in litt.
2001b). In January 2002, this petition was assigned to Region 6 of the
USFWS for processing (T. J. Miller in litt. 2002). Since 2002, the
USFWS has focused its limited wolf recovery funding and staff resources
toward authoring regulations and reclassification proposals, including
the completion of the 2003 downlisting rule discussed above; assisting
the Department of Justice in litigation; preparation of administrative
records; wolf recovery and management; responding to correspondence and
Freedom of Information Act requests (5 U.S.C. 552, as amended by Pub.
L. 104-231, 110 Stat. 3048); and other administrative and legal
mandates.
On July 19, 2005, we received a petition dated July 13, 2005, from
the
[[Page 61771]]
Office of the Governor, State of Wyoming and the Wyoming Game and Fish
Commission (hereafter referred to as the Wyoming Petition) to revise
the listing status for the gray wolf (Canis lupus) by establishing the
northern Rocky Mountain DPS and to concurrently remove the gray wolf in
the northern Rocky Mountain DPS from the Federal list of threatened and
endangered species (Dave Freudenthal, Office of the Governor, State of
Wyoming, in litt. 2005). On August 17, 2005, we provided a written
response to the petitioner explaining our intention to complete a 90-
day finding on this petition as soon as possible (Ralph Morgenweck,
USFWS , in litt. 2005).
Section 4(b)(3)(A) of the ESA requires that we make a finding on
whether a petition to list, delist, or reclassify a species presents
substantial scientific or commercial information indicating that the
petitioned action may be warranted. ``Substantial information'' is
defined in 50 CFR 424.14(b) as ``that amount of information that would
lead a reasonable person to believe that the measure proposed in the
petition may be warranted.'' Petitioners need not prove that the
petitioned action is warranted to support a ``substantial'' finding;
instead, the key consideration in evaluating a petition for
substantiality involves demonstration of the reliability and adequacy
of the scientific and commercial information supporting the action
advocated by the petition. We do not conduct additional scientific and
commercial research at this point, nor do we subject the petition to
rigorous critical review regarding the delisting factors. If we find
substantial scientific and commercial information exists to support the
petitioned action, we are required to promptly commence a status review
of the species (50 CFR 424.14). To the maximum extent practicable, this
finding is to be made within 90 days of receipt of the petition, and
the finding is to be published promptly in the Federal Register.
Species Information
For detailed information on this species see the April 1, 2003,
``Final rule to reclassify and remove the gray wolf from the list of
endangered and threatened wildlife in portions of the conterminous
United States'' (68 FR 15804). Additional information, including weekly
gray wolf recovery status reports and the Rocky Mountain Wolf Recovery
2005 Annual Report, are available online at https://
westerngraywolf.fws.gov/.
Discussion of Information Presented by the Petitions and Readily
Available in our Files
The Friends Petition identified the organization requesting
delisting, noted that the gray wolf was protected under the ESA, and
requested removal of the species from the protections of the ESA. This
two-page petition noted ``that substantial scientific and commercial
information exists that supports the request,'' but failed to elaborate
on this claim. The Friends Petition did not discuss--(1) whether the
northern Rocky Mountain gray wolf population constitutes a ``listable
entity'' under the ESA (i.e., a species, a subspecies, or a Distinct
Population Segment (61 FR 4722, February 7, 1996)), or (2) any of the
five factors considered in delisting actions outlined in section
4(a)(1) of the ESA. While the Friends Petition provided a collection of
``exhibits'' in support of its request, the petition failed to present
a case for delisting that would lead a reasonable person to believe
that the measure proposed in the petition may be warranted. Therefore,
the remainder of this finding focuses on the assertions of the Wyoming
Petition. Below we respond to each of the major assertions made in the
Wyoming Petition, including the assertions of discreteness and
significance of a potential DPS and the ESA's five listing factors.
Both the Wyoming Petition and our discussion of the information in
our files references scientific information in the April 1, 2003,
``Final rule to reclassify and remove the gray wolf from the list of
endangered and threatened wildlife in portions of the conterminous
United States'' (68 FR 15804). Although this rule was vacated and
enjoined by Oregon and Vermont Federal district courts, the scientific
information discussed below, cited to the April 1, 2003, Federal
Register, was not challenged in those courts. Therefore, we still view
this document as a valid summary of our view of the science and a
reliable summary of the information in our files. This 90-day finding
is not a status assessment and does not constitute a status review
under the ESA.
Distinct Population Segment
Pursuant to the ESA, we shall consider for listing any species,
subspecies, or, for vertebrates, any DPS of these taxa if there is
sufficient information to indicate that such an action may be
warranted. Under our DPS policy, we must consider three factors in a
decision regarding the establishment of a possible DPS, including--(1)
discreteness of the population segment in relation to the remainder of
the taxon (i.e. Canis lupus); (2) the significance of the population
segment to the taxon to which it belongs; and (3) the population
segment's conservation status in relation to the ESA's standards for
listing (i.e., is the population segment, when treated as if it were a
species, endangered or threatened) (61 FR 4722, February 7, 1996). What
follows is not a formal DPS analysis. Instead, our finding considers
whether the petition states a reasonable case that the petitioned
population may be a listable entity.
Discreteness
Under our Policy Regarding the Recognition of Distinct Vertebrate
Population Segments, a population segment of a vertebrate species may
be considered discrete if it satisfies either one of the following
conditions--(1) It is markedly separated from other populations of the
same taxon (i.e., Canis lupus) as a consequence of physical,
physiological, ecological, or behavioral factors (quantitative measures
of genetic or morphological discontinuity may provide evidence of this
separation); and/or (2) It is delimited by international governmental
boundaries within which differences in control of exploitation,
management of habitat, conservation status, or regulatory mechanisms
exist that are significant in light of section 4(a)(1)(D) (``the
inadequacy of existing regulatory mechanisms'') of the ESA (61 FR 4722,
February 7, 1996). Below we discuss three arguments for discreteness
put forward by the Wyoming Petition, including differences in
management among populations in the United States and Canada,
physiological differences among populations, and geographic and
ecological factors separating populations.
Discreteness Information Provided by the Petitions--Management
Differences Among the United States and Canada. The Wyoming Petition
states that the northern Rocky Mountain gray wolf population in the
United States and Canada are discrete from each other based on
differences in exploitation and conservation status. The Wyoming
Petition provides no citations in support of this assertion.
Information in Our Files. This assertion is consistent with the
information in our files and previous USFWS determinations (68 FR
15804, April 1, 2003). On April 1, 2003, we published a Federal
Register notice which stated, ``The Vertebrate Population Policy allows
us to use international borders to delineate the
[[Page 61772]]
boundaries of a DPS even if the current distribution of the species
extends across that border. Therefore, we will continue to use the
United States--Canada border to mark the northern portions of the (DPS)
* * * due to the difference in control of exploitation, conservation
status, and regulatory mechanisms between the two countries. In
general, wolf populations are more numerous and wide-ranging in Canada;
therefore, wolves are not protected by Federal laws in Canada and are
publicly trapped in most Canadian provinces'' (68 FR 15819, April 1,
2003). Wolves in Canada are publicly harvested and subject to very
liberal defense of property take in most provinces (Pletscher et al.
1991; Mech and Boitani 2003; Bangs et al. 2004; Phillips et al. 2005).
Discreteness Information Provided by the Petitions--Physiological
Differences. The Wyoming Petition asserts that the northern Rocky
Mountain population of gray wolves also is markedly separated from
other populations of the same taxon as a consequence of physiological
(e.g., morphological) factors. The Wyoming Petition cites our 2003
Federal Register notice (68 FR 15804, April 1, 2003) and analyzes three
of our sources (Brewster and Fritts 1994; Nowak 1994; Wayne et al.
1994) in support of its statements that the northern United States
Rocky Mountain wolf population is significantly larger than other wolf
populations in the United States.
Information in Our Files. As suggested by the Wyoming Petition,
gray wolves in the northern Rocky Mountains differ physiologically from
other United States wolf populations. The average male wolf in the
northern Rockies weighs approximately 45 kilograms (kg) (100 pounds
(lb)) (68 FR 15804, April 1, 2003). By contrast, the average male wolf
in Wisconsin weighs 35 kg (77 lb) (Wisconsin Department of Natural
Resources 1999; 68 FR 15804, April 1, 2003) and the average historic
weights of wild Mexican wolves ranged from 25 to 49 kg (54 to 99 lb)
(Young and Goldman 1944). According to Gipson et al. (2002), wolves of
the Northern Rocky Mountains are slightly larger and contain greater
numbers of individuals with black pelts than other wolf populations
within the continental United States. Thus, this assertion is
consistent with the information in our files.
Discreteness Information Provided in the Petitions--Physical and
Ecological Factors. The Wyoming Petition asserts that the northern
Rocky Mountain population of gray wolves is markedly separated from
other wolf populations as a consequence of physical (geographic) and
ecological factors. The Wyoming Petition cites to a sizable collection
of literature (68 FR 15804, April 1, 2003; Mech 1989; Mech et al. 1988;
Oakleaf et al. 2003; Thiel 1985; USFWS 1987, 1994; USFWS et al. 2003,
2004, 2005) suggesting that a broad region of unsuitable habitats
surrounding the established northern Rocky Mountain population
constitutes a significant physical separation that effectively isolates
this population from distant, potentially suitable habitats.
Information in Our Files. This assertion is consistent with the
information in our files and previous USFWS determinations (68 FR
15804, April 1, 2003). On April 1, 2003, we published a Federal
Register notice which stated, ``To date, we have no evidence that any
wolves from any of [the United States wolf populations] have dispersed
[into other United States wolf populations], although we expect such
dispersals to occur. The current gray wolf populations * * * are
separated from [other] gray wolf populations * * * by large areas that
are not occupied by breeding populations of resident wild gray wolves.
Although small numbers of dispersing individual gray wolves have been
seen in some of these unoccupied areas, and it is possible that
individual dispersing wolves can completely cross some of these gaps
between occupied areas and may therefore join another wolf population,
we believe that the existing geographic isolation of wolf populations *
* * far exceeds the Vertebrate Population Policy's criterion for
discreteness'' (68 FR 15818, April 1, 2003). Based on suitable habitat
modeling (Oakleaf et al. 2005; Carroll et al. in prep.), genetic
analysis (Forbes and Boyd 1997; Boyd and Pletscher 1999), and known
wolf distribution and movement patterns (Bangs et al. 1996, 1998;
Pletscher et al. 1991, 1998; Phillips et al. 2005; USFWS et al. 1994,
2003, 2004, 2005), wolves in the northern Rocky Mountains appear
discrete from other United States wolf populations.
Significance
If we determine a population segment is discrete, we next consider
available scientific evidence of its significance to the taxon (i.e.,
Canis lupus) to which it belongs. Our DPS policy states that this
consideration may include, but is not limited to, the following--(1)
Persistence of the discrete population segment in an ecological setting
unusual or unique for the taxon; (2) Evidence that loss of the discrete
population segment would result in a significant gap in the range of
the taxon; (3) Evidence that the discrete population segment represents
the only surviving natural occurrence of a taxon that may be more
abundant elsewhere as an introduced population outside its historic
range; and/or (4) Evidence that the discrete population segment differs
markedly from other populations of the species in its genetic
characteristics (61 FR 4722, February 7, 1996). The Wyoming Petition
only presented information suggesting the loss of the northern Rocky
Mountain gray wolf population would represent a significant loss in the
range of the taxon. Below we discuss only this assertion.
Information Provided in the Petitions on Significance. The Wyoming
Petition suggests that the loss of the northern Rocky Mountain wolf
population would create a significant gap in the taxon's range as this
is one of only two self-sustaining, viable populations of gray wolves
in the United States. The Wyoming Petition provides no citations in
support of this assertion.
Information in Our Files. The USFWS concurs with the assertion that
the loss of this population would represent a significant gap in the
range of the taxon. On April 1, 2003, we published a Federal Register
notice which stated that the loss of any of the three wolf populations
in the conterminous States ``would clearly produce huge gaps in current
gray wolf distribution in the 48 States'' (68 FR 15819). Given historic
occupancy of the conterminous States and the portion of the historic
range the conterminous States represent, recovery of wolves in the
lower 48 has long been viewed as important to the taxon (U.S.
Department of the Interior 1974; 39 FR 1171, January 4, 1974; 43 FR
9607, March 9, 1978; Mech and Boitani 2003).
Although this 90-day finding has determined that the petition and
other readily available information in our files present a reasonable
case that the northern Rocky Mountain population of gray wolves may be
both discrete from other wolf populations and significant to the taxon,
this finding expresses no final agency view (1) as to the ultimate
issue of whether this population qualifies as a DPS; nor (2) where to
draw the boundaries of a potential DPS.
Conservation Status
What follows is not a formal status review under the ESA. Our
finding considers only whether the petition and information in our
files presents a reasonable case that the petitioned action may be
warranted. Section 4 of the ESA of 1973 and regulations promulgated to
implement the listing provisions of the ESA (50 CFR Part 424)
[[Page 61773]]
set forth the procedures for listing, reclassifying, and delisting
species under the Federal list of endangered and threatened species. A
species may be delisted, according to 50 CFR 424.11(d), if the best
scientific and commercial data available demonstrates that the species
is no longer endangered or threatened because of--(1) extinction; (2)
recovery; or (3) error in the original data used for classification of
the species. The analysis for a delisting due to recovery must be based
on the five factors outlined in section 4(a)(1) of the ESA, including--
(1) The present or threatened destruction, modification, or curtailment
of its habitat or range; (2) overutilization for commercial,
recreational, scientific, or educational purposes; (3) disease or
predation; (4) the inadequacy of existing regulatory mechanisms; and
(5) other natural or manmade factors affecting its continued existence.
A. The Present or Threatened Destruction, Modification, or Curtailment
of Its Habitat or Range
Information Provided in the Petitions on Factor A. The Wyoming
Petition's discussion of Factor A cites to and quotes from the April 1,
2003 Federal Register notice (68 FR 15804). The Wyoming Petition
suggests that public lands and ungulate prey base remain secure in
suitable habitat. Regarding secure habitat in the northwestern Montana,
Central Idaho, and Greater Yellowstone Area recovery zones, the 2003
Federal Register notice read, ``These areas of potential wolf habitat
are secure and no foreseeable habitat-related threats prevent them from
supporting a wolf population that exceeds recovery levels'' (68 FR
15845, April 1, 2003). Regarding ungulates, the 2003 Federal Register
notice read, ``The States of Montana, Idaho, and Wyoming have managed
resident ungulate populations for decades and maintained them at
densities that would support a recovered wolf population. There is no
foreseeable condition that would cause a decline in ungulate
populations significant enough to affect a recovered wolf population''
(68 FR 15845, April 1, 2003). The Wyoming Petition's discussion of this
issue concludes with the suggestion that the analysis of foreseeable
impacts to habitat done by the USFWS in 2003 remains valid in 2005.
Information in Our Files. Although our 2003 analysis described
threats to habitat and range for a downlisting, a situation where many
of the protections of the ESA would have remained in place, many of the
same principles apply to delisting. According to Oakleaf et al. (2005)
and Carroll et al. (in prep), public lands and ungulate prey base in
northern Rocky Mountain wolf habitat appear largely secure. Thus, the
USFWS finds that the petition's discussion of Factor A presents
substantial scientific and commercial information indicating that
delisting the species may be warranted.
B. Overutilization for Commercial, Recreational, Scientific, or
Educational Purposes
Information Provided in the Petitions on Factor B. The Wyoming
Petition's discussion of Factor B cites to and quotes from the final
wolf downlisting rule (68 FR 15804, April 1, 2003). The Wyoming
Petition suggests that commercial, recreational, scientific, and
educational take of wolves, their pelts, or other parts is believed to
be rare. The Wyoming Petition notes that such utilization will be
controlled by State regulatory mechanisms described in State wolf
management plans for Idaho, Montana, and Wyoming (70 FR 1289, January
6, 2005). The Wyoming Petition goes on to say that in National Parks,
post-delisting removal of wolves for commercial, recreational, and
educational purposes will be prohibited and post-delisting utilization
for scientific purposes will also be extremely rare (U.S.C. 16, Chapter
1, Sub Chapter V, Sect. 26). Finally, the Wyoming Petition notes that
National Park non-lethal utilization of wolves will be limited in order
to minimize impacts to wolves.
Information in Our Files. Although commercial, recreational,
scientific, and educational take has been rare since listing and is
likely to continue to be rare (68 FR 15804, April 1, 2003), adequate
State plans are necessary to regulate this issue post-delisting (Bangs
et al. 1998, 2004, 2005). To date, only the States of Idaho and Montana
have approved management plans for gray wolves (70 FR 1289, January 6,
2005). The USFWS has concerns with portions of Wyoming's State law and
wolf management plan relating to this factor (USFWS Administrative
Record 2004). This issue is discussed further under Factor D.
C. Disease or Predation
Information Provided in the Petitions on Disease. The Wyoming
Petition's discussion of disease cites to and quotes from the final
wolf downlisting rule (68 FR 15804, April 1, 2003). The Wyoming
Petition suggests that although parvovirus, canine distemper, mange,
and brucellosis have all been documented in wolves, none appear to be a
significant factor affecting wolf population dynamics in the northern
Rocky Mountains (USFWS 1994 as in 68 FR 15804, April 1, 2003; Johnson
1992a, 1992b as in 68 FR 15804, April 1, 2003). The Wyoming Petition
notes that disease and parasite occurrence require diligent monitoring
and appropriate follow up for the foreseeable future (Brand et al. 1995
as in 68 FR 15804, April 1, 2003).
Information in Our Files. As of 2003, disease did not appear to be
having significant impacts on wolf population dynamics (68 FR 15804,
April 1, 2003). However, a recent outbreak of mange has caused wolf
mortality and reproductive failure in several packs in the Greater
Yellowstone Area and is under investigation (Jimenez et al. in prep.).
While we view the information presented in the Petition as substantial,
additional evaluation of this issue is necessary.
Information Provided in the Petitions on Natural Predation. The
Wyoming Petition's discussion of predation by other wildlife cites to
and quotes from the final wolf downlisting rule (68 FR 15804, April 1,
2003). The Wyoming Petition suggests that predation by other wildlife
occasionally occurs (Mech and Nelson 1989 as in 68 FR 15804, April 1,
2003), but is not believed to be a significant mortality source (68 FR
15804, April 1, 2003).
Information in Our Files. This assertion is consistent with the
information in our files and previous USFWS determinations (68 FR
15804, April 1, 2003). No wild animals habitually prey on gray wolves.
Wolves are occasionally killed by prey that they are attacking (Mech
and Nelson 1989), but those instances are rare. Wolf conflicts with
mountain lions, grizzly bears, and black bears rarely result in the
death of either species. Predation by other wildlife does not appear to
have significant impacts on wolf population dynamics (Bangs et al.
1998; Smith et al. in prep.; USFWS et al. 2005).
Information Provided in the Petitions on Human Predation. The
Wyoming Petition's discussion of human predation cites to and quotes
from the final wolf downlisting rule for a discussion of this issue up
to 2003 (68 FR 15804, April 1, 2003). The Wyoming Petition notes that
since the 2003 analysis, 27 wolves were killed in 2003 throughout the
northern Rocky Mountain region from human causes other than control
actions (USFWS et al. 2004) and that, in 2004, 54 wolves were killed
from human causes other than control actions (USFWS et al. 2005).
However, the Wyoming Petition suggests the total number of wolves
killed are not preventing the population
[[Page 61774]]
from increasing; in fact, wolf populations have increased from 663
individuals in 2002, to 761 in 2003, to 835 in 2004 (USFWS et al. 2003,
2004, 2005). Finally, the Wyoming Petition notes that legal harvest by
hunters will be regulated under State laws, as described in the State
management plans for gray wolves.
Information in Our Files. Adequate State management is necessary to
regulate this issue post-delisting (Bangs et al. 2004, 2005). To date,
only the States of Idaho and Montana have approved management plans for
gray wolves (70 FR 1289, January 6, 2005). The USFWS has concerns with
portions of Wyoming's State law and wolf management plan relating to
this factor (USFWS Administrative Record 2004). This issue is discussed
further under Factor D.
D. The Inadequacy of Existing Regulatory Mechanisms
Information Provided in the Petitions on Factor D. The Wyoming
Petition asserts that the regulatory mechanisms currently provided in
Wyoming Statute 23-1-304 and the Wyoming Gray Wolf Management Plan
(2003) are sufficient to reasonably assure Wyoming's share of the
population will remain recovered into the foreseeable future. The
Wyoming Petition suggests that--(1) the Wyoming management plan can be
implemented within existing authorities (State Attorney General in
litt. 2003); (2) the USFWS has overstated risks associated with the
initial classification of gray wolves as a ``predatory animal''; and
(3) the Commission will reclassify wolves as ``trophy game'' if
necessary.
Information in Our Files. Based on our review of the State
management plans, peer review comments, and the State's responses to
those comments, USFWS has determined that both the Montana and Idaho
wolf management plans are adequate to maintain their share and
distribution of the tri-State wolf population above recovery levels (70
FR 1289, January 6, 2005). However, we have concerns with portions of
Wyoming's State law and wolf management plan (USFWS Administrative
Record 2004). The USFWS has determined that, for the Wyoming statute
and its State plan to constitute an adequate regulatory mechanism, in
lieu of listing under the ESA, they must satisfy three conditions.
First, Wyoming's predatory animal status for wolves must be changed
(Steve Williams, USFWS, in litt. 2004). Second, to constitute an
adequate regulatory mechanism, Wyoming State law and plan must clearly
commit to managing for at least 15 wolf packs in the State (Williams,
USFWS, in litt. 2004). Finally, the Wyoming definition of a ``pack''
should be consistent among the three States and be biologically based
(Williams, USFWS, in litt. 2004).
E. Other Natural or Manmade Factors Affecting Its Continued Existence
Information Provided in the Petitions on Factor E. The Wyoming
Petition's discussion of Factor E cites to and quotes from the final
wolf downlisting rule (68 FR 15804, April 1, 2003), noting that ``the
primary determinant of the long-term status of gray wolf populations in
the United States will be human attitudes toward this large predator.
These attitudes are based on the conflicts between human activities and
wolves, concern with the perceived danger the species may pose to
humans, its symbolic representation of wilderness, the economic effect
of livestock losses, the emotions regarding threats to pets, the
conviction that the species should never be a target of sport hunting
or trapping, and wolf traditions of Native American tribes.''
Information in Our Files. This assertion is consistent with the
information in our files and previous USFWS determinations. Public
support for wolf recovery will be the primary determinant of the long-
term status of gray wolf populations in the United States (68 FR 15804,
April 1, 2003). As noted in the 2003 Federal Register notice,
``national support is evident for wolf recovery in the northern U.S.
Rocky Mountains. With the continued help of private conservation
organizations, States, and tribes, we can continue to foster public
support to maintain viable populations in * * * the West'' (68 FR
15804, April 1, 2003; Bangs et al. 2004).
Finding
Based on the information presented in the petitions and information
in our files, it is reasonable to infer that the gray wolf population
in the northern Rocky Mountains appears to have experienced a
significant recovery in terms of current population numbers and
distribution. At the end of 2004, 835 wolves existed in 110 packs in
the northern Rocky Mountains (68 FR 15804, April 1, 2003; USFWS et al.
2005). Sixty-six of these packs met our definition of a breeding pair.
USFWS determined that a minimum of 30 or more breeding pairs of wolves,
comprising 300 or more individuals in a metapopulation with some
genetic exchange between subpopulations, with an equitable distribution
among the 3 States for at least 3 successive years, constitutes a
viable and recovered wolf population (USFWS et al. 1994; 68 FR 15804,
April 1, 2003). This criterion was met at the end of 2002 and has been
surpassed every year since (68 FR 15804, April 1, 2003; USFWS et al.
2003, 2004, 2005).
On the whole, we find that the Wyoming petition presents
substantial scientific and commercial information indicating that the
northern Rocky Mountain gray wolf population may qualify as a DPS and
that this potential DPS may warrant delisting. Beyond substantial
population and distributional information indicating the northern Rocky
Mountain gray wolf population has met its biological recovery goals,
the Wyoming petition presented substantial information regarding
several of the five factors outlined in section 4(a)(1) of the ESA. The
Friends petition failed to present a case for delisting that would lead
a reasonable person to believe that the measure proposed in the
petition may be warranted. Although only one of these petitions
presented substantial information, we have considered the collective
weight of evidence and are initiating a 12-month status review.
Although our January 2003 determination that Wyoming's regulatory
mechanisms are inadequate is still valid, we will fully evaluate this
issue in the status review and welcome improvements to Wyoming's
Statutes and the Wyoming Gray Wolf Management Plan made within the 12-
month status review time period.
Information Solicited
When we make a finding that substantial scientific and commercial
information is presented to indicate that delisting a species may be
warranted, we are required to promptly commence a review of the status
of the species. To ensure that the status review is complete and based
on the best available scientific and commercial data, we are soliciting
information on the northern Rocky Mountain population of gray wolves.
We request any additional data, comments, and suggestions from the
public, other concerned governmental agencies, Native American Tribes,
the scientific community, industry, or any other interested parties
concerning the status of the northern Rocky Mountain population of gray
wolves. We are seeking information regarding the species' historical
and current status and distribution, its biology and ecology, ongoing
conservation measures for the species and its habitat, and threats to
the species and its habitat including the adequacy of regulatory
mechanisms. If you wish to comment or
[[Page 61775]]
provide information, you may submit your comments and materials
concerning this finding to the Western Gray Wolf Recovery Coordinator,
U.S. Fish and Wildlife Service (see ADDRESSES).
Our practice is to make comments and materials provided, including
names and home addresses of respondents, available for public review
during regular business hours. Respondents may request that we withhold
a respondent's identity, to the extent allowable by law. If you wish us
to withhold your name or address, you must state this request
prominently at the beginning of your submission. However, we will not
consider anonymous comments. To the extent consistent with applicable
law, we will make all submissions from organizations or businesses, and
from individuals identifying themselves as representatives or officials
of organizations or businesses, available for public inspection in
their entirety. Comments and materials received will be available for
public inspection, by appointment, during normal business hours at the
address listed above under ADDRESSES.
References Cited
A complete list of all references cited herein is available upon
request from the Western Gray Wolf Recovery Coordinator, U.S. Fish and
Wildlife Service (see ADDRESSES).
Authority
The authority for this action is the Endangered Species Act of 1973
as amended (16 U.S.C. 1531 et seq.).
Dated: October 17, 2005.
Matt Hogan,
Acting Director, Fish and Wildlife Service.
[FR Doc. 05-21344 Filed 10-25-05; 8:45 am]
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