Endangered and Threatened Wildlife and Plants; 90-Day Finding on a Petition To List the Andrews' Dune Scarab Beetle as Threatened or Endangered, 26444-26448 [E6-6791]
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Federal Register / Vol. 71, No. 87 / Friday, May 5, 2006 / Proposed Rules
D. Add a new paragraph (d) to read
as set forth below.
The revisions read as follows:
§ 204.5 Certificated and commuter air
carriers undergoing or proposing to
undergo a substantial change in operations,
ownership, or management.
(a) * * *
(2) The change substantially alters the
factors upon which its latest fitness
finding is based, even if no new
authority is required.
*
*
*
*
*
(c) Information filings pursuant to this
section made to support an application
for new or amended certificate authority
shall be filed with the application and
addressed to Docket Operations, M–30,
U.S. Department of Transportation, 400
Seventh Street, SW., PL–401,
Washington, DC 20590, or by electronic
submission at [https://dms.dot.gov].
(d) Information filed in support of a
certificated or commuter air carrier’s
continuing fitness to operate under its
existing authority in light of substantial
changes in its operations, management,
or ownership, including changes that
may affect the air carrier’s citizenship,
shall be addressed to the Chief, Air
Carrier Fitness Division, Office of the
Secretary, U.S. Department of
Transportation, 400 Seventh Street,
SW., Washington, DC 20590.
*
*
*
*
*
PART 399—STATEMENTS OF
GENERAL POLICY
5. The authority citation for part 399
continues to read as follows:
Authority: 49 U.S.C. 40101 et seq.
6. Add a new § 399.88 to read as set
forth below:
services market, as evidenced by an
open-skies agreement, or where it is
otherwise appropriate to ensure
consistency with U.S. international legal
obligations, the Department will
consider the following when
determining whether U.S. citizens are in
‘‘actual control’’ of the air carrier:
(1) All organizational documentation,
including such documents as charter of
incorporation, certificate of
incorporation, by-laws, membership
agreements, stockholder agreements,
and other documents of similar nature.
The documents will be reviewed to
determine whether U.S. citizens have
and will in fact retain actual control of
the air carrier through such documents.
(2) The air carrier’s operational plans
or actual operations to determine
whether U.S. citizens have actual
control with respect to:
(i) Decisions whether to make and/or
continue Civil Reserve Air Fleet (CRAF)
or other national defense airlift
commitments, and, once made, the
implementation of such commitments
with the Department of Defense;
(ii) Air carrier policies and
implementation with respect to aviation
security, including the transportation
security requirements specified by the
Transportation Security Administration;
and
(iii) Air carrier policies and
implementation with respect to aviation
safety, including the requirements
specified by the Federal Aviation
Administration.
Issued in Washington, DC, on May 1, 2006.
Michael W. Reynolds,
Acting Assistant Secretary for Aviation and
International Affairs.
[FR Doc. 06–4227 Filed 5–3–06; 1 pm]
BILLING CODE 4910–62–P
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§ 399.88
Actual control of U.S. air carriers.
(a) Applicability. This policy shall
apply to each direct air carrier
submitting information to the Air
Carrier Fitness Division under part 204
of this title, with respect to its status as
a ‘‘Citizen of the United States’’ as
defined in 49 U.S.C. 40102(a)(15), of the
Act. This policy shall only apply to the
interpretation of ‘‘actual control’’
contained in 49 U.S.C. 40102(a)(15)(C)
in determining air carrier fitness/
citizenship to receive or retain a
certificate of public convenience and
necessity.
(b) Policy. In cases where there is
significant involvement in investment
by non-U.S. citizens and either where
their home country does not deny
citizens of the United States reciprocal
access to investment in that country’s
carriers and does not deny U.S. air
carriers full and fair access to its air
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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 a
Petition To List the Andrews’ Dune
Scarab Beetle as Threatened or
Endangered
Fish and Wildlife Service,
Interior.
ACTION: Notice of 90-day petition
finding.
AGENCY:
SUMMARY: We, the U.S. Fish and
Wildlife Service (Service), announce a
90-day finding on a petition to list the
Andrews’ dune scarab beetle
(Pseudocotalpa andrewsi) as threatened
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or endangered under the Endangered
Species Act of 1973, as amended. We
find the petition does not provide
substantial information indicating that
listing the Andrews’ dune scarab beetle
may be warranted. Therefore, we will
not be initiating a status review in
response to this petition. We ask the
public to submit to us any new
information that becomes available
concerning the status of the species or
threats to it or its habitat at any time.
DATES: The finding announced in this
document was made on May 5, 2006.
ADDRESSES: The complete file for this
finding is available for public
inspection, by appointment, during
normal business hours at the Carlsbad
Fish and Wildlife Office, U.S. Fish and
Wildlife Service, 6010 Hidden Valley
Road, Carlsbad, CA 92011. New
information, materials, comments, or
questions concerning this species may
be submitted to us at any time at the
above address.
FOR FURTHER INFORMATION CONTACT: Jim
Bartel, Field Supervisor, Carlsbad Fish
and Wildlife Office (see ADDRESSES
section above), by telephone at 760–
431–9440, or by facsimile to 760–431–
9624.
SUPPLEMENTARY INFORMATION:
Background
Section 4(b)(3)(A) of the Endangered
Species Act of 1973, as amended (Act)
(16 U.S.C. 1531 et seq.), requires that we
make a finding on whether a petition to
list, delist, or reclassify a species
presents substantial scientific or
commercial information to indicate that
the petitioned action may be warranted.
We are to base this finding on
information provided in the petition,
supporting information submitted with
the petition, and information otherwise
available in our files at the time we
make the determination. To the
maximum extent practicable, we are to
make this finding within 90 days of our
receipt of the petition and publish a
notice of this finding promptly in the
Federal Register.
Our standard for substantial
information within the Code of Federal
Regulations (CFR) with regard to a 90day petition finding is ‘‘that amount of
information that would lead a
reasonable person to believe that the
measure proposed in the petition may
be warranted’’ (50 CFR 424.14(b)). If we
find that substantial information was
presented, we are required to promptly
commence a review of the status of the
species.
In making this finding, we relied on
information provided by the petitioners
and information otherwise available in
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our files at the time of petition review
and evaluated that information in
accordance with 50 CFR 424.14(b). Our
process of coming to a 90-day finding
under section 4(b)(3)(A) of the Act and
section 424.14(b) of our regulations is
limited to a determination of whether
the information in the petition meets the
‘‘substantial information’’ threshold.
On December 13, 2002, we received a
formal petition dated December 12,
2002, from the Center for Biological
Diversity requesting the Andrews’ dune
scarab beetle (Pseudocotalpa andrewsi)
be listed as threatened or endangered in
accordance with section 4 of the Act.
Action on this petition was precluded
by court orders and settlement
agreements for other listing actions that
required nearly all of our listing funds
for fiscal year 2003. On December 9,
2004, we received a 60-day notice of
intent to sue, and on December 1, 2005,
we received a complaint regarding our
failure to make the 90-day and 12month findings on the status of the
Andrews’ dune scarab beetle. On
January 12, 2006, we reached an
agreement with the plaintiffs to submit
to the Federal Register a completed 90day finding by April 28, 2006, and to
complete, if applicable, a 12-month
finding by January 26, 2007 (Case No. 05
CV 1988 BEN (BLM) S.D.CAL). This
notice constitutes the 90-day finding for
the December 12, 2002, petition.
Previous Federal Actions
In a proposed rule that included 10
North American beetles, the Service
proposed to list as threatened and
designate critical habitat for the
Andrews’ dune scarab beetle on August
10, 1978 (43 FR 35636). Without citing
any literature, species experts, or other
scientific authority to support the
various claims in the proposal, we
indicated that the action was being
taken for the 10 beetles because of
‘‘decreased population levels and
anticipated adverse modification of
* * * habitat.’’ Specifically regarding
the Andrews’ dune scarab beetle, the
Service stated that the ‘‘continued
disruption of dune troughs by off-road
vehicles [ORVs] prevents the
accumulation of dead organic matter
upon which the immature stages of this
beetle feed.’’ On October 1, 1980 (45 FR
65137), we published a notice of
withdrawal for the proposed rule to list
the Andrews’ dune scarab beetle and
seven other beetles because the 1978
amendments to the Act mandated
withdrawals for all proposals not
finalized within two years. As a result,
the Andrews’ dune scarab beetle
currently has no Federal regulatory
status.
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Species Information
Within the subtribe Areodina of North
American scarab beetles (family
Scarabaeidae), Hardy described the
Andrews’ dune scarab beetle
(Pseudocotalpa andrewsi) as a
monotypic species within a new genus
in 1971. Subsequently, Hardy (1974)
described two additional species of
Pseudocotalpa (P. guilianii and
sonorica), along with the note that an
additional 82 specimens of P. andrewsi
had been collected from the type
locality near Glamis in Imperial County,
California. Andrews’ dune scarab
beetles are golden-brown and covered
with long, pale, fine hairs, and range in
length from 0.51 to 0.71 inches (in) (13
to 18 millimeters (mm)) (Hardy 1971).
The Andrews’ dune scarab beetle can be
differentiated from other closely related
scarab beetles by its smaller size, the
deep concave shape of the clypeus, and
the poorly developed prothoracic postcoxal spine or knob (Hardy 1971, Hardy
1974).
The Service described the ‘‘specific
habitat of the beetles [as] troughs of
loose drifting sand between dunes’’ in
the 1978 proposed rule (43 FR 35636).
Habitat vegetation type was described as
creosote bush scrub by Hardy and
Andrews (1980), but many collections
occurred in areas described as
psammophytic (‘‘sand loving’’) scrub
(Hardy and Andrews 1980; BLM 2002).
Psammophytic scrub vegetation occurs
in the interior portions of sand dunes,
most frequently between active dunes in
areas that form depressions (BLM 2003).
The Andrews’ dune scarab beetle
appears to prefer low dunes on the
margin of thickets (dense patches of
scrub vegetation) that form finger-like
extensions into the dunes (Scarabaeus
Associates 1991). Andrews reported that
all of the Andrews’ dune scarab beetle
burrowing mounds that he identified
were in bare ground near thickets and,
therefore, density appeared to be
positively correlated with thicket
density (Scarabaeus Associates 1991).
Thickets are typically dominated by
large creosote (Larrea tridentata); palo
verde (Cercidium floridum); ironwood
(Olneya tesota) (Scarabaeus Associates
1991); and other associated plants
include desert buckwheat (Eriogonum
deserticola) and desert needle
(Palafoxia arida) (Hardy and Andrews
1980). Bureau of Land Management
(BLM 2002) noted that the ‘‘Andrews’
dune scarab beetle is found primarily
along the eastern edge of the dunes in
the transitional zone between creosote
bush scrub, psammophytic scrub, and
microphyll woodland habitats.’’
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During periods of inactivity,
Andrews’ dune scarab beetles remain
buried at the interface of the wet and
dry sand, at depths of 2 to 11.8 in (5 to
30 centimeters (cm)) (Hardy and
Andrews 1980; Scarabaeus Associates
1991). Adults have been collected from
mid-April through the first week of May
(Hardy and Andrews 1980). The adult
flight season runs from late March to
early May (Scarabaeus Associates 1991).
Adults emerge in ‘‘large’’ numbers at
dusk (Hardy 1971) and fly for 10 to 30
minutes, while congregating in groups
of 3 to 20 individuals around nearby
bushes, then move away in pairs to
copulate (Hardy and Andrews 1980;
Scarabaeus Associates 1991). After
copulation, adults rapidly bury
themselves in the sand (Hardy and
Andrews 1980). We do not have
information on the life span of this
species.
Hardy and Andrews (1980) reported
that the Andrews’ dune scarab beetle ‘‘is
a species that is (as far as can be
determined) endemic to the Algodones
Dunes in Imperial County, California,
and probably the portion of the same
dune system that occurs in Baja
California Norte, Mexico.’’ However in
Hardy’s (1971) article describing the
new species and its habitat, the author
included a male specimen collected
from the ‘‘Yuma Dunes’’ in 1960 as
referable to the species. Hardy and
Andrews (1980) noted this same
collection in their article as well. The
Yuma Dunes occur approximately 15
miles (mi)(28 kilometers) southeast of
the Algodones Dunes, across the
Colorado River, in extreme
southwestern Arizona. Moreover, given
that such plants as the Peirson’s milkvetch (Astragalus magdalenae var.
peirsonii) are known from the
Algodones Dunes, Yuma Dunes, and
Gran Desierto de Altar (Felger 2000),
and the dune sunflower (Helianthus
niveus ssp. tephrodes) is known from
the Algodones Dunes and Gran Desierto
de Altar (Seiler et al. 2006), it is possible
that the Andrews’ dune scarab beetle
occurs farther south as well in the large
dune systems of the Gran Desierto de
Altar in northwestern Sonora, Mexico.
The Algodones Dunes, Yuma Dunes,
and Gran Desierto are geologically part
of the same active dune system (Rinker
et al. 1991). As a result, the Andrews’
dune scarab beetle does not appear to be
restricted to the Algodones Dunes of
southeastern California or northeastern
Baja California Norte, but rather occurs
at least within the Yuma Dunes of
Arizona and potentially within the Gran
Desierto de Altar in northwestern
Sonora, Mexico.
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No population estimates are available
for this species.
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Threats Analysis
Section 4 of the Act and its
implementing regulations (50 CFR part
424) set forth the procedures for adding
species to the Federal list of endangered
and threatened species. A species may
be determined to be an endangered or
threatened species due to one or more
of the five factors described in section
4(a)(1) of the Act: (A) Present or
threatened destruction, modification, or
curtailment of habitat or range; (B)
overutilization for commercial,
recreational, scientific, or educational
purposes; (C) disease or predation; (D)
inadequacy of existing regulatory
mechanisms; or (E) other natural or
manmade factors affecting its continued
existence. In making this finding, we
evaluated whether threats to the
Andrews’ dune scarab beetle presented
in the petition and other information
available in our files at the time of the
petition review may pose a concern
with respect to its survival. Our
evaluation of these threats is presented
below.
A. Present or Threatened Destruction,
Modification, or Curtailment of the
Species’ Habitat or Range
The petitioners state that ORV activity
destroys and modifies Andrews’ dune
scarab beetle habitat and curtails its
range (range estimate based on Andrews
et al. 1979; Hardy and Andrews 1980).
The petitioners state that the
congregating behavior of adult Andrews’
dune scarab beetles during the active
season (generally February through
May) renders colonies vulnerable to
direct mortality by ORV activity. The
petition uses the arthropod observations
of Luckenbach and Bury (1983) as
substantiation.
The petitioners assert that ORVs can
also ‘‘adversely modify dune habitat.’’
According to the petition,
accumulations of vegetable matter
collected in wind-made troughs may
serve as nurseries for Andrews’ dune
scarab beetle larval stages, and creosote
bushes may be host plants for the
species. The petitioners maintain that
because Andrews’ dune scarab beetle
reproduction occurs once a year from
mid-April through early May, ORV
destruction of accumulated vegetable
matter in which larvae may be
developing could eliminate an entire
generation. Citing Carpelan (1995), the
petitioners claim that dune buggies
adversely modify Andrews’ dune scarab
beetle habitat, while they note ‘‘Hardy
and Andrews (1976) concluded that
ORVs destroy plant growth within and
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near the Algodones Dunes, scatter or
crush accumulations of organic matter
likely used by P. andrewsi larvae for
nurseries, disrupt layers of crust which
stabilize the dunes, and may upset
beetle reproduction.’’
The petitioners also claim that if
protected areas of the Algodones Dunes
are reopened to ORVs, as described in
the draft environmental impact
statement (DEIS) for the Proposed
Recreation Area Management Plan and
Amendment to the California Desert
Conservation Area Plan (BLM 2002),
habitat for the Andrews’ dune scarab
beetle will be modified or destroyed and
its range within the dune system will
likely be curtailed. The petitioners
contend that not only is the Andrews’
dune scarab beetle endemic to the
Algodones Dunes, but no recolonization
source exists in the event of population
extirpation.
The petition does not discuss or
provide specific scientific or
commercial information on distribution
and population status of the Andrews’
dune scarab beetle in Mexico or outside
of the Algodones Dunes system.
Evaluation of Information in the
Petition and Our Files
The petition and our files contain
little information regarding the threat of
ORV use to the Andrews’ dune scarab
beetle. Luckenbach and Bury (1983)
reported that ‘‘arthropod (mostly beetle)
tracks were twenty-four times more
abundant in control plots than in ORVimpacted plots.’’ However, this work
was not species-specific (observed
tracks may not be the Andrews’ dune
scarab beetle or reflect the abundance of
the species), and the sampled plots were
placed in areas where no Andrews’
dune scarab beetles have been collected,
therefore it is not clear from these
results that Andrews’ dune scarab beetle
is adversely impacted by ORV use, or
that ORV use constitutes a significant
threat to the beetle. Despite the claim in
the petition that Hardy and Andrews
(1976) concluded that ORVs destroy
plants within and near the Algodones
Dunes and impact larval nurseries of
Andrews’ dune scarab beetle, Hardy and
Andrews (1976) did not survey the
Algodones Dunes in their insect surveys
in six California and Nevada dune
systems and the authors provided only
generalized data of potential adverse
effects of off-highway vehicles (OHVs,
also known as ORVs) to ‘‘dune restricted
or adapted insects.’’ Carpelan (1995)
focused his book chapter on dune
stabilization and the adaptation and
speciation of dune insects. Carpelan’s
work was largely derived from Hardy
and Andrews (1976) and he gave
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Andrews’ dune scarab beetle as an
example of a dune endemic. While
Hardy and Andrews (1976) and
Carpelan (1995) expressed concern
regarding the general effects of OHVs to
dunes (especially stabilized dunes),
neither paper supported any assertion of
OHVs ‘‘adversely modify dune habitat’’
of the Andrews’’ dune scarab beetle.
Similarly, the statements in the 1978
proposal to list the Andrews’ dune
scarab beetle regarding the decreased
population levels and OHV impacts
were not supported by the available
scientific information.
An additional report by Andrews
(Scarabaeus Associates 1991) provides
little additional insight into the
potential impact ORV use may have on
Andrews’ dune scarab beetles or their
habitat. Although his study was
intended to investigate the potential
impacts of ORV use on the Andrews’
dune scarab beetle, conclusions
regarding the impact of ORV use on
Andrews’ dune scarab beetle could not
be derived from the study as designed.
Plots were placed based on collection
records and expert opinion of habitat
suitability, not randomized within use
designation areas or a larger reasonable
subset of dune habitat, such as the
central upland-lowland dune transition
areas where most beetles have been
collected. The only measure of ORV
activity was BLM use classification
(Intensive, Moderate, Limited, and
Controlled (no access)). Andrews
(Scarabaeus Associates 1991) did not
detect any individuals in ORV Intensive
use classification plots where most early
collections of Andrews’ dune scarab
beetle were made. However, no
individuals were detected in Controlled
use (closed to ORV use) classification
plots either, where habitat appeared
‘‘excellent,’’ and ‘‘significant’’
populations had been detected in
previous years. Most beetle detections
were made in plots located within the
two intermediate ORV use classification
areas (Moderate and Limited). An
‘‘extensive’’ search of a greater area
classified as Controlled resulted in
detection of only two individuals.
Andrews’ study (Scarabaeus Associates
1991) indicates that occupancy of
habitat patches may shift regardless of
habitat suitability or ORV impacts but
did not demonstrate impacts of ORV use
on Andrews’ dune scarab beetle
abundance.
The petitioners assert that only one
population of the Andrews’ dune scarab
beetle, a species endemic to the
Algodones Dunes, exists. As discussed
above, however, the species has been
collected from the Yuma Dunes in
Arizona. Moreover, given that the
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federally threatened Peirson’s milkvetch (Astragalus magdalenae var.
peirsonii) is known from the Algodones
Dunes, Yuma Dunes, and Gran Desierto
de Altar (Felger 2000), and the dune
sunflower (Helianthus niveus ssp.
tephrodes) is known from the
Algodones Dunes and Gran Desierto de
Altar (Seiler et al. 2006), it is possible
that this dune species occurs farther
south as well in the large dune systems
of the Gran Desierto de Altar in
northwestern Sonora, Mexico.
Information provided with the petition
and in our files does not indicate that
the Yuma Dunes or the sand dune
systems within the 5,000 square mi (1.3
million ha) of the Gran Desierto de Altar
have been surveyed for the Andrews’
dune scarab beetle.
We find that, due to weak,
incomplete, or nonexistent information
regarding impacts to the Andrews’ dune
scarab beetle from ORV use, the petition
and our files do not present substantial
information that the petitioned action
may be warranted. No other information
regarding Factor A was contained in the
petition or our files. Because the known
populations in the United States exist
on lands owned and managed by BLM,
it is unlikely to be subject to other forms
of habitat modification under Factor A,
such as loss of habitat due to
development.
B. Overutilization for Commercial,
Recreational, Scientific, or Educational
Purposes
The petition states no data are
available. We have no scientific or
commercial information in our files
indicating that overutilization of the
beetle exists for commercial,
recreational, scientific, or educational
purposes, and the petition did not
provide any such information.
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C. Disease or Predation
The petition states that natural
predation affects the population but
does not describe any effects. The
petition states that effects of disease on
the Andrews’ dune scarab beetle are
unknown, and we have no information
in our files to indicate that either
disease or predation threatens the
beetle.
Evaluation of Information in the
Petition and Our Files
Some information available in our
files provided specific observations of
predation. Hardy and Andrews (1980)
stated that ‘‘[d]uring evening flights,
night hawks were observed to be
important predators of Pseudocotalpa.’’
Andrews (Scarabaeus Associates 1991)
observed nighthawk and scorpion
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predation, noting that nighthawks
appeared to actively search occupied
sites for Andrews’ dune scarab beetles.
However, review of the petition and
information in our files did not provide
substantial scientific or commercial
information that mortality by predation
or disease may threaten survival of the
species across its range.
D. Inadequacy of Existing Regulatory
Mechanisms
The petitioners assert that existing
regulatory mechanisms are inadequate
to protect this Algodones Dunes species
from extinction. The petition states that
past administrative plans and legal
requirements to monitor and conserve
the Andrews’ dune scarab beetle have
not been implemented by BLM. Current
management plans allow ORV activity
in the majority of the known range of
the Andrews’ dune scarab beetle on
BLM lands in the Algodones Dunes (94
percent of all creosote scrub and 84
percent of all psammophytic scrub).
All known Andrews’ dune scarab
beetle habitat in the United States is on
land managed by the BLM (Andrews et
al. 1979; Hardy and Andrews 1980;
BLM and CDFG 1987). The petitioners
state that, although the sensitive,
potentially endangered status of the
Andrews’ dune scarab beetle and
adverse impacts of ORVs on the species
have been made known to BLM (Hardy
and Andrews 1976), the use of ORVs
continues to be permitted in sensitive
beetle habitat. According to the petition,
the preferred alternative management
plan in the DEIS (BLM 2002) would
result in relaxed conservation measures
for the species, including reopening
thousands of acres of protected habitat
to ORV use (see Factor A discussion
above).
The petition notes that three planning
documents for the Algodones Dunes
Wildlife Habitat Area have addressed
management of ORV use and the
Andrews’ dune scarab beetle: the 1972
Recreation Management Plan, the 1980
California Desert Conservation Area
Plan, and the 1987 Recreation Area
Management Plan for the Imperial Sand
Dunes (RAMP) (BLM and CDFG 1987).
The previously implemented RAMP
called for a reduction in the proposed
level of recreation development and
dispersal of intensive recreational use
within Class I areas. The RAMP
included the Algodones Dunes Wildlife
Habitat Management Plan (HMP),
implemented under the authority of the
Sikes Act (16 U.S.C. 670a–670o). The
HMP recommended biennial surveys for
the Andrews’ dune scarab beetle (p. 22):
‘‘Permanent plots will be evaluated
biennially, and results will be compared
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26447
to existing information to determine
trend, until a satisfactory amount of data
are gathered. Supplementary and
monitoring studies will be through
contract * * *.’’
The petition reports that only one set
of surveys was ever conducted
(Scarabaeus Associates 1991), and
although the report could not be located
by the petitioners, it is in our files. The
petition notes that permanent
monitoring of the Andrews’ dune scarab
beetle was recommended in the HMP,
but surveys have not been conducted for
the past decade. The petition notes that
the RAMP also stipulated that localized
surveys be conducted for the Andrews’
dune scarab beetle prior to approval of
particular development projects. The
petition concludes that no available
documents indicate that the stipulated
surveys were conducted, although a
number of the named development
projects were approved and completed.
The petition quotes a recent DEIS
(BLM 2002) that ‘‘little is known about
the biology of this beetle, [and] current
information about the distribution and
preferred habitat at the Plan Area is not
available * * *. No information about
threats to this species is available.’’ The
petition claims this assessment of the
species is inaccurate given information
presented in the petition. The petition
notes that the HMP mandated collection
of demographic and distributional
information would have provided
relevant additional information
regarding the species. Additionally, no
data were presented in the DEIS
regarding the distribution of the
Andrews’ dune scarab beetle, although
such data are required before land-use
decisions are made to ensure the species
is not jeopardized. The petitioners also
note that the DEIS recognizes ‘‘OHV
activity tends to be concentrated within
the psammophytic scrub. As a
consequence, some special-status
wildlife species such as * * * endemic
dune beetles occurring in these dunes
would be killed or injured by OHV
activity.’’ The preferred alternative in
the DEIS (Alternative 2) would allow
198,220 ac (80,217 ha) of the Algodones
Dunes to be open to ORV use, and only
the relatively small 27,695-ac (11,208ha) portion of the Algodones Dunes
would remain as off-limits to ORVs.
Evaluation of Information in the
Petition and Our Files
Focusing on the concerns expressed
by the petitioners, the final and
currently implemented RAMP (BLM
2003) does not address specific
conservation, research, or monitoring of
the Andrews’ dune scarab beetle. The
only mention of Andrews’ dune scarab
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beetle is a note on page 32, recognizing
that the beetle is a ‘‘poorly known’’ BLM
sensitive species (Issues, Concerns, and
Opportunities section). The final RAMP
utilizes the preferred alternative in the
DEIS (Alternative 2) discussed in the
petition. Under the final RAMP, allterrain vehicle, motorcycle, truck, and
dune buggy ORV use will be prohibited
in the 26,202 ac (10,601 ha) North
Algodones Dunes Wilderness Recreation
Management Area. The wilderness area
closed to ORV use under the final
RAMP is 18 percent of the BLMmanaged Imperial Sand Dunes
Recreation Area known to contain
Andrews’ dune scarab beetle habitat
(not including the Dune Buggy Flats
Recreation Management Area uplands
where studies have not detected
Andrews’ dune scarab beetle) (Hardy
and Andrews 1980; BLM 2002).
Historically, most Andrews’ dune scarab
beetle observations were concentrated
in the Glamis Recreation Management
Area (Hardy and Andrews 1980), which
has the highest allowable recreation
impacts under the final RAMP. As
stated above, interim vehicle use closure
areas designated for the threatened
Peirson’s milk-vetch plant (Astragalus
magdalenae var. peirsonii) and desert
tortoise (Gopherus agassizii) through
legal stipulation (BLM 2002), including
approximately 49,000 ac (19,829.6 ha) of
the Andrews’ dune scarab beetle range,
were not maintained (they were opened
to ORV use) under the final RAMP
(BLM 2003).
Regardless of whether the petition or
the above description accurately details
the historic, existing, and proposed
management and monitoring of the
Algodones Dunes by the BLM, the
central issue is whether such
management is inadequate because the
associated ORV activity has adversely
affected or will adversely affect the
Andrews’ dune scarab beetle such that
listing may be warranted. Though the
petitioners claim they ‘‘were unable to
find a single study documenting
positive or even neutral effects of
ORVs’’ after completing a
comprehensive review of scientific
literature regarding ORV impacts on
desert flora and fauna, the petition and
our files do not contain any direct or
substantial evidence that ORV activity is
adversely affecting the Andrews’ dune
scarab beetle. Despite the assertion from
the petitioners that ‘‘a sufficient body of
information on negative effects of ORVs
on arthropods in the Algodones Dunes
exists to indicate the species is
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imperiled,’’ the often cited study by
Hardy and Andrews (1976) did not
address the Algodones Dunes or the
Andrews’ dune scarab beetle, while the
counting of arthropod tracks in the
Luckenbach and Bury study (1983), also
cited many times by the petitioners, was
not specific to Andrews’ dune scarab
beetle and does not necessarily correlate
to the beetle. Moreover, the results of
Andrew’s study (Scarabaeus Associates
1991) intended to investigate the impact
of ORV use on the Andrews’ dune
scarab beetle indicated that beetle
abundance was not correlated with BLM
ORV use designations, and that
occupancy of habitat patches may shift
regardless of habitat suitability or ORV
impact. However, as noted above, due to
study design limitations, the impact of
ORV use could not be adequately
determined. In fact, another possible
hypothesis that could support the study
data is that some disturbance of the
dunes is beneficial to the beetles, as the
most beetles were collected in areas
open to moderate disturbance, and no
beetles were collected in a formerly
occupied area where disturbance may
have been reduced by closure. Because
of the weak information on the effects
of ORVs to the Andrews’ dune scarab
beetle and the lack of information
supporting species-specific threats,
there is no basis for finding that existing
regulatory protections are inadequate.
Accordingly, we find that the petition
and our files do not present substantial
scientific or commercial information
that the petitioned action may be
warranted.
E. Other Natural or Manmade Factors
Affecting the Species’ Continued
Existence
Without citing any scientific
references or studies, the petition states
that pesticide use in the agricultural
areas of the Imperial Valley is likely
having negative impacts on the species
through pesticide drift into the dunes
and that spraying programs for the curly
top leafhopper virus are also likely
directly impacting the species.
The petition also included the issue of
direct mortality from OHV use in the
Andrews’ dune scarab beetle habitat.
Evaluation of Information in the
Petition and Our Files
The assertion provided in the petition
that pesticide use is likely having
negative impacts was not supported by
any scientific information, citations, or
data. Thus, the petition does not
provide substantial scientific or
PO 00000
Frm 00026
Fmt 4702
Sfmt 4702
commercial information documenting
loss of Andrews’ dune scarab beetles by
pesticide use or how this may threaten
survival of the species across its range,
nor is there any additional information
in our files.
The assertion provided in the petition
that OHV use is likely to have negative
impacts on direct mortality was not
supported by any scientific information,
citations, or data. Therefore, this
petition does not provide substantial
scientific or commercial information
documenting loss of Andrews’ dune
scarab beetles by the use of OHVs.
Finding
We reviewed the petition and
supporting information provided with
the petition and evaluated that
information in relation to other
pertinent literature and information
available in our files at the time of
petition review. After this review and
evaluation, we find the petition does not
provide substantial scientific or
commercial information to demonstrate
that listing the Andrews’ dune scarab
beetle may be warranted at this time.
The species information in the petition
and in our files was collected between
1967 and 1991, when most of the
specific data was collected. We
encourage interested parties to continue
to gather data that will assist with the
conservation of the species. Information
regarding the Andrews’ dune scarab
beetle may be submitted to the Field
Supervisor, Carlsbad Fish and Wildlife
Office (see ADDRESSES section above) at
any time.
References Cited
A complete list of all references cited
herein is available, upon request, from
the Carlsbad Fish and Wildlife Office
(see ADDRESSES section).
Author
The primary author of this notice is
Alison Anderson, U.S. Fish and Wildlife
Service, Carlsbad Fish and Wildlife
Office (see ADDRESSES).
Authority
The authority for this action is section
4 of the Endangered Species Act of
1973, as amended (16 U.S.C. 1531 et
seq.).
Dated: May 1, 2006.
H. Dale Hall,
Director, U.S. Fish and Wildlife Service.
[FR Doc. E6–6791 Filed 5–4–06; 8:45 am]
BILLING CODE 4310–55–P
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[Federal Register Volume 71, Number 87 (Friday, May 5, 2006)]
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[Pages 26444-26448]
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[FR Doc No: E6-6791]
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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
a Petition To List the Andrews' Dune Scarab Beetle as Threatened or
Endangered
AGENCY: Fish and Wildlife Service, Interior.
ACTION: Notice of 90-day petition finding.
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SUMMARY: We, the U.S. Fish and Wildlife Service (Service), announce a
90-day finding on a petition to list the Andrews' dune scarab beetle
(Pseudocotalpa andrewsi) as threatened or endangered under the
Endangered Species Act of 1973, as amended. We find the petition does
not provide substantial information indicating that listing the
Andrews' dune scarab beetle may be warranted. Therefore, we will not be
initiating a status review in response to this petition. We ask the
public to submit to us any new information that becomes available
concerning the status of the species or threats to it or its habitat at
any time.
DATES: The finding announced in this document was made on May 5, 2006.
ADDRESSES: The complete file for this finding is available for public
inspection, by appointment, during normal business hours at the
Carlsbad Fish and Wildlife Office, U.S. Fish and Wildlife Service, 6010
Hidden Valley Road, Carlsbad, CA 92011. New information, materials,
comments, or questions concerning this species may be submitted to us
at any time at the above address.
FOR FURTHER INFORMATION CONTACT: Jim Bartel, Field Supervisor, Carlsbad
Fish and Wildlife Office (see ADDRESSES section above), by telephone at
760-431-9440, or by facsimile to 760-431-9624.
SUPPLEMENTARY INFORMATION:
Background
Section 4(b)(3)(A) of the Endangered Species Act of 1973, as
amended (Act) (16 U.S.C. 1531 et seq.), requires that we make a finding
on whether a petition to list, delist, or reclassify a species presents
substantial scientific or commercial information to indicate that the
petitioned action may be warranted. We are to base this finding on
information provided in the petition, supporting information submitted
with the petition, and information otherwise available in our files at
the time we make the determination. To the maximum extent practicable,
we are to make this finding within 90 days of our receipt of the
petition and publish a notice of this finding promptly in the Federal
Register.
Our standard for substantial information within the Code of Federal
Regulations (CFR) with regard to a 90-day petition finding is ``that
amount of information that would lead a reasonable person to believe
that the measure proposed in the petition may be warranted'' (50 CFR
424.14(b)). If we find that substantial information was presented, we
are required to promptly commence a review of the status of the
species.
In making this finding, we relied on information provided by the
petitioners and information otherwise available in
[[Page 26445]]
our files at the time of petition review and evaluated that information
in accordance with 50 CFR 424.14(b). Our process of coming to a 90-day
finding under section 4(b)(3)(A) of the Act and section 424.14(b) of
our regulations is limited to a determination of whether the
information in the petition meets the ``substantial information''
threshold.
On December 13, 2002, we received a formal petition dated December
12, 2002, from the Center for Biological Diversity requesting the
Andrews' dune scarab beetle (Pseudocotalpa andrewsi) be listed as
threatened or endangered in accordance with section 4 of the Act.
Action on this petition was precluded by court orders and
settlement agreements for other listing actions that required nearly
all of our listing funds for fiscal year 2003. On December 9, 2004, we
received a 60-day notice of intent to sue, and on December 1, 2005, we
received a complaint regarding our failure to make the 90-day and 12-
month findings on the status of the Andrews' dune scarab beetle. On
January 12, 2006, we reached an agreement with the plaintiffs to submit
to the Federal Register a completed 90-day finding by April 28, 2006,
and to complete, if applicable, a 12-month finding by January 26, 2007
(Case No. 05 CV 1988 BEN (BLM) S.D.CAL). This notice constitutes the
90-day finding for the December 12, 2002, petition.
Previous Federal Actions
In a proposed rule that included 10 North American beetles, the
Service proposed to list as threatened and designate critical habitat
for the Andrews' dune scarab beetle on August 10, 1978 (43 FR 35636).
Without citing any literature, species experts, or other scientific
authority to support the various claims in the proposal, we indicated
that the action was being taken for the 10 beetles because of
``decreased population levels and anticipated adverse modification of *
* * habitat.'' Specifically regarding the Andrews' dune scarab beetle,
the Service stated that the ``continued disruption of dune troughs by
off-road vehicles [ORVs] prevents the accumulation of dead organic
matter upon which the immature stages of this beetle feed.'' On October
1, 1980 (45 FR 65137), we published a notice of withdrawal for the
proposed rule to list the Andrews' dune scarab beetle and seven other
beetles because the 1978 amendments to the Act mandated withdrawals for
all proposals not finalized within two years. As a result, the Andrews'
dune scarab beetle currently has no Federal regulatory status.
Species Information
Within the subtribe Areodina of North American scarab beetles
(family Scarabaeidae), Hardy described the Andrews' dune scarab beetle
(Pseudocotalpa andrewsi) as a monotypic species within a new genus in
1971. Subsequently, Hardy (1974) described two additional species of
Pseudocotalpa (P. guilianii and sonorica), along with the note that an
additional 82 specimens of P. andrewsi had been collected from the type
locality near Glamis in Imperial County, California. Andrews' dune
scarab beetles are golden-brown and covered with long, pale, fine
hairs, and range in length from 0.51 to 0.71 inches (in) (13 to 18
millimeters (mm)) (Hardy 1971). The Andrews' dune scarab beetle can be
differentiated from other closely related scarab beetles by its smaller
size, the deep concave shape of the clypeus, and the poorly developed
prothoracic post-coxal spine or knob (Hardy 1971, Hardy 1974).
The Service described the ``specific habitat of the beetles [as]
troughs of loose drifting sand between dunes'' in the 1978 proposed
rule (43 FR 35636). Habitat vegetation type was described as creosote
bush scrub by Hardy and Andrews (1980), but many collections occurred
in areas described as psammophytic (``sand loving'') scrub (Hardy and
Andrews 1980; BLM 2002). Psammophytic scrub vegetation occurs in the
interior portions of sand dunes, most frequently between active dunes
in areas that form depressions (BLM 2003). The Andrews' dune scarab
beetle appears to prefer low dunes on the margin of thickets (dense
patches of scrub vegetation) that form finger-like extensions into the
dunes (Scarabaeus Associates 1991). Andrews reported that all of the
Andrews' dune scarab beetle burrowing mounds that he identified were in
bare ground near thickets and, therefore, density appeared to be
positively correlated with thicket density (Scarabaeus Associates
1991). Thickets are typically dominated by large creosote (Larrea
tridentata); palo verde (Cercidium floridum); ironwood (Olneya tesota)
(Scarabaeus Associates 1991); and other associated plants include
desert buckwheat (Eriogonum deserticola) and desert needle (Palafoxia
arida) (Hardy and Andrews 1980). Bureau of Land Management (BLM 2002)
noted that the ``Andrews' dune scarab beetle is found primarily along
the eastern edge of the dunes in the transitional zone between creosote
bush scrub, psammophytic scrub, and microphyll woodland habitats.''
During periods of inactivity, Andrews' dune scarab beetles remain
buried at the interface of the wet and dry sand, at depths of 2 to 11.8
in (5 to 30 centimeters (cm)) (Hardy and Andrews 1980; Scarabaeus
Associates 1991). Adults have been collected from mid-April through the
first week of May (Hardy and Andrews 1980). The adult flight season
runs from late March to early May (Scarabaeus Associates 1991). Adults
emerge in ``large'' numbers at dusk (Hardy 1971) and fly for 10 to 30
minutes, while congregating in groups of 3 to 20 individuals around
nearby bushes, then move away in pairs to copulate (Hardy and Andrews
1980; Scarabaeus Associates 1991). After copulation, adults rapidly
bury themselves in the sand (Hardy and Andrews 1980). We do not have
information on the life span of this species.
Hardy and Andrews (1980) reported that the Andrews' dune scarab
beetle ``is a species that is (as far as can be determined) endemic to
the Algodones Dunes in Imperial County, California, and probably the
portion of the same dune system that occurs in Baja California Norte,
Mexico.'' However in Hardy's (1971) article describing the new species
and its habitat, the author included a male specimen collected from the
``Yuma Dunes'' in 1960 as referable to the species. Hardy and Andrews
(1980) noted this same collection in their article as well. The Yuma
Dunes occur approximately 15 miles (mi)(28 kilometers) southeast of the
Algodones Dunes, across the Colorado River, in extreme southwestern
Arizona. Moreover, given that such plants as the Peirson's milk-vetch
(Astragalus magdalenae var. peirsonii) are known from the Algodones
Dunes, Yuma Dunes, and Gran Desierto de Altar (Felger 2000), and the
dune sunflower (Helianthus niveus ssp. tephrodes) is known from the
Algodones Dunes and Gran Desierto de Altar (Seiler et al. 2006), it is
possible that the Andrews' dune scarab beetle occurs farther south as
well in the large dune systems of the Gran Desierto de Altar in
northwestern Sonora, Mexico. The Algodones Dunes, Yuma Dunes, and Gran
Desierto are geologically part of the same active dune system (Rinker
et al. 1991). As a result, the Andrews' dune scarab beetle does not
appear to be restricted to the Algodones Dunes of southeastern
California or northeastern Baja California Norte, but rather occurs at
least within the Yuma Dunes of Arizona and potentially within the Gran
Desierto de Altar in northwestern Sonora, Mexico.
[[Page 26446]]
No population estimates are available for this species.
Threats Analysis
Section 4 of the Act and its implementing regulations (50 CFR part
424) set forth the procedures for adding species to the Federal list of
endangered and threatened species. A species may be determined to be an
endangered or threatened species due to one or more of the five factors
described in section 4(a)(1) of the Act: (A) Present or threatened
destruction, modification, or curtailment of habitat or range; (B)
overutilization for commercial, recreational, scientific, or
educational purposes; (C) disease or predation; (D) inadequacy of
existing regulatory mechanisms; or (E) other natural or manmade factors
affecting its continued existence. In making this finding, we evaluated
whether threats to the Andrews' dune scarab beetle presented in the
petition and other information available in our files at the time of
the petition review may pose a concern with respect to its survival.
Our evaluation of these threats is presented below.
A. Present or Threatened Destruction, Modification, or Curtailment of
the Species' Habitat or Range
The petitioners state that ORV activity destroys and modifies
Andrews' dune scarab beetle habitat and curtails its range (range
estimate based on Andrews et al. 1979; Hardy and Andrews 1980). The
petitioners state that the congregating behavior of adult Andrews' dune
scarab beetles during the active season (generally February through
May) renders colonies vulnerable to direct mortality by ORV activity.
The petition uses the arthropod observations of Luckenbach and Bury
(1983) as substantiation.
The petitioners assert that ORVs can also ``adversely modify dune
habitat.'' According to the petition, accumulations of vegetable matter
collected in wind-made troughs may serve as nurseries for Andrews' dune
scarab beetle larval stages, and creosote bushes may be host plants for
the species. The petitioners maintain that because Andrews' dune scarab
beetle reproduction occurs once a year from mid-April through early
May, ORV destruction of accumulated vegetable matter in which larvae
may be developing could eliminate an entire generation. Citing Carpelan
(1995), the petitioners claim that dune buggies adversely modify
Andrews' dune scarab beetle habitat, while they note ``Hardy and
Andrews (1976) concluded that ORVs destroy plant growth within and near
the Algodones Dunes, scatter or crush accumulations of organic matter
likely used by P. andrewsi larvae for nurseries, disrupt layers of
crust which stabilize the dunes, and may upset beetle reproduction.''
The petitioners also claim that if protected areas of the Algodones
Dunes are reopened to ORVs, as described in the draft environmental
impact statement (DEIS) for the Proposed Recreation Area Management
Plan and Amendment to the California Desert Conservation Area Plan (BLM
2002), habitat for the Andrews' dune scarab beetle will be modified or
destroyed and its range within the dune system will likely be
curtailed. The petitioners contend that not only is the Andrews' dune
scarab beetle endemic to the Algodones Dunes, but no recolonization
source exists in the event of population extirpation.
The petition does not discuss or provide specific scientific or
commercial information on distribution and population status of the
Andrews' dune scarab beetle in Mexico or outside of the Algodones Dunes
system.
Evaluation of Information in the Petition and Our Files
The petition and our files contain little information regarding the
threat of ORV use to the Andrews' dune scarab beetle. Luckenbach and
Bury (1983) reported that ``arthropod (mostly beetle) tracks were
twenty-four times more abundant in control plots than in ORV-impacted
plots.'' However, this work was not species-specific (observed tracks
may not be the Andrews' dune scarab beetle or reflect the abundance of
the species), and the sampled plots were placed in areas where no
Andrews' dune scarab beetles have been collected, therefore it is not
clear from these results that Andrews' dune scarab beetle is adversely
impacted by ORV use, or that ORV use constitutes a significant threat
to the beetle. Despite the claim in the petition that Hardy and Andrews
(1976) concluded that ORVs destroy plants within and near the Algodones
Dunes and impact larval nurseries of Andrews' dune scarab beetle, Hardy
and Andrews (1976) did not survey the Algodones Dunes in their insect
surveys in six California and Nevada dune systems and the authors
provided only generalized data of potential adverse effects of off-
highway vehicles (OHVs, also known as ORVs) to ``dune restricted or
adapted insects.'' Carpelan (1995) focused his book chapter on dune
stabilization and the adaptation and speciation of dune insects.
Carpelan's work was largely derived from Hardy and Andrews (1976) and
he gave Andrews' dune scarab beetle as an example of a dune endemic.
While Hardy and Andrews (1976) and Carpelan (1995) expressed concern
regarding the general effects of OHVs to dunes (especially stabilized
dunes), neither paper supported any assertion of OHVs ``adversely
modify dune habitat'' of the Andrews'' dune scarab beetle. Similarly,
the statements in the 1978 proposal to list the Andrews' dune scarab
beetle regarding the decreased population levels and OHV impacts were
not supported by the available scientific information.
An additional report by Andrews (Scarabaeus Associates 1991)
provides little additional insight into the potential impact ORV use
may have on Andrews' dune scarab beetles or their habitat. Although his
study was intended to investigate the potential impacts of ORV use on
the Andrews' dune scarab beetle, conclusions regarding the impact of
ORV use on Andrews' dune scarab beetle could not be derived from the
study as designed. Plots were placed based on collection records and
expert opinion of habitat suitability, not randomized within use
designation areas or a larger reasonable subset of dune habitat, such
as the central upland-lowland dune transition areas where most beetles
have been collected. The only measure of ORV activity was BLM use
classification (Intensive, Moderate, Limited, and Controlled (no
access)). Andrews (Scarabaeus Associates 1991) did not detect any
individuals in ORV Intensive use classification plots where most early
collections of Andrews' dune scarab beetle were made. However, no
individuals were detected in Controlled use (closed to ORV use)
classification plots either, where habitat appeared ``excellent,'' and
``significant'' populations had been detected in previous years. Most
beetle detections were made in plots located within the two
intermediate ORV use classification areas (Moderate and Limited). An
``extensive'' search of a greater area classified as Controlled
resulted in detection of only two individuals. Andrews' study
(Scarabaeus Associates 1991) indicates that occupancy of habitat
patches may shift regardless of habitat suitability or ORV impacts but
did not demonstrate impacts of ORV use on Andrews' dune scarab beetle
abundance.
The petitioners assert that only one population of the Andrews'
dune scarab beetle, a species endemic to the Algodones Dunes, exists.
As discussed above, however, the species has been collected from the
Yuma Dunes in Arizona. Moreover, given that the
[[Page 26447]]
federally threatened Peirson's milk-vetch (Astragalus magdalenae var.
peirsonii) is known from the Algodones Dunes, Yuma Dunes, and Gran
Desierto de Altar (Felger 2000), and the dune sunflower (Helianthus
niveus ssp. tephrodes) is known from the Algodones Dunes and Gran
Desierto de Altar (Seiler et al. 2006), it is possible that this dune
species occurs farther south as well in the large dune systems of the
Gran Desierto de Altar in northwestern Sonora, Mexico. Information
provided with the petition and in our files does not indicate that the
Yuma Dunes or the sand dune systems within the 5,000 square mi (1.3
million ha) of the Gran Desierto de Altar have been surveyed for the
Andrews' dune scarab beetle.
We find that, due to weak, incomplete, or nonexistent information
regarding impacts to the Andrews' dune scarab beetle from ORV use, the
petition and our files do not present substantial information that the
petitioned action may be warranted. No other information regarding
Factor A was contained in the petition or our files. Because the known
populations in the United States exist on lands owned and managed by
BLM, it is unlikely to be subject to other forms of habitat
modification under Factor A, such as loss of habitat due to
development.
B. Overutilization for Commercial, Recreational, Scientific, or
Educational Purposes
The petition states no data are available. We have no scientific or
commercial information in our files indicating that overutilization of
the beetle exists for commercial, recreational, scientific, or
educational purposes, and the petition did not provide any such
information.
C. Disease or Predation
The petition states that natural predation affects the population
but does not describe any effects. The petition states that effects of
disease on the Andrews' dune scarab beetle are unknown, and we have no
information in our files to indicate that either disease or predation
threatens the beetle.
Evaluation of Information in the Petition and Our Files
Some information available in our files provided specific
observations of predation. Hardy and Andrews (1980) stated that
``[d]uring evening flights, night hawks were observed to be important
predators of Pseudocotalpa.'' Andrews (Scarabaeus Associates 1991)
observed nighthawk and scorpion predation, noting that nighthawks
appeared to actively search occupied sites for Andrews' dune scarab
beetles. However, review of the petition and information in our files
did not provide substantial scientific or commercial information that
mortality by predation or disease may threaten survival of the species
across its range.
D. Inadequacy of Existing Regulatory Mechanisms
The petitioners assert that existing regulatory mechanisms are
inadequate to protect this Algodones Dunes species from extinction. The
petition states that past administrative plans and legal requirements
to monitor and conserve the Andrews' dune scarab beetle have not been
implemented by BLM. Current management plans allow ORV activity in the
majority of the known range of the Andrews' dune scarab beetle on BLM
lands in the Algodones Dunes (94 percent of all creosote scrub and 84
percent of all psammophytic scrub).
All known Andrews' dune scarab beetle habitat in the United States
is on land managed by the BLM (Andrews et al. 1979; Hardy and Andrews
1980; BLM and CDFG 1987). The petitioners state that, although the
sensitive, potentially endangered status of the Andrews' dune scarab
beetle and adverse impacts of ORVs on the species have been made known
to BLM (Hardy and Andrews 1976), the use of ORVs continues to be
permitted in sensitive beetle habitat. According to the petition, the
preferred alternative management plan in the DEIS (BLM 2002) would
result in relaxed conservation measures for the species, including
reopening thousands of acres of protected habitat to ORV use (see
Factor A discussion above).
The petition notes that three planning documents for the Algodones
Dunes Wildlife Habitat Area have addressed management of ORV use and
the Andrews' dune scarab beetle: the 1972 Recreation Management Plan,
the 1980 California Desert Conservation Area Plan, and the 1987
Recreation Area Management Plan for the Imperial Sand Dunes (RAMP) (BLM
and CDFG 1987). The previously implemented RAMP called for a reduction
in the proposed level of recreation development and dispersal of
intensive recreational use within Class I areas. The RAMP included the
Algodones Dunes Wildlife Habitat Management Plan (HMP), implemented
under the authority of the Sikes Act (16 U.S.C. 670a-670o). The HMP
recommended biennial surveys for the Andrews' dune scarab beetle (p.
22): ``Permanent plots will be evaluated biennially, and results will
be compared to existing information to determine trend, until a
satisfactory amount of data are gathered. Supplementary and monitoring
studies will be through contract * * *.''
The petition reports that only one set of surveys was ever
conducted (Scarabaeus Associates 1991), and although the report could
not be located by the petitioners, it is in our files. The petition
notes that permanent monitoring of the Andrews' dune scarab beetle was
recommended in the HMP, but surveys have not been conducted for the
past decade. The petition notes that the RAMP also stipulated that
localized surveys be conducted for the Andrews' dune scarab beetle
prior to approval of particular development projects. The petition
concludes that no available documents indicate that the stipulated
surveys were conducted, although a number of the named development
projects were approved and completed.
The petition quotes a recent DEIS (BLM 2002) that ``little is known
about the biology of this beetle, [and] current information about the
distribution and preferred habitat at the Plan Area is not available *
* *. No information about threats to this species is available.'' The
petition claims this assessment of the species is inaccurate given
information presented in the petition. The petition notes that the HMP
mandated collection of demographic and distributional information would
have provided relevant additional information regarding the species.
Additionally, no data were presented in the DEIS regarding the
distribution of the Andrews' dune scarab beetle, although such data are
required before land-use decisions are made to ensure the species is
not jeopardized. The petitioners also note that the DEIS recognizes
``OHV activity tends to be concentrated within the psammophytic scrub.
As a consequence, some special-status wildlife species such as * * *
endemic dune beetles occurring in these dunes would be killed or
injured by OHV activity.'' The preferred alternative in the DEIS
(Alternative 2) would allow 198,220 ac (80,217 ha) of the Algodones
Dunes to be open to ORV use, and only the relatively small 27,695-ac
(11,208-ha) portion of the Algodones Dunes would remain as off-limits
to ORVs.
Evaluation of Information in the Petition and Our Files
Focusing on the concerns expressed by the petitioners, the final
and currently implemented RAMP (BLM 2003) does not address specific
conservation, research, or monitoring of the Andrews' dune scarab
beetle. The only mention of Andrews' dune scarab
[[Page 26448]]
beetle is a note on page 32, recognizing that the beetle is a ``poorly
known'' BLM sensitive species (Issues, Concerns, and Opportunities
section). The final RAMP utilizes the preferred alternative in the DEIS
(Alternative 2) discussed in the petition. Under the final RAMP, all-
terrain vehicle, motorcycle, truck, and dune buggy ORV use will be
prohibited in the 26,202 ac (10,601 ha) North Algodones Dunes
Wilderness Recreation Management Area. The wilderness area closed to
ORV use under the final RAMP is 18 percent of the BLM-managed Imperial
Sand Dunes Recreation Area known to contain Andrews' dune scarab beetle
habitat (not including the Dune Buggy Flats Recreation Management Area
uplands where studies have not detected Andrews' dune scarab beetle)
(Hardy and Andrews 1980; BLM 2002). Historically, most Andrews' dune
scarab beetle observations were concentrated in the Glamis Recreation
Management Area (Hardy and Andrews 1980), which has the highest
allowable recreation impacts under the final RAMP. As stated above,
interim vehicle use closure areas designated for the threatened
Peirson's milk-vetch plant (Astragalus magdalenae var. peirsonii) and
desert tortoise (Gopherus agassizii) through legal stipulation (BLM
2002), including approximately 49,000 ac (19,829.6 ha) of the Andrews'
dune scarab beetle range, were not maintained (they were opened to ORV
use) under the final RAMP (BLM 2003).
Regardless of whether the petition or the above description
accurately details the historic, existing, and proposed management and
monitoring of the Algodones Dunes by the BLM, the central issue is
whether such management is inadequate because the associated ORV
activity has adversely affected or will adversely affect the Andrews'
dune scarab beetle such that listing may be warranted. Though the
petitioners claim they ``were unable to find a single study documenting
positive or even neutral effects of ORVs'' after completing a
comprehensive review of scientific literature regarding ORV impacts on
desert flora and fauna, the petition and our files do not contain any
direct or substantial evidence that ORV activity is adversely affecting
the Andrews' dune scarab beetle. Despite the assertion from the
petitioners that ``a sufficient body of information on negative effects
of ORVs on arthropods in the Algodones Dunes exists to indicate the
species is imperiled,'' the often cited study by Hardy and Andrews
(1976) did not address the Algodones Dunes or the Andrews' dune scarab
beetle, while the counting of arthropod tracks in the Luckenbach and
Bury study (1983), also cited many times by the petitioners, was not
specific to Andrews' dune scarab beetle and does not necessarily
correlate to the beetle. Moreover, the results of Andrew's study
(Scarabaeus Associates 1991) intended to investigate the impact of ORV
use on the Andrews' dune scarab beetle indicated that beetle abundance
was not correlated with BLM ORV use designations, and that occupancy of
habitat patches may shift regardless of habitat suitability or ORV
impact. However, as noted above, due to study design limitations, the
impact of ORV use could not be adequately determined. In fact, another
possible hypothesis that could support the study data is that some
disturbance of the dunes is beneficial to the beetles, as the most
beetles were collected in areas open to moderate disturbance, and no
beetles were collected in a formerly occupied area where disturbance
may have been reduced by closure. Because of the weak information on
the effects of ORVs to the Andrews' dune scarab beetle and the lack of
information supporting species-specific threats, there is no basis for
finding that existing regulatory protections are inadequate.
Accordingly, we find that the petition and our files do not present
substantial scientific or commercial information that the petitioned
action may be warranted.
E. Other Natural or Manmade Factors Affecting the Species' Continued
Existence
Without citing any scientific references or studies, the petition
states that pesticide use in the agricultural areas of the Imperial
Valley is likely having negative impacts on the species through
pesticide drift into the dunes and that spraying programs for the curly
top leafhopper virus are also likely directly impacting the species.
The petition also included the issue of direct mortality from OHV
use in the Andrews' dune scarab beetle habitat.
Evaluation of Information in the Petition and Our Files
The assertion provided in the petition that pesticide use is likely
having negative impacts was not supported by any scientific
information, citations, or data. Thus, the petition does not provide
substantial scientific or commercial information documenting loss of
Andrews' dune scarab beetles by pesticide use or how this may threaten
survival of the species across its range, nor is there any additional
information in our files.
The assertion provided in the petition that OHV use is likely to
have negative impacts on direct mortality was not supported by any
scientific information, citations, or data. Therefore, this petition
does not provide substantial scientific or commercial information
documenting loss of Andrews' dune scarab beetles by the use of OHVs.
Finding
We reviewed the petition and supporting information provided with
the petition and evaluated that information in relation to other
pertinent literature and information available in our files at the time
of petition review. After this review and evaluation, we find the
petition does not provide substantial scientific or commercial
information to demonstrate that listing the Andrews' dune scarab beetle
may be warranted at this time. The species information in the petition
and in our files was collected between 1967 and 1991, when most of the
specific data was collected. We encourage interested parties to
continue to gather data that will assist with the conservation of the
species. Information regarding the Andrews' dune scarab beetle may be
submitted to the Field Supervisor, Carlsbad Fish and Wildlife Office
(see ADDRESSES section above) at any time.
References Cited
A complete list of all references cited herein is available, upon
request, from the Carlsbad Fish and Wildlife Office (see ADDRESSES
section).
Author
The primary author of this notice is Alison Anderson, U.S. Fish and
Wildlife Service, Carlsbad Fish and Wildlife Office (see ADDRESSES).
Authority
The authority for this action is section 4 of the Endangered
Species Act of 1973, as amended (16 U.S.C. 1531 et seq.).
Dated: May 1, 2006.
H. Dale Hall,
Director, U.S. Fish and Wildlife Service.
[FR Doc. E6-6791 Filed 5-4-06; 8:45 am]
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