Endangered and Threatened Wildlife and Plants; Withdrawal of Proposed Rule to List Penstemon grahamii (Graham's beardtongue) as Threatened With Critical Habitat, 76024-76035 [E6-21260]
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DEPARTMENT OF THE INTERIOR
Fish and Wildlife Service
50 CFR Part 17
RIN 1018–AU49
Endangered and Threatened Wildlife
and Plants; Withdrawal of Proposed
Rule to List Penstemon grahamii
(Graham’s beardtongue) as Threatened
With Critical Habitat
Fish and Wildlife Service,
Interior.
ACTION: Proposed rule; withdrawal.
AGENCY:
SUMMARY: We, the U.S. Fish and
Wildlife Service (Service), withdraw the
proposed rule, published in the Federal
Register on January 19, 2006 (71 FR
3158), to list Penstemon grahamii
(Graham’s beardtongue) as a threatened
species with critical habitat under the
Endangered Species Act (Act) of 1973,
as amended. We have determined that
listing is not warranted because threats
to the species as identified in the
January 19, 2006, proposed rule are not
significant, and available data do not
indicate that the threats to the species
and its habitat, as analyzed under the
five listing factors described in section
4(a)(1) of the Act, are likely to threaten
or endanger the species in the
foreseeable future throughout all or a
significant portion of its range. Our
decision to withdraw the proposed rule
to list Penstemon grahamii also removes
the species from candidate status under
the Act.
DATES: The proposed rule published at
71 FR 3158, January 19, 2006
concerning Graham’s beardtongue is
withdrawn effective December 19, 2006.
ADDRESSES: Supporting documentation
for this rulemaking is available for
public inspection, by appointment,
during normal business hours at the
U.S. Fish and Wildlife Service, Utah
Field Office, 2369 W. Orton Circle, West
Valley City, Utah 84119.
FOR FURTHER INFORMATION CONTACT:
Larry England, Botanist, at the above
address (telephone 801–975–3330,
extension 138; fax 801–975–3331; or email larry_england@fws.gov).
SUPPLEMENTARY INFORMATION:
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Background
In this document, it is our intent to
discuss only those topics directly
relevant to the listing and designation of
critical habitat for Penstemon grahamii.
For additional information on the
species, refer to the proposed rule
published in the Federal Register on
January 19, 2006 (71 FR 3158).
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The genus Penstemon consists of
dicotyledonous plants traditionally
placed in the Figwort family
(Scrophulariaceae). Penstemon
grahamii was first collected from a site
west of the Green River and south of
Sand Wash, in southern Uintah County,
Utah, on May 27, 1933, and from a site
north of Sand Wash on the following
day (Graham 1937, p. 332). P. grahamii
is an herbaceous perennial plant within
the sub-genus Cristati (N. Holmgren in
Cronquist et al. 1984, p. 380). The
species is described in detail in the
proposed rule (71 FR 3158).
We delineated all known locations
with extant populations of Penstemon
grahamii into 109 occurrences. An
‘‘occurrence’’ is defined in this
document as: an area with continuous
suitable habitat with an extant or
historical population of P. grahamii
delineated on aerial photography
(Service 2005, pp. 1–3, 13). We grouped
these occurrences into five population
habitat units separated by unoccupied
gaps in the species’ range. A
‘‘population habitat unit’’ is defined as
continuous groups of occurrences
within 5 kilometers (km) (3 miles (mi))
of each other (Service 2005, pp. 4, 7).
Available population data information
is summarized for the five population
habitat units rather than each of the 109
occurrences (Shultz and Mutz 1979b, pp
25–39; Neese and Smith 1982b, pp.
116–140; Borland 1987 p. 1; Franklin
1993, Appendix D; Franklin 1995,
Appendix B; Colorado Natural Heritage
Program (Colorado NHP) 2005, pp. 1–
20; Utah Natural Heritage Program (Utah
NHP) 2005, pp. 1–124; Service 2005, pp.
1–13).
The 109 occurrences within 5
population habitat units of Penstemon
grahamii collectively form the species’
known range, which is distributed in a
curved band about 10 km (6 mi) wide
and about 128 km (80 mi) long. These
units extend from the Sand Wash and
adjacent Nine Mile Creek drainages near
the point where Carbon, Duchesne, and
Uintah Counties, Utah, meet; then
easterly across southern Uintah County
to near the Colorado border; then
northerly to a point near the White
River where the population band moves
into Colorado to Raven Ridge, the
eastern terminus of the species’ range.
The total documented population of P.
grahamii is estimated at approximately
6,200 individuals (Shultz and Mutz
1979a, pp. 38–42; Shultz and Mutz
1979b, pp. 25–38; Neese and Smith
1982a, pp. 63–66; Neese and Smith
1982b, pp. 115–140; Borland 1987, p. 1;
Franklin 1993, Appendix D; Franklin
1995, Appendix B; Colorado NHP 2005,
pp. 1–20; Utah NHP 2005, pp. 1–124;
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Service 2005, pp. 1–13; Decker et al.
2006, pp. 3–10). Approximately 60
percent of the species’ population is on
Bureau of Land Management (BLM)
managed land with the remainder on
non-Federal lands with State and
private ownership. The five population
habitat units are described in the
following paragraphs.
The westernmost Penstemon grahamii
population habitat unit, named the Sand
Wash Unit (Unit A), occurs in the
vicinity of Sand Wash in southwestern
Uintah and adjacent Carbon and
Duchesne Counties, Utah. This
population habitat unit consists of 10
separate occurrences with a population
estimated at 135 individuals (Shultz and
Mutz 1979b, pp. 37–38; Franklin 1993,
Appendix D; Utah NHP 2005, pp. 1–4,
21–24, 45–52, 65–80; Service 2005, pp.
1–13). This unit has relatively small
numbers (approximately 2 percent of
the species’ total) compared to those
population habitat units in the center of
the species’ range. The unit is the most
isolated of the species’ population
habitat units. This portion of the
species’ population has minor
morphological differences from the
remainder of its population and may,
due to geographic isolation, be
genetically divergent from the
remainder of the species’ population
(Shultz and Mutz 1979a, p. 41).
A second population habitat unit,
named the Seep Ridge Unit (Unit B),
occurs approximately 27 km (17 mi) east
of the Sand Wash Unit in the Willow
and Bitter Creek drainages in the
vicinity of Sunday School Canyon near
the Seep Ridge road in south central
Uintah County, Utah. This unit consists
of 53 separate occurrences with an
estimated population of 3,200
individuals (Shultz and Mutz 1979b, pp.
25–39; Utah NHP 2005, pp. 5–20, 25–28,
53–56, 61–64, 85–100; Service 2005, pp.
1–13). This population habitat unit is
the species’ largest with approximately
52 percent of the species’ total
population.
A third population habitat unit,
named the Evacuation Creek Unit (Unit
C), occurs approximately 16 km (10 mi)
east of the Seep Ridge Unit in the
Asphalt Wash and Evacuation Creek
drainages near the abandoned Gilsonite
mining towns of Dragon and Rainbow.
This unit is in southeastern Uintah
County, Utah, and adjacent Rio Blanco
County, Colorado, and consists of 31
separate occurrences with an estimated
population of 2,550 individuals (Neese
and Smith 1982b, pp. 115–133, 137–
140; Franklin 1995, Appendix B, Map 3;
Utah NHP 2005, pp. 29–32, 37–44, 57–
60, 81–84, 113–120; Service 2005, pp.
1–13). This population habitat unit is
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the species’ second largest with
approximately 41 percent of the species’
total population.
A fourth population habitat unit,
named the White River Unit (Unit D),
occurs approximately 8 km (5 mi) north
of the Evacuation Creek Unit in Hells
Hole and Weaver Canyons immediately
south of the White River. This unit is in
eastern Uintah County, Utah, and
consists of 9 separate occurrences with
an estimated population of 115
individuals (Neese and Smith 1982b,
pp. 134–136; Franklin 1995, Appendix
B, Maps 5–8; Utah NHP 2005, pp. 33–
36, 101–112, 121–124; Service 2005, pp.
1–13). This population habitat unit is
the species’ smallest, with
approximately 2 percent of the species’
total. The unit is important as a link
between the largest population habitat
units to the south and southwest and
the Colorado population to the
northeast.
A fifth population habitat unit, named
the Raven Ridge Unit (Unit E), occurs
approximately 11 km (7 mi) northeast of
the White River Unit along the west
flank of Raven Ridge and north of the
White River between Raven Ridge and
the Utah border in extreme western Rio
Blanco County, Colorado. This unit
consists of 6 separate occurrences with
an estimated population of 200
individuals (Borland 1987, p. 1;
Colorado NHP 2005, pp. 1–20; Service
2005, pp. 1–13). The population habitat
unit harbors approximately 3 percent of
the species’ total population and
includes virtually the species’ entire
population in Colorado (a portion of a
small population occurs in at the
eastern margin of the Evacuation Creek
Unit at the Colorado-Utah border). As in
the case of the Sand Wash Unit, the
Raven Ridge Unit is at the extreme end
of the species’ range. As such this
population is important for its
representation of a portion of the full
spectrum of the species’ genetic
diversity.
Penstemon grahamii habitat is a
discontinuous series of exposed raw
shale knolls and slopes derived from the
Parachute Creek and Evacuation Creek
members of the geologic Green River
Formation. Most populations are
associated with the surface exposure of
the petroleum bearing oil-shale
Mahogany ledge (Cashion 1967, p. 31,
Fig. 8; Shultz and Mutz 1979a, pp. 39–
40; Neese and Smith 1982a, p. 64;
Franklin 1993, Appendix D; Franklin
1995, Appendix B). The trace of the
Mahogany bed correlates very closely
with the trace of Penstemon grahamii
sites from the vicinity of Sand Wash
near the Green River to Raven Ridge
near the White River (Cashion 1967, p.
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31, Fig. 8; Shultz and Mutz 1979a, pp.
39–40; Neese and Smith 1982a, p. 64;
Decker et al. 2006, pp. 3–10).
Penstemon grahamii is associated
with a suite of species similarly adapted
to xeric growing conditions on highly
basic calcareous shale soils. The
vascular plant species most commonly
associated with P. grahamii are listed in
the proposed rule (71 FR 3158). The
plant community associated with P.
grahamii forms a distinctive assemblage
of plant species dominated by dwarf
shrubs and mound-forming perennial
herbaceous plants with relatively low
plant cover. This plant community
forms small patches within the broader
plant communities that characterize the
southeastern Uinta Basin (Shultz and
Mutz 1979a, p. 40; Neese and Smith
1982a, p. 63; BLM 2005, pp. 3–105 to 3–
109; Graham 1937, pp. 43–47, 59–71).
Pollinators of Penstemon grahamii are
listed in the proposed rule (71 FR 3158).
The Colorado NHP has assigned
Penstemon grahamii a global
imperilment ranking of G2 and State
imperilment ranking of S1. The Utah
NHP has assigned Penstemon grahamii
a global imperilment ranking of G2 and
State imperilment rankings of S2. The
G2 and S2 rankings mean the species is
imperiled at Global and State levels
respectively. An S1 ranking means the
species is critically imperiled at a State
level. These rankings, developed by The
Nature Conservancy, and applied by
various NHPs associated with State
governments, are utilized by the Service
in selecting candidate species and by
the BLM in selecting ‘‘Special Status
Species’’ for enhanced conservation
actions and resource planning. The
International Union for the
Conservation of Nature has given the
species a ranking of ‘‘Vulnerable.’’
Previous Federal Actions
The history of Penstemon grahamii as
a candidate species under the Act is
recounted in detail in the proposed rule
(71 FR 3158). It has been a candidate for
listing since 1980 (December 15, 1980;
45 FR 82480).
Penstemon grahamii was petitioned
three times for listing as endangered or
threatened under the provisions of the
Act. The first petition was the initial
Smithsonian list of 1975 (see above).
The second petition was the Fund for
Animals’ petition of 1990. This petition
included 401 species the Service had
assigned category 1 status in its
previous notices of review. On October
8, 2002, we received a petition
specifically for P. grahamii from five
separate parties—Center for Native
Ecosystems, Southern Utah Wilderness
Alliance, Utah Native Plant Society,
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Colorado Native Plant Society, and
American Lands Alliance. This
‘‘second’’ petition reiterated biological
information and information on
increased levels of threat that, for the
most part, was already in our files.
A court settlement required us to
submit a proposed rule to list
Penstemon grahamii to the Federal
Register by January 9, 2006. Our
proposed rule to list P. grahamii as
threatened with a proposed designation
of critical habitat was published in the
Federal Register on January 19, 2006
(71 FR 3158). The proposed rule
announced a 60-day public comment
period ending on March 20, 2006.
During the public comment period we
received a request for a public hearing
and an extension of the public comment
period. We announced the reopening of
the public comment period and notice
of a public hearing in the Federal
Register on April 13, 2006 (71 FR
19158). The public comment period was
extended to May 19, 2006, and a public
hearing was held at the Uintah County
Building, in Vernal, Utah, on April 26,
2006.
Summary of Comments and
Recommendations
During the open public comment
periods between January 19 and March
20, 2006, and April 13 and May 19,
2006, we requested all interested parties
to submit information pertaining to both
the proposed listing and critical habitat.
We also sought specific information on
any available preliminary results from
the recent lease nominations for
research, development, and
demonstration of oil-shale recovery
technologies on BLM lands; success of
ongoing oil-shale or tar-sands
development projects, particularly in
the Green River formation; available
economic and technological analyses;
and specific information detailing
definitive effects of these operations on
environmental resources, as primarily
related to losses of individual plants,
loss or fragmentation of the habitat, and
loss or declines in plant pollinators.
Similarly, the Energy Policy Act sets the
stage for increased oil and gas drilling
activities within Penstemon grahamii
habitat, so we requested information
specific to ongoing or proposed actions
in these areas.
The BLM provided us with
substantial information concerning:
current and projected energy
development; grazing use and
management; off-road vehicle (ORV) use
and management; exotic species (weeds)
control activities; wildland fire control
actions; and the potential for
horticultural collection. In addition,
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BLM provided planning and regulatory
direction it will use to ensure the
conservation of the species as a
consequence of any future development
of oil-shale or tar-sands that may affect
the species. As a consequence we have
relied heavily on BLM’s comments in
this final notice withdrawing the
proposed rule to list P. grahamii as
threatened, incorporating the
information it provided within our
analysis of threats.
Peer Review
In accordance with our July 1, 1994,
Interagency Cooperative Policy on Peer
Review (59 FR 34270), we requested the
expert opinions of six independent
specialists regarding pertinent scientific
or commercial data and assumptions
relating to supportive biological and
ecological information in the proposed
rule. The purpose of such a review is to
ensure that the listing decision is based
on scientifically sound data,
assumptions, and analyses, including
input of appropriate experts and
specialists.
The six experts we requested to
review the proposed rule were selected
on the basis of their expertise on
Penstemon grahamii natural history and
ecology. We requested that they review
the proposed rule and provide any
relevant scientific data relating to
taxonomy, distribution, population
status, or the supporting biological and
ecological data used in our analyses of
the listing factors. We specifically
requested information responding to the
following six questions. (1) Is our
description and analysis of the biology,
population, and distribution of P.
grahamii accurate? (2) Does the
proposed rule provide accurate and
adequate review and analysis of the
factors relating to the threats to the P.
grahamii (A. The present or threatened
destruction, modification, or
curtailment of its habitat, B.
Overutilization for commercial,
sporting, scientific, or educational
purposes, C. Disease and predation, D.
Adequate regulatory mechanisms, and,
E. Any other natural or man made
factors affecting is continued existence)?
(3) Are our assumptions and definition
of suitable habitat logical and adequate?
(4) Is our delineation and proposal of
critical habitat for this species
appropriate? (5) Are the conclusions we
reach logical and supported by the
evidence we provide? (6) Did we
include all the necessary and pertinent
literature to support our assumptions/
arguments/conclusions?
Three of the six provided comments
during the initial peer review process.
All three provided information to
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correct, clarify, or support statements
contained in the proposed rule. We have
incorporated their comments into the
final determination, as appropriate. The
three responding peer reviewers stated
that all six of the questions asked were
adequately addressed in the proposed
rule. One reviewer noted that our
proposed critical habitat included only
existing populations, and therefore
provided a conservative estimate of
potential habitat. This same reviewer
also agreed that current oil and gas
activity appears to provide little adverse
affect to the species, but future increase
in the density of conventional oil and
gas wells and the inevitable
development of oil-shale extraction
projects would be problematic.
Another peer reviewer stated that
Penstemon grahamii is clearly a
narrowly restricted, globally rare
species, but most of the information on
the species in Colorado is not current.
A lack of recent surveys has resulted in
uncertainty about its distribution and
population size. He concluded that even
if future surveys revealed robust
populations, the types of threats faced
by the species would result in a need for
habitat protection.
The third peer reviewer stated that, in
her opinion, ‘‘* * * the effect of
livestock grazing is an additional source
of stress for a species already grappling
with a stressful environment.’’
Therefore, studies of the effects of
livestock and wildlife exclosures on
plant vigor and reproduction should be
a high priority if the species is listed.
She also felt that the degree of
protection provided to Penstemon
grahamii by BLM’s Area of Critical
Environmental Concern designations is
variable and inconsistent.
Although the peer reviewers felt that
our proposed listing rule justified
listing, based on the new scientific and
commercial information concerning the
species’ status received during the
comment period, we have determined
that Penstemon grahamii does not
currently warrant protection under the
Act.
Summary of Public Comments and
Recommendations
During the public comment periods,
we received written comments from 37
entities. Twenty-two entities advocated
listing of the species, 12 entities
advocated not listing the species, and 3
entities did not advocate either listing
position. The public comments received
and our responses are summarized
below. Comments that contained new,
updated, or additional information were
thoroughly considered in this final
determination. We received a large
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number of identical or similar
comments, and we consolidated those
into several categories.
Comments Related to Energy
Development Impacts to the Species
and Its Habitat
Comment 1—No overlap exists
between current, proposed, and
potential future oil-shale/tar-sands
development and species’ habitat.
Our Response—We evaluated the
potential for oil-shale and tar-sands
development to impact Penstemon
grahamii based largely on the plant’s
dependence on oil-shale geologic strata.
There are no ongoing commercial oilshale or tar-sands activities on Federal
lands in the Uinta Basin, Green River
formation. We acknowledge that the
exact location and extent of future oilshale or tar-sands commercial
development in the Uinta Basin is
unknown, and we have considered
information from BLM regarding—1) the
higher likelihood that oil-shale would
progress, at least initially, in the
Piceance Basin, Colorado,
approximately 30 miles east of known P.
grahamii occurrences and 2) geologic
information depicting mineral
development potential compared to
known P. grahamii habitats. Approved
nominations under the BLM oil-shale
Research, Development, and
Demonstration (RD&D) program also do
not overlap known P. grahamii habitat.
Comment 2—A high level of
technological and economic uncertainty
exists for future oil-shale and tar-sands
development.
Our Response—We acknowledge
there is a high level of technological and
economic uncertainty, and that
commercial oil-shale or tar-sands
development is only a potential future
prospect, likely many years away. We
have included this information in our
analysis.
Comment 3—Even if industry’s
interest in oil-shale mining eventually
moved near Penstemon grahamii
occurrences, experience shows that
industry would likely propose
underground mining techniques, or one
or more of various in-situ recovery
processes. There is considerable
flexibility in siting access shafts and
supporting surface facilities for an
underground mine or in-situ
development and they can easily be
placed to avoid critical surface resource
areas.
Our Response—We acknowledge that
there is a high level of technological
uncertainty regarding commercial oilshale development. Until more specific
technological decisions are made, it is
not feasible for us to make conclusions
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regarding the actual effects oil-shale
mining may have on Penstemon
grahamii and its habitat. The different
mining technologies are discussed in
our analysis. However, we strongly
recommend that BLM continue to
evaluate technological processes and
devise appropriate conservation
measures if commercial development
progresses in the future.
Comment 4—The GIS analysis
supports the concept that engineering
and economics generally keep oil and
gas wells out of Penstemon grahamii
habitat. In addition, BLM and industry
have implemented species inventories
and avoid special status plant species
and their habitats.
Our Response—Our evaluation
concluded that oil and gas wells, to
date, have not been located directly on
known Penstemon grahamii locations.
We encourage BLM and the energy
industry to implement appropriate
technologies and conservation measures
to avoid development that may threaten
the species and its habitat in the future.
Comment 5—Several conventional oil
and gas exploratory and field
development projects are proposed or
underway in or near occupied
Penstemon grahamii habitat,
including—the Resource Development
Group, GASCO, Dominion Kings
Canyon project, Enduring Resource Big
Pack project, MakJ Little Canon/Bick
Pack Mountain field development
project, Pioneer Park Ridge 3D Seismic
project, and Columbine 3D seismic
project.
Our Response—We have included an
evaluation of these projects in our
analysis and concluded that they do not
significantly affect Penstemon grahamii
or its occupied habitat. See our
discussion of the impacts of oil and gas
exploration and development in the
Summary of Factors Affecting the
Species section.
Comment 6—Industry has historically
demonstrated no interest in surface
mining the Mahogany outcrops. There is
no evidence that potential, foreseeable
oil-shale development would occur in
the vicinity of the Mahogany ledge
outcrops.
Our Response—We have evaluated
the information presented and agree that
there is no current active interest, to
date, for oil-shale development along
the Mahogany zone in Penstemon
grahamii habitat. Technological and
economic uncertainties exist to the
extent that we cannot conclude that
there is a certainty of future threats in
this area.
Comment 7—Most Penstemon
grahamii are located on a bed of
petroleum bearing oil-shale in Utah and
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Colorado. Ninety-eight percent of P.
grahamii individuals are located in the
Parachute Creek member of the Green
River formation. The Parachute Creek
member is the most important area in
regard to oil-shale. The entire range of
P. grahamii also is sitting on deposits of
natural gas.
Our Response—We have analyzed the
distribution of Penstemon grahamii
relative to the potential for energy
development. Significant economic
questions remain concerning the
development of the Green River
formation oil-shale and tar-sands. There
are currently no development projects
for this resource proposed anywhere
within the known range of P. grahamii,
or anywhere else in the United States.
We have included a detailed analysis of
potential impacts of oil-shale and tarsands development, and the current and
future impacts of conventional natural
gas drilling and production in the
Summary of Factors Affecting the
Species section.
Comment 8—Oil-shale processing has
been attempted many times all over the
world with the same result—failure. The
processing of oil-shale is far too
expensive to be economical. Although
the technology for the oil-shale
processing may not be quite ready, the
potential for it is very real.
Our Response—We acknowledge the
technological and economic uncertainty
associated with oil-shale development.
Until and unless technology advances
and commercial oil-shale development
plans are proposed, it is inappropriate
for us to speculate on the potential scale
and distribution of commercial oil-shale
development.
Comment 9—Commenters provided
information regarding the current and
projected future increases in oil and gas
development in the Vernal BLM Field
Office area respective to the proposed
critical habitat units.
Our Response—We have evaluated
ongoing and proposed energy
development and potential impacts to
Penstemon grahamii in our finding. We
acknowledge the current and projected
increases in oil and gas exploration and
development in the Uinta Basin. We
have addressed energy exploration and
development in our final rule. Our
analysis of the best available scientific
and commercial data reveals that P.
grahamii is not warranted for listing
under the Act.
Comment 10—Shell’s Mahogany
Project in the Piceance Basin provides a
glimpse of what surface impacts using
in-situ methods would look like—100
percent surface disturbance. Images
posted on the SkyTruth.org Web site
show impacts at an oil-shale operation
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in Australia that show complete surface
disturbance.
Our Response—We acknowledge the
potential impacts of oil-shale mining to
Penstemon grahamii habitat, if this
mining occurs in habitat occupied by
the species. However, we do not have
information to conclude that oil-shale
mining will occur in P. grahamii
habitat.
Comment 11—The Department of the
Interior may attempt to argue that until
oil-shale development is shown to be
technically and economically viable on
a commercial scale, it should not be
considered a real threat. However, this
ignores the fact that members of
Congress are actively interested in
forcing the BLM to lease large portions
of the oil-shale resource now before
RD&D projects begin, and that any
analysis of economic feasibility must
factor in the possibility that the
government may be willing to heavily
subsidize this experiment. The Service
must recognize that interest in oil-shale
will not go away as long as oil is
valuable. The Service must list now
because oil-shale poses an extremely
high magnitude threat to Penstemon
grahamii and Congress has made that
threat more imminent today than it has
been in the past decades.
Our Response—We acknowledge the
potential impacts of oil-shale mining to
Penstemon grahamii if this mining
occurs in habitat occupied by the
species. However, we do not have
information to conclude that oil-shale
mining will occur in P. grahamii
habitat.
Comment 12—Several comments
described the direct, indirect, and
cumulative environmental impacts
associated with oil-shale mining.
Our Response—We acknowledge the
potential effects of oil-shale
development on Penstemon grahamii.
We have evaluated the threat of oilshale mining in our finding.
Comment 13—Shell Frontier Oil and
Gas Corporation’s proprietary In-situ
Conversion Process (ICP) uses
subsurface heating to convert kerogen
contained in oil-shale into ultra-clean
transportation fuels and gas. Shell’s ICP
is more environmentally friendly and
more efficient than previous oil-shale
efforts. It recovers the resources without
conventional mining, uses less water,
and does not generate large tailing piles.
Our Response—Our finding discusses
various technologies for commercial oilshale mining. Certainly any processes
that also provide environmental
protections are preferred. We also
acknowledge that technologies are still
being developed for oil-shale mining
and the location and extent of
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commercial oil-shale mining is still
uncertain.
Comment 14—The proposed rule, if
finalized, will impede, if not completely
proscribe, oil-shale development in
areas occupied by Penstemon grahamii.
Our Response—Our determination
that this species does not warrant listing
under the Act is based on our
assessment of the threats to the species,
as they are known at the time of the
decision, not the potential land
management implications of listing. We
have evaluated the potential impacts of
oil-shale mining in this finding.
Comment 15—There are no present
threats to the viability of the species,
either listed in the proposed rule or
otherwise known. The threats listed in
the proposed rule are all perceived
future threats, not current activities.
Our Response—We concur that
potential threats to Penstemon grahamii
from oil-shale and tar-sands
development described in the proposed
rule were speculative, although based
on the best information available to the
Service. Our analysis in this final rule,
based on information received after
publication of the proposed rule,
recognizes that current impacts to the
species from oil and gas development
do not rise to level to warrant listing
now or for the reasonably foreseeable
future.
Comment 16—Destruction of
Penstemon grahamii habitat is
irrevocable. We should not take
irrevocable action for the sake of shortterm economic benefit.
Our Response—We have evaluated
threats to Penstemon grahamii and its
habitat in our finding. Our
determination as to whether or not this
species warrants listing under the Act
must be based on our assessment of the
threats to the species as they are known
at the time of the decision.
Comment 17—Boom and bust energy
cycles have occurred in Uintah County
for the past 75 years. Penstemon
grahamii has continued to flourish.
Our Response—Our finding has taken
into consideration the known species’
population status and trends, as well as
the potential threat of energy
development.
Comments Related to Inadequacy of
Existing Regulatory Mechanisms
Comment 18—Existing regulatory
mechanisms, including the Energy
Regulatory Act of 2005, are available to
protect Penstemon grahamii from
mineral development as well as other
land use activities.
Our Response—We acknowledge that
regulatory mechanisms and policies
exist to incorporate conservation
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measures for this species in oil-shale or
tar-sands commercial leasing programs.
Regulatory mechanisms and policies
also are available for other land-use
activities.
Comment 19—Combined hydrocarbon
leases (e.g., conventional oil and gas
along with tar-sands) have been issued
to some extent prior to the Energy
Policy Act of 2005. There was no real
restriction to leasing in these areas as
portrayed in the Service’s proposed rule
(71 FR 3158).
Our Response—We acknowledge
there was some opportunity for oil and
gas leasing prior to the Energy Policy
Act of 2005. Energy Policy Act
provisions alleviate some of the prior
restrictions of oil and gas leasing in the
tar-sands areas.
Comment 20—Without listing, the
BLM can only require that proposed
facilities be moved 200 meters (m) (656
feet (ft)) or less, unless special
stipulations have been attached to the
lease. Even if one were able to preclude
direct habitat loss under the 200-m (656ft) limitation, substantial cumulative
indirect effects and habitat
fragmentation are likely to occur if one
is simply shuffling disturbance around
well by well, rather than actively
conserving critical habitat.
Our Response—We have considered
existing regulatory mechanisms and
management activities in this finding,
and determined that conventional oil
and gas development lease stipulations
provide sufficient conservation
measures to prevent extinction of
Penstemon grahamii.
Comment 21—The State of Utah
supports the implementation of a
Conservation Agreement for the
Graham’s beardtongue. Implementation
of a Conservation Agreement will allow
for better species’ inventory, the
opportunity to protect important
habitats, and the opportunity to reduce
potential threats to the species.
Our Response—Our analysis of the
best available scientific and commercial
data indicates that listing Penstemon
grahamii under the Act is not warranted
at this time. Therefore, it was not
necessary to further evaluate
conservation efforts associated with a
Conservation Agreement. We encourage
continued development and
implementation of conservation
measures and a Conservation Agreement
to protect and enhance P. grahamii and
its habitat.
Comments Related to Other Threat
Factors
Comment 22—Information was
provided regarding evaluations and
conservation measures applied to
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grazing allotments in Penstemon
grahamii habitat.
Our Response—We concluded that
grazing does not appear to be a species
level threat to Penstemon grahamii, and
our rationale is presented in the
Summary of Factors Affecting the
Species section. We encourage
continued monitoring and conservation
efforts to ensure grazing effects remain
minimal in the future.
Comment 23—Information was
provided regarding off-road vehicle
(ORV) use and available conservation
measures to avoid and minimize
impacts to Penstemon grahamii.
Our Response—We have no
information to indicate that ORV use is
a threat to Penstemon grahamii or its
habitat. To date, little ORV use has been
observed in the species’ range. We
encourage continued monitoring and
conservation efforts to ensure ORV
effects remain negligible in the future.
Comment 24—Overexploitation for
horticultural purposes is a threat to
Penstemon grahamii.
Our Response—We acknowledge that
the rarity and beauty of this species
makes collection a potential concern.
However, we have no information to
conclude that collection is impacting
wild populations in the species’ native
habitat. We encourage continued
monitoring and conservation efforts to
ensure horticultural collection remains
a negligible impact in the future.
Comment 25—Penstemon grahamii
may be at greater risk because of a
reduced ability to form a large seed bank
to act as a buffer in the face of
population decline, whether this
decline is weather-related or caused by
anthropogenic disturbance.
Our Response—Information
pertaining to the status, life history, and
distribution of Penstemon grahamii has
been reviewed and incorporated into
our analysis. We have noted the
presence of small population sizes at
specific locations, but we do not believe
that the threats to the species rise to a
level that listing is warranted.
Comment 26—Other concerns of
increased energy development activities
in Penstemon grahamii habitat are the
incidental spread of noxious and exotic
weeds and soil erosion, leading to
decreased plant and insect (pollinator)
biodiversity.
Our Response—We acknowledge the
presence of exotic weeds within
occupied Penstemon grahamii habitat,
including Bromus tectorum (cheatgrass)
and Halogeton glomeratus (halogeton).
Habitat disturbances associated with
future energy development activities
could exacerbate the situation. We
encourage the development and
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implementation of conservation efforts
to minimize the invasion of exotic weed
species.
Comment 27—The notice fails to
provide any scientific evidence that
disease and predation are threats to the
species.
Our Response—We have identified
that grazing may affect certain
populations of Penstemon grahamii (see
discussion in Factor A in the Factors
Affecting the Species section), but we
determined that grazing is not a threat
to the species as a whole. Therefore, we
determined that disease and predation
do not constitute threats to the
continued existence of P. grahamii.
Comment 28—The species responds
to cultivation and proliferates in
habitats other than its natural habitat
and, therefore, is capable of being
cultivated for use in reclamation and
revegetation.
Our Response—It is true that the
species has been cultivated as a garden
plant, and is available for sale in
catalogs and on the Internet.
Propagation in the wild may be
explored at a future date, but on an
experimental basis. We do not have
information at this time to conclude that
populations propagated in the wild will
be viable in the long-term. Until this
information is available, we would not
rely on restoration or revegetation of
this species from a cultivated source.
Comments Related to the Biology of the
Species
Comment 29—Green River outcrops
support a number of rare species of
special concern. The edaphic features of
Green River outcrops are natural
laboratories of evolution and endemism,
and should be preserved.
Our Response—We concur that the
Green River outcrops have significant
ecological and evolutionary values.
However, our evaluation of threats
under the Act’s criteria is restricted to
Penstemon grahamii. This final rule
does not evaluate other species
associated with the Green River
formation.
Comment 30—The limited
distribution and highly specific habitat
requirements of this species make it a
valuable component of the Utah flora
and highly vulnerable to disturbance.
Our Response—We concur that this
species is a valuable component of the
Utah flora. We considered the habitat
requirements and threats to this species
in our finding, and determined that the
level of threats to Penstemon grahamii
were insufficient to warrant listing.
Comment 31—Penstemon grahamii
habitat requirements make restoration/
reclamation of the species extremely
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difficult, if not impossible, if energy
developments were to impact any of the
known populations.
Our Response—Our finding has
evaluated the potential threats of energy
development to Penstemon grahamii.
Comment 32—Listing under the Act
results in important protections for
listed species threatened with
development. Unlisted species may
receive some consideration, but no real
protection in the face of pressure to
develop energy resources.
Our Response—Our decision
regarding Penstemon grahamii is based
on the best available scientific and
commercial data, as required by the Act.
Our determination regarding whether or
not this species warrants listing under
the Act must be based on our
assessment of the threats to the species
at the time of the decision. We
evaluated the threat of energy
development, and the effectiveness of
regulatory mechanisms in this finding.
Comment 33—A few comments
expressed concern about Penstemon
grahamii’s low population numbers and
low and declining seed set numbers, as
a result of substantial herbivory and
livestock trampling. The Nature
Conservancy’s eco-regional assessments
confirm that P. grahamii, with very low
natural population numbers and
restricted distribution, is at risk.
Our Response—Information
pertaining to the status, life history, and
distribution of Penstemon grahamii has
been reviewed and incorporated in our
analysis. We have noted the presence of
small population sizes at specific
locations, and the potential for threats to
have negative impacts if they occur. The
referenced study sites are small, and do
not provide sufficient information on
threats to conclude that Penstemon
grahamii warrants listing. Although
additional studies may be desirable, we
have made our decision based on the
best available scientific and commercial
data, as required by the Act.
Comment 34—The extinction of
Penstemon grahamii would
undoubtedly affect the only specialist
wasp, Pseudomasaris vespoides, which
feeds its offspring exclusively on
Penstemon pollen. This wasp should be
the subject of further study.
Our Response—Our evaluation is
restricted to Penstemon grahamii, which
we have determined does not warrant
listing under the Act. The wasp is a
specialist on most species of Penstemon.
Other Penstemon species occur within
the range of P. grahamii and are
apparently supporting Pseudomasaris
vespoides populations.
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Comment 35—This species may be
valuable for a cure to cancer or some
other disease.
Our Response—Many plant species
have provided important advances in
medicine. However, our determination
regarding whether or not this species
warrants listing under the Act must be
based on our assessment of the threats
to the species, as they are known at the
time of the decision.
Comment 36—Current and historic
population trend data do not show any
decline in the population of Penstemon
grahamii.
Our Response—We evaluated
available population status and trend
information for the species in this
finding.
Comment 37—Penstemon grahamii
habitat is not dependent on oil-shale as
represented. The association with oilshale may be coincidental, and there is
a substantial likelihood that the species’
distribution is more widespread than
presented in the proposed rule.
Our Response—We cite several
sources that indicate Penstemon
grahamii is associated with oil-shale
outcrops. We are not aware of any data
indicating that the species is more
widely distributed than as we described
in the proposed rule and this document.
Comment 38—Oil and gas operations
are typically able to avoid individual
plants.
Our Response—Our finding has
evaluated the threat of energy
development to Penstemon grahamii.
We encourage development and
implementation of conservation efforts
to avoid impacts to P. grahamii and its
habitat.
Comment 39—There is no clear
evidence that the species’ environment
is as fragmented as is implied by the
delineation of the units.
Our Response—Our decision
regarding Penstemon grahamii is based
on the best available scientific and
commercial data, as required by the Act.
We have described the species’ known
distribution and provided citations for
this information in our finding.
Comment 40—There are areas in
Uintah County that have shown no
previous signs of this plant. However
when the ground has been disturbed,
followed by a rainfall, the plant has
flourished. Listing this plant to prevent
disturbance in the area, seems to defeat
the natural course of growth, which
includes ground disturbance and water.
Our Response—To our knowledge the
potential for land disturbance to
facilitate Penstemon grahamii
conservation has not been studied.
However, we have no documentation of
this species responding favorably to
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disturbance as described above.
Observations of biologists studying this
species have not shown any such
response to surface disturbance, and we
provide a detailed description of the
species’ habitat requirements in the
Background section of this document.
Comment 41—Penstemon grahamii
must be considered extremely rare
whether considered at the global,
national, State, or county level.
Our Response—Rarity in and of itself
does not automatically lead to listing.
Our determination of whether or not
listing this species under the Act is
warranted must be based on our
assessment of the threats to the species,
as they are known at the time of the
decision.
Comments Related to General Listing
Issues Under the Act
Comment 42—The various Federal
Register notices are deficient in that
they do not identify, other than by
author, name, and year, the references
on which they rely. The Administrative
Procedures Act and other authorities
require a reasonable opportunity to
comment on proposed rules. The
publications and page numbers at which
the references appear could easily have
been included in one of the notices.
Our Response—We have included
page numbers with citations in this
notice, and the list of references and the
references themselves are available for
inspection at our Utah Field Office (see
ADDRESSES section).
Comment 43—Several commenters
supported the proposal to list
Penstemon grahamii and designate
critical habitat, based on the species’
status and the threats analysis presented
in the proposed rule.
Our Response—We have reevaluated
the best available scientific and
commercial data, based on information
received during the public comment
period, and have determined that the
threats to Penstemon grahamii
described in the proposed rule are not
sufficient to warrant listing under the
Act at this time. Our analysis is
presented in the Summary of Factors
Affecting the Species section.
Comment 44—A commenter felt that
listing of this species is not warranted.
Our Response—We have considered
all factors potentially affecting
Penstemon grahamii in our decision and
determined that the listing is not
warranted. We have made our decision
based on the best available scientific
and commercial data, as required by the
Act.
Comment 45—Penstemon grahamii
meets all five requirements to be listed
as a threatened species.
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Our Response—Our analysis of the
best available scientific and commercial
data determined that listing Penstemon
grahamii is not warranted at this time.
Our analyses and conclusions are
described in detail in the Summary of
Factors Affecting the Species section.
Comment 46—The U.S. House of
Representatives has passed House Bill
3824, which will amend the Act and
repeal critical habitat requirements. The
Service should delay any listing
decisions until a final determination is
made on this legislation.
Our Response—The Act requires that
we finalize proposed listings within 12
months of publication. In this case, we
also are responding to a court-approved
settlement agreement to complete a
listing determination by December 8,
2006. Therefore, we are unable to
postpone completion of this listing
decision.
Comment 47—Listing Penstemon
grahamii now could protect against the
most damaging projects in its habitat,
and allow for recovery.
Our Response—Our decision
regarding Penstemon grahamii is a
listing, not a recovery decision. Our
determination of whether or not this
species warrants listing under the Act
must be based on our assessment of the
threats to the species, as they are known
at the time of the decision, not the
potential for recovery under the Act.
Comment 48—If listing is denied, the
little extra attention that Penstemon
grahamii has received based on its
candidate status will disappear.
Our Response—Candidate species are
plants and animals for which the
Service has sufficient information on
their biological status and threats to
propose them as endangered or
threatened under the Act, but for which
a proposed listing regulation is
precluded by other higher priority
listing activities. Candidate species
receive no statutory protection under
the Act. The BLM has designated
Penstemon grahamii as a ‘‘special status
species’’ and as such will provide strong
consideration for the species in its land
use planning and will implement
measures to conserve the species and
protect its habitat. The BLM has made
an explicit commitment to conserve this
species into the future, regardless of any
energy or other development action
within the species range (BLM 2001,
2006a p. 1–2). We encourage the
formation of partnerships to conserve
these species because they are, by
definition, species that warrant future
protection under the Act. Our decision
not to list Penstemon grahamii removes
the species from candidate status.
However, P. grahamii retains its status
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as a BLM special status species. In
addition, we are partnering with Federal
and State agencies to develop and
implement a Conservation Agreement
for P. grahamii. This Conservation
Agreement is not the basis for this
withdrawal.
Comment 49—If the plant is listed as
threatened, the Service should adopt a
special rule under section 4(d) of the
Act that would provide that any energy
development projects undertaken in
accordance with BLM-mandated terms
and conditions would not constitute a
violation of any of the Act’s plantrelated prohibitions.
Our Response—Our analysis of the
best available scientific and commercial
data determines that Penstemon
grahamii is not warranted for listing
under the Act.
Comment 50—The proposed rule pays
little attention to the best commercial
data which, if considered, would
provide both an estimate of the
magnitude of the potential threats, and
the adverse economic impact of listing
Penstemon grahamii.
Our Response—This final rule
includes our analysis of the magnitude
of potential threats to this species, and
we have determined that these threats
are not sufficient to warrant listing the
species under the Act at this time. The
Act does not include economic
considerations as a factor in listing
decisions.
Comment 51—Listing under the Act
ensures benign neglect of a species; it
does nothing to proactively ensure
proliferation of a species.
Our Response—Our determination of
whether or not this species warrants
listing under the Act must be based on
our assessment of the threats to the
species, as they are known at the time
of the decision, not whether listing
would ensure the species’ recovery.
Comment 52—Costs to the Nation’s
economy and energy security can be
avoided by withdrawal of the proposed
rule, as warranted by the scientific and
commercial evidence.
Our Response—Our determination as
to whether or not this species warrants
listing under the Act must be based on
our assessment of the threats to the
species, as they are known at the time
of the decision. The Act provides for
evaluating economic considerations
when designating critical habitat, but
not when making listing determinations.
Comment 53—A commenter
disagreed with the statement on page
3173 that the action is not a significant
energy action.
Our Response—Our analysis of the
best available scientific and commercial
data indicates that listing Penstemon
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grahamii is not warranted at this time.
Therefore, it was not necessary to
further evaluate significant energy
effects, or prepare an economic analysis
for the designation of critical habitat.
Comment 54—It appears that no
attempt is being made to designate or
restore all original habitats once
occupied by this species.
Our Response—The Act does not
require restoration of all historic habitat
for a listed species, nor does it require
designation of all historic range as
critical habitat. By determining that this
species does not warrant listing we
indicate that it is not in danger of
becoming extinct throughout all or a
significant portion of its range, or likely
to become so in the foreseeable future.
Comment 55—A recovery plan is not
a part of the current proposal.
Our Response—Recovery Plans are
only completed for listed species under
the Act. This current finding has
determined that listing Penstemon
grahamii under the Act is not
warranted.
Comments Related to Agency
Management of the Species
Comment 56—The Energy Policy Act
strengthens the BLM and Service
capability to protect this species.
Our Response—The 2005 Energy
Policy Act resulted in increased staffing
and funding levels for pilot project
offices, including the Vernal BLM Field
Office. We strongly encourage BLM to
utilize these available resources to
ensure long-term, successful
conservation efforts for Penstemon
grahamii and other listed and sensitive
species during energy project planning
and implementation.
Comment 57—The BLM has done a
poor job of protecting plant
communities from rapid
industrialization and lawless ORV use.
Our Response—We considered
potential threats, such as increased
energy development and ORV use, in
our finding, but we were unable to
document threats from these activities
that would warrant listing Penstemon
grahamii.
Comment 58—There is no assurance
at this point that the BLM, through the
Vernal Resource Management Plan
(RMP), will provide adequate protection
for Penstemon grahamii.
Our Response—Our determination of
whether or not this species warrants
listing under the Act must be based on
our assessment of the threats to the
species, as they are known at the time
of the decision. We understand that all
action alternatives within the BLM’s
draft Vernal RMP commit the BLM to
protect the populations and habitat of
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Special Status Species, including P.
grahamii.
Comment 59—The Act provides no
authority to protect this plant on State
or private lands. Therefore, it is that
much more important to protect them
on Federal lands.
Our Response—Existing regulatory
mechanisms were evaluated for our
finding. We encourage Federal land
management agencies to continue
conservation efforts for Penstemon
grahamii and its habitat. In addition we
will work with both the State of Utah
and private landowners to encourage
voluntary measures to conserve viable
populations of the species and its
habitat on their properties.
Comment 60—BLM has recently
initiated survey and life history studies
for Penstemon grahamii. Life history
and survey data are out of date and may
not accurately portray the species’
distribution and abundance. Lack of
information may affect the Service’s
decisions regarding critical habitat
designation.
Our Response—We agree that
additional population status,
distribution, and life history
information would be useful to
determine the status of the species and
identification of critical habitat.
However, as required by the Act, we
have used the best scientific and
commercial information available when
making the determination on whether to
list Penstemon grahamii.
Comment 61—All action alternatives
in the draft BLM Vernal RMP would
lead to Penstemon grahamii being more
imperiled.
Our Response—The BLM has
provided its commitment to continue
implementation of effective
conservation measures through the RMP
to ensure long-term conservation of P.
grahamii. Our analysis of the best
available scientific and commercial data
reveals that P. grahamii is not warranted
for listing under the Act. We have
evaluated existing regulatory
mechanisms in our finding. All action
alternatives within the BLM’s draft RMP
commit the BLM to protect the
populations and habitat of Special
Status Species, including P. grahamii.
We have identified specific protective
measures for the protection of P.
grahamii which BLM will include in the
final RMP and as stipulations in all
subsequent mineral leases. (See
discussion under listing Factors A and
D below.)
Comment 62—The BLM Vernal Field
Office has continued to offer oil and gas
lease parcels even though it is in the
midst of a Plan revision, and the Service
must consider that the areas unleased
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because of tar-sands development
potential could be offered in any
upcoming sale.
Our Response—Our analysis assumes
that leasing will occur in suitable tarsands areas and other areas in the Uinta
Basin. Leasing does not necessarily
mean that an area will be developed for
oil and gas. We have addressed the
potential impacts of energy
development to Penstemon grahamii in
our finding, and determined that those
impacts now and in the foreseeable
future do not rise to the level that would
warrant listing of the species.
Comment 63—In the Castle Peak
Environmental Impact Statement, the
BLM was quite frank about not being
able to impinge on valid, existing lease
rights, and openly refused to require No
Surface Occupancy within the Pariette
Wetlands Area of Critical
Environmental Concern (ACEC), even
though (1) that was one of the
expectations set forth in the biological
opinion, and (2) Uinta Basin hookless
cactus’ (Sclerocactus glaucus) listed
status should have allowed the agency
to place additional constraints on those
leases. The BLM White River Field
Office also has permitted pipelines
through ACECs designated for the
Dudley Bluffs plants, in what appears to
be direct contravention of the White
River RMP.
Our Response—This finding pertains
to Penstemon grahamii, not other plant
species in the area. Our analysis of the
best available scientific and commercial
data indicates that P. grahamii is not
warranted for listing under the Act. We
have considered existing regulatory
mechanisms and management activities
in this finding. The Service encourages
the successful development and
implementation of conservation
measures for P. grahamii to maintain the
species’ status in the long-term.
Comment 64—The BLM has provided
very little in the way of conservation
measures for Penstemon grahamii,
despite its candidate status.
Our Response—We have considered
existing regulatory mechanisms and
management activities in this finding,
and determined that the impacts to
Penstemon grahamii populations and
habitat are not sufficient to warrant
listing under the Act. This species has
been a listing candidate for decades, and
we have no evidence to indicate that
current BLM management is resulting in
serious impacts to populations of this
species.
Comments Related to Critical Habitat
Comment 65—There were numerous
comments regarding the importance,
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extent, and boundary lines regarding the
proposed critical habitat designation.
Our Response—We considered all
factors potentially affecting Penstemon
grahamii in our decision and we have
determined that the listing is not
warranted. Therefore, we are
withdrawing our proposed critical
habitat designation.
Summary of Factors Affecting the
Species
Section 4 of the Act and regulations
(50 CFR part 424) promulgated to
implement the listing provisions of the
Act set forth the procedures for adding
species to Federal lists. We analyzed the
threats applicable to the species in the
present and foreseeable future to
determine whether the species as a
whole meets the definition of
endangered or threatened due to one or
more of the five factors described in
section 4(a)(1). The five factors
considered and their application to P.
grahamii are as follows:
A. The Present or Threatened
Destruction, Modification, or
Curtailment of Its Habitat or Range
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Energy Resources
Our proposed rule concluded that
recent Federal policy direction,
technological advances, world oil
demand, and economics have renewed
the desirability to invest in renewed
energy development in Utah and
Colorado. However, based on comments
received on the proposed rule, it
appears that the development of oilshale and tar-sands resources in
Penstemon grahamii habitat is not likely
to occur, if it occurs at all, until at least
20 years into the future.
Penstemon grahamii has been listed
as a candidate species since 1980, in
part due to the potential threat of
increased energy development (Service
2004). The habitat of P. grahamii is a
series of knolls and slopes of raw oilshale derived from the Green River
geologic formation (Shultz and Mutz
1979a, pp. 38–42; Shultz and Mutz
1979b, pp. 25–38; Neese and Smith
1982a, pp. 63–66; Neese and Smith
1982b, pp. 115–140; Borland 1987, p. 1;
Franklin 1993, Appendix D; Franklin
1995, Appendix B; Colorado NHP 2005,
pp. 1–20; Utah NHP 2005, pp. 1–124;
Service 2005, pp. 1–13; Decker et al.
2006, pp. 3–10). Oil-shale resources
associated with the Green River
formation underlie approximately
41,440 km2 (16,000 mi2) and represent
the largest known concentration of oilshale in the world with potential
recoverable reserves in excess of 1
trillion barrels (Bartis et al. 2005, pp. 5–
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7; Bunger et al. 2004 p. 1; Dyni 2003,
pp. 241–245; Lonnie 2005, pp. 1–3). P.
grahamii only grows directly on
weathered surface exposures of the oilshale bearing strata in the Parachute
member and closely associated strata,
making the species vulnerable to
impacts if that oil-shale strata is
exploited in the future (Bartis 2005, pp.
35–37; Cashion 1967, p. 31, Fig. 8;
Johnson et al. 2004b. pp. 3–5; Service
2005, p. 21; Shultz and Mutz 1979a, p.
42; Neese and Smith 1982a, pp. 64–66).
One hundred five of 109 (96 percent)
Penstemon grahamii occurrences are in
the Parachute Creek member of the
Green River formation; the remaining 4
sites are in oil-shale strata of the
Evacuation Creek member of the Green
River formation (Service 2005, p. 21;
Shultz and Mutz 1979a, p. 39; Neese
and Smith 1982a, p. 64). Oil-shale beds
are most numerous and important in the
Parachute Member of the Green River
formation (Cashion 1967, p. 13), but the
underlying Evacuation Creek member
also contains a few beds of oil-shale
(Cashion 1967, p. 17). The 105
occurrences in the Parachute Creek
member harbor an estimated 6,100
individuals or 98 percent of the species’
estimated population of 6,200 (Shultz
and Mutz 1979a, pp. 38–42; Neese and
Smith 1982a, pp. 63–66).
There are no oil-shale or tar-sand
development projects currently in
operation or proposed within the known
occupied habitat of Penstemon
grahamii, or anywhere else in the
United States (BLM 2006a, p. 13). The
BLM projects that the oil-shale industry
will focus its earliest commercial
production efforts in the Piceance Basin,
Colorado, about 48.3 km (30 mi) from
the nearest known P. grahamii
occurrence (BLM, 2006, pp. 14, 36). The
Piceance Basin contains larger oil-shale
deposits than the Uinta Basin in Utah.
Deposits are more than 305 m (1,000 ft)
thick in parts of the Piceance Basin and
continuous across 311 km2 (120 mi2)
(BLM, 2006, p. 14).
Initial industry interest appears to
support BLM projections. In 2005, the
BLM received 20 proposals and
applications for oil-shale Research,
Development, and Demonstration
(RD&D) leases on Federal lands in
Colorado and Utah. None of these RD&D
lease applications are within the
occupied habitat of Penstemon grahamii
(BLM 2006a, pp. 6, 12–13). The nearest
is about 3.2 km (2 mi) southeast of
known occurrences (on Green River
shale barrens). Of the 20 RD&D lease
application proposals, the BLM selected
6 for further consideration—5 are in
Colorado in the Piceance Basin about 50
km (30 mi) east of the P. grahamii’s
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population at Raven Ridge. The one
Utah RD&D application still under
review is located about 8 km (5 mi) west
and 13 km (8 mi) north of the nearest
P. grahamii occurrences in habitat not
suitable for the species (BLM 2006a, pp.
12–13, 15, 18–19, 34).
Any future oil-shale development
within the Uinta Basin nearest the range
of Penstemon grahamii is expected to be
associated with the thickest deposits of
oil-shale, which occur about 8 km (5 mi)
from the nearest occurrence of P.
grahamii (BLM 2006a, pp. 12–13). These
deposits occur in the vicinity of the
aforementioned Utah RD&D proposal.
We do not have information to indicate
that oil-shale development, if it occurs
at commercial levels, will overlap
known P. grahamii occurrences.
Oil-shale and tar-sands development
has failed to materialize due largely to
technological problems and unfavorable
economics. The first interest in oil-shale
extraction occurred in the latter years of
and immediately following World War I.
However, limited accessibility and low
economic viability resulted in declining
interest. More recently in the 1970–
1980s, BLM made oil-shale resources on
public lands available through the Oil
Shale Prototype Program, which was
designed to allow companies to develop
and refine the technology for extracting
oil from oil-shale. Since then, during the
mid-1980s and 1990s, interest in oilshale development lagged because of
declining petroleum prices (Bartis et al.
2005, p. 1; Lonnie 2005, pp. 1–3).
Significant economic questions
remain concerning the development of
the Green River formation oil-shale and
tar-sands (Bartis et al. 2005, pp. 15, 53;
BLM 2006a, pp. 7, 15–19, 31, 34–36).
The cost associated with an enormous
and essentially new industry using new
and innovative technologies is likely to
be great. Economic success of oil-shale
and tar-sands derived petroleum will
depend on continuing and stable
petroleum prices at a level of $70 to $95
per barrel. Due to past fluctuation of
petroleum prices, private industry has
exhibited a reluctance to proceed with
research, development, and subsequent
commercial production of oil-shale.
This situation will likely continue
unless the petroleum industry is
convinced that petroleum prices will
remain high well into the future (Bartis
et al. 2005, pp. 59–61; Bunger et al.
2004, pp. 7–9).
Various technologies for oil-shale
extraction and processing into synthetic
petroleum have been explored. The
traditional approach is mining the oilshale either by surface mining (i.e.,
removing the surface non oil-shale
bearing material from the underlying
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oil-shale ore body then removing the
oil-shale itself for further processing) or
underground mining (i.e., digging a
vertical shaft through the surface non
oil-shale bearing material to the
underlying oil-shale ore body, or where
possible digging a horizontal shaft into
the oil-shale ore body, then removing
the oil-shale by various underground
mining techniques for further
processing) (Bartis et al. 2005, pp. 11–
13; BLM 2006a, pp. 14, 32–33). Raw oilshale is then retorted by heating to
vaporize the carbon containing kerogen
(shale oil) and then hydrolyzed, by the
adding of hydrogen, to form synthetic
petroleum which then can be refined by
traditional methods into hydrocarbon
fuels and other products (Bartis et al.
2006, pp. 13–14). Mining techniques are
centuries old and are an effective direct
approach to accessing ore bodies
including oil-shale. Recent new
technologies involve in-situ removal of
kerogen directly from oil-shale by
drilling wells into the oil-shale ore body
and heating the underground oil-shale
ore body and then extracting the
liquefied kerogen for further processing
(Bartis et al. 2005, p. 17; BLM 2005, pp.
32–33). There have been several
variations of in-situ oil-shale recovery
proposed and investigated (Bartis et al.
2005, pp. 17–20; BLM 2006a, pp. 32–
33).
Surface mining is potentially the most
damaging process to the environment.
In-situ oil-shale recovery may be much
less destructive to the environment.
There is still great uncertainty as to the
procedures that may be used in future
oil-shale development, including within
the range of Penstemon grahamii where
there are no current proposals for oilshale development.
Even if economic and technological
conditions favor oil-shale and tar-sand
development, it would be at least 20
years before any production would
begin in or near Penstemon grahamii
occupied habitat, if it occurs in those
locations at all. Indications are that
initial oil-shale development will take
place at existing RD&D sites in the
Piceance Basin of Colorado and
immediately south of the White River in
the Uinta Basin of Utah (BLM 2006a, pp.
6, 38–40). None of the sites are within
the range of P. grahamii, nor does
suitable habitat exist for the species at
those sites. At present there are no tarsand development projects proposed for
the PR springs tar-sand area which
underlies portions of P. grahamii’s range
(BLM 2006a, p. 33).
The entire range of Penstemon
grahamii also is underlain with deposits
of traditional petroleum resources,
primarily natural gas. Impacts to P.
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grahamii from energy development have
been largely avoided to date because
surface disturbance within the species’
habitat has been minimal. For example,
under the existing development
situation, only 5 of the known
occurrences (4.6 percent) have oil and
gas wells located within them (Service
2005 , p. 17). Thirty-nine active wells
are within 1.6 km (1 mi) of P. grahamii
occupied habitat, and future oil and gas
development within P. grahamii habitat
is likely. Of the 109 occurrences of P.
grahamii, 69 (63 percent) are currently
leased for oil and gas drilling, or are
within established oil and gas fields that
have active resource extraction
programs. Ninety-six of the species’ 109
known occurrences (88 percent) are
within active seismic exploration areas
(BLM 2003).
The BLM reports that conservation
stipulations for Penstemon grahamii
near well locations have prevented
adverse impacts to the species’ habitat
and possible loss of P. grahamii
individuals (BLM 2005, pp. 2–29, 2–30,
3–94, 4–233; Specht 2005).
Conservation measures include moving
well pad and pipeline locations to avoid
direct impacts to the species. The BLM
considers these measures to be effective
protection mechanisms (Specht 2005).
The BLM, as part of its sensitive species
program outlined in its Administrative
Manual 6840, will continue to provide
protection to the species and its habitat
through land use planning and
implementation of conservations
measures for oil and gas development
(BLM 2005, pp. 2–29, 2–30, 3–94, 4–
233; BLM 2006a, p. 43).
The BLM has stressed its commitment
to develop appropriate regulations for
the leasing program, and to develop
conservation measures for Penstemon
grahamii and other plant species within
future Federal oil-shale and tar-sand
lease areas in Utah and Colorado (BLM
2006b). These conservation measures
are intended to eliminate significant
potential threats to P. grahamii from oilshale and tar-sand development, and
will be applied to lease stipulations for
oil-shale and tar-sands when and if they
are issued (BLM 2000, p. 8). Additional
mitigation measures to conserve P.
grahamii also will be developed at the
operational stage (BLM 2006a, pp. 24–
27). Because these conservation
measures have not yet been developed,
we are not basing this withdrawal on
their potential implementation.
However, we expect development and
implementation of sufficient
conservation measures to help ensure
long-term protection of the plant if oilshale development becomes
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76033
economically and technologically
feasible.
Approximately 60 percent of the
species’ population and 75 percent of
the species’ occupied habitat is on
Bureau of Land Management (BLM)
managed land with the remainder on
non-Federal lands under State or private
ownership (USFWS 2005). These State
and private lands are intermingled
within a broad mosaic of land
ownerships dominated by Federal
(BLM) lands. With this ‘‘checkerboard’’
spatial pattern of ownerships, largescale development on non-Federal lands
would, at a minimum, require
coordination with the BLM. In most
cases, development of these lands
would only be possible via
consolidation of Federal and nonFederal lands into economically viable
development units (Bunger 2006),
which would require extensive review
under the National Environmental
Policy Act (NEPA) among other Federal
laws.
Biological studies specific to
Penstemon grahamii and sympatric
species are in their beginning phase
(Lewinsohn et al. 2005).
At this time, we have no information
demonstrating population declines,
range contraction, or significant habitat
impacts for P. grahamii because of
energy development (which includes
current traditional oil and gas
exploration, drilling and production,
and potential oil-shale and tar-sand
development). Therefore, we conclude
that energy development within the
range of P. grahamii is not currently a
threat to the species, nor is it likely to
become a significant threat in the
foreseeable future, such that listing
under the Act is warranted.
Other Activities
Grazing may have localized effects on
Penstemon grahamii, and one
occurrence of the species is believed to
have been eradicated by livestock
trampling. The Dragon Sheep bed site
first recorded in a 1982 survey (Neese
and Smith 1982b, p. 137) has not been
relocated in recent years. This is an area
of heavy sheep grazing and trampling,
which is thought to have caused the
possible extirpation of this occurrence
(England 2003). Lewinsohn (2005 pp. 1,
12–14) reported a general decline in the
species at one study area due to
overgrazing. However, no research has
been conducted to document effects of
grazing on P. grahamii populations or
habitat, and we have no information
indicating that grazing impacts threaten
the continued existence of the species
throughout all or a significant portion of
its range.
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To date little ORV use has been
observed in the species’ range. Federal
and energy industry personnel are
increasingly utilizing ORVs in oil and
gas field survey and site location
development prior to the establishment
of oil field road networks (Specht 2005).
However, we do not have any
information indicating that ORV use is
a threat to Penstemon grahamii or its
habitat.
Based on our analysis of the best
available scientific and commercial
information, we conclude that the
present or threatened destruction,
modification, or curtailment of
Penstemon grahamii habitat or range is
not currently a threat to the species, nor
is it likely to become a significant threat
in the foreseeable future, such that
listing under the Act is warranted.
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B. Overutilization for Commercial,
Recreational, Scientific, or Educational
Purposes
Penstemon grahamii is a species of
horticultural interest. The species is
advertised on the internet and plants
and seed are available. In 2004, a
Penstemon collector approached Red
Butte Garden (the Utah State botanical
garden located at the University of Utah)
inquiring how to obtain seeds of P.
grahamii (Lewinsohn 2004). Several
internet sites identify P. grahamii as a
desirable plant for gardens or
horticultural exhibitions. However, we
do not have any information indicating
that collection from the wild is
occurring or if it is occurring, the level
of collection or the impact of collection
on wild populations.
Based on our analysis of the best
available scientific and commercial
information, we conclude that
overutilization of Penstemon grahamii
for commercial, recreational, scientific,
or educational purposes habitat or range
is not currently a threat to the species,
nor is it likely to become a significant
threat in the foreseeable future, such
that listing under the Act is warranted.
C. Disease or Predation
Penstemon grahamii is grazed by
wildlife, including rodents, rabbits,
antelope, deer, elk, and insects (Shultz
and Mutz 1979a, pp. 37–42; Neese and
Smith 1982a, pp. 63–66; England 1979;
Specht 2005; Lewinsohn et al. 2005, pp.
2, 12–14, 17). The species also is grazed
by livestock, primarily sheep. There are
some anecdotal reports of the possible
impacts of grazing on P. grahamii. For
example, recent attempts to establish
pollination studies and population
monitoring plots for the species were
complicated by overgrazing, which
resulted in the loss of flowers before
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seeds set, resulting in no reproduction
(Lewinsohn et al. 2005, p. 17).
Lewinsohn also reported that all sites
visited in southern Uintah County were
either too small or too heavily grazed to
conduct suitable pollination studies.
However, there are no specific studies
on the effects of grazing on this species.
Based on our analysis of the best
available scientific and commercial
information, we conclude that disease
or predation are not currently threats to
Penstemon grahamii, nor are they likely
to become significant threats in the
foreseeable future, such that listing
under the Act is warranted.
D. The Inadequacy of Existing
Regulatory Mechanisms
No Federal or State laws or
regulations specifically protect
Penstemon grahamii. The species is not
protected by the Convention on
International Trade in Endangered
Species of Wild Fauna and Flora. Some
populations occur on private lands,
which were given mineral entry patents
during the 1920s specifically because of
oil-shale values. There is no regulatory
protection for Penstemon grahamii on
non-Federal lands.
The majority of Penstemon grahamii
populations occur on lands
administered by the BLM. The BLM
administratively recognizes rare and
potentially imperiled plant species for
special management consideration
through its 6840 Manual for special
status species, which includes P.
grahamii. Because P. grahamii will be
classified as a special status species,
BLM will continue to provide
conservation protection to the plant
(BLM 2006b, pp. 1–2). The BLM,
through existing land management
regulations, land use planning, and
specific lease and use stipulations (BLM
2006a, pp. 43–70), has considerable
regulatory authority to manage lands
and resources under its jurisdiction.
These include oil and gas leasing
regulatory mechanisms such as: land
use planning guidance; lease sale
stipulations; exploration and field
development analysis and planning
guidance for oil and gas fields and
geophysical exploration; an individual
oil and gas well review and approval
(Applications for Permit to Drill (APD))
process; and on-the-ground inspection
processes for compliance with lease and
APD stipulations (BLM 2005; BLM
2006a, pp. 45–53, 60, 67–69).
Oil-shale and tar-sand regulatory
mechanisms are under development,
but will follow a similar environmental
protection direction (BLM 2006a, p 45).
These measures will only be necessary
if oil-shale development occurs in the
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future in habitat for Penstemon
grahamii. In addition, the BLM has
significant authority to regulate and
manage grazing on lands under its
jurisdiction (BLM 2005; BLM 2006a, pp.
54–56, 60); ORV use (BLM 2005; BLM
2006a, pp. 58, 60); and collection of
plant materials for horticultural and
other uses (BLM 2006a, pp. 56–58).
We conclude that BLM has the
necessary regulatory mechanisms in
place to provide for the conservation of
Penstemon grahamii and the protection
of its habitat.
Based on our analysis of the best
available scientific and commercial
information, we conclude that the
inadequacy of existing regulatory
mechanisms is not currently a threat to
Penstemon grahamii, nor is it likely to
become a significant threat in the
foreseeable future, such that listing
under the Act is warranted.
E. Other Natural or Manmade Factors
Affecting Its Continued Existence
We note the presence of exotic weeds
within occupied Penstemon grahamii
sites, including Bromus tectorum
(cheatgrass) and Halogeton glomeratus
(halogeton) (England 2003). These
invasive exotic species are most
abundant along roads and well site
locations (Specht 2004). These species
may compete with P. grahamii, thus
further degrading habitat quality.
However, we have no information to
indicate that exotic weeds threaten the
existence of P. grahamii.
Little is known concerning the
species’ pollination biology. The BLM is
currently funding pollination biology
studies (Bolander 2005; Lewinsohn et
al. 2005, pp. 12–14, 17). Collections and
observations of pollinators to the
flowers of Penstemon grahamii have
been limited over the past two flowering
seasons because of the paucity of
flowering plants. The most consistent
pollinator of this species is likely to be
the wasp Pseudomasaris vespoides
(Lewinsohn et al. 2005, p. 17). Because
flowers of P. grahamii appear to be very
scarce, this plant species may be unable
to support a viable population of P.
vespoides. Successful reproduction by
P. grahamii may depend on the
occurrence of other concurrently
blooming Penstemon species which
support and keep abundant populations
of P. vespoides in the area.
Low population numbers and habitat
fragmentation pose a threat to rare plant
species’ genetic potential to adapt to
changing environmental conditions
(Lienert 2002, pp. 62, 63, 66; Matthies
et al. 2004, pp. 481, 486). Three of
Penstemon grahamii’s 5 population
habitat units have 200 or fewer
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individuals. In addition, 8 smaller
occurrences with populations of 20 or
fewer individuals are isolated, and 10
km (6 mi) or more from the core area of
the 5 P. grahamii population units.
These smaller occurrences of P.
grahamii may not be at levels that
would ensure the species’ long-term
demographic stability and genetic
viability. The effects of habitat
degradation and fragmentation caused
by human activities in concert with the
effects of deleterious natural
phenomena, such as drought, may lead
to the extirpations of small, localized
populations. At present there are no
studies or information on these threats
relative to P. grahamii, and we have no
information to indicate that low
population levels and habitat
fragmentation have range-wide effects
on the species.
Based on our analysis of the best
available scientific and commercial
information, we conclude that there are
no other natural or manmade factors
affecting the continued existence of
Penstemon grahamii such that listing
under the Act is warranted.
Listing Determination
rwilkins on PROD1PC63 with PROPOSALS2
We have carefully assessed the best
scientific and commercial information
available regarding threats to Penstemon
grahamii. After a review of additional
information provided during the public
comment period, we have determined
that existing and potential threats to P.
grahamii and its habitat are not
sufficient to warrant listing the species
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as threatened or endangered under the
Act. No documented decreases in
population numbers or range of
distribution have been documented for
P. grahamii. Potential threats to the
species’ habitat from energy
development, including traditional oil
and gas exploration, field development,
and production, have been adequately
addressed and mitigated by BLM
policies, land use planning, and on-theground protective measures. Oil-shale
development has the potential to cause
increased habitat loss and fragmentation
in areas of occupied P. grahamii habitat.
However, there is great uncertainty over
the technological and economic
viability of commercial production, and,
therefore, over timing and eventual
location of oil-shale extraction. Based
on the best available information, we
conclude that there may never be a
significant impact to the species from
oil-shale or tar-sand energy
development, and if there is it will not
occur for at least the next 20 years. No
significant habitat threats from livestock
grazing or ORV use are presently
affecting the species. Overutilization for
horticultural use is not known to be
negatively impacting populations.
Because we have determined there are
no significant threats that warrant
listing this species under the Act, we
withdraw our proposed listing rule and
proposed critical habitat designation for
Penstemon grahamii, as published in
the Federal Register of January 19, 2006
(71 FR 3158). We are taking this action
under section 4(b)(6)(A)(i)(IV) of the
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76035
Act. Our decision to withdraw the
proposed rule to list Penstemon
grahamii also removes the species from
candidate status under the Act.
In making this finding, we recognize
there are potential future threats to the
species from energy development,
particularly if oil-shale and tar-sands
development is commercialized in the
Uinta Basin. We further conclude that
additional population inventory, habitat
and population monitoring, and life
history studies are needed for P.
grahamii. If realization of any potential
threats occurs, we will reexamine the
status of P. grahamii.
References Cited
A complete list of all references cited
is available at the Utah Field Office,
U.S. Fish and Wildlife Service (see
ADDRESSES above).
Author
The primary author of this document
is John L. England of the Utah Fish and
Wildlife Service Field Office (see
ADDRESSES above).
Authority
The authority for this action is section
4(b)(6)(B)(ii) of the Endangered Species
Act of 1973, as amended (16 U.S.C. 1531
et seq.).
Dated: December 6, 2006.
Marshall Jones,
Acting Director, U.S. Fish and Wildlife
Service.
[FR Doc. E6–21260 Filed 12–18–06; 8:45 am]
BILLING CODE 4310–55–P
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Agencies
[Federal Register Volume 71, Number 243 (Tuesday, December 19, 2006)]
[Proposed Rules]
[Pages 76024-76035]
From the Federal Register Online via the Government Printing Office [www.gpo.gov]
[FR Doc No: E6-21260]
[[Page 76023]]
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Part II
Department of the Interior
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Fish and Wildlife Service
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50 CFR Part 17
Endangered and Threatened Wildlife and Plants; Withdrawal of Proposed
Rule to List Penstemon grahamii (Graham's beardtongue) as Threatened
With Critical Habitat; Proposed Rule
Federal Register / Vol. 71, No. 243 / Tuesday, December 19, 2006 /
Proposed Rules
[[Page 76024]]
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DEPARTMENT OF THE INTERIOR
Fish and Wildlife Service
50 CFR Part 17
RIN 1018-AU49
Endangered and Threatened Wildlife and Plants; Withdrawal of
Proposed Rule to List Penstemon grahamii (Graham's beardtongue) as
Threatened With Critical Habitat
AGENCY: Fish and Wildlife Service, Interior.
ACTION: Proposed rule; withdrawal.
-----------------------------------------------------------------------
SUMMARY: We, the U.S. Fish and Wildlife Service (Service), withdraw the
proposed rule, published in the Federal Register on January 19, 2006
(71 FR 3158), to list Penstemon grahamii (Graham's beardtongue) as a
threatened species with critical habitat under the Endangered Species
Act (Act) of 1973, as amended. We have determined that listing is not
warranted because threats to the species as identified in the January
19, 2006, proposed rule are not significant, and available data do not
indicate that the threats to the species and its habitat, as analyzed
under the five listing factors described in section 4(a)(1) of the Act,
are likely to threaten or endanger the species in the foreseeable
future throughout all or a significant portion of its range. Our
decision to withdraw the proposed rule to list Penstemon grahamii also
removes the species from candidate status under the Act.
DATES: The proposed rule published at 71 FR 3158, January 19, 2006
concerning Graham's beardtongue is withdrawn effective December 19,
2006.
ADDRESSES: Supporting documentation for this rulemaking is available
for public inspection, by appointment, during normal business hours at
the U.S. Fish and Wildlife Service, Utah Field Office, 2369 W. Orton
Circle, West Valley City, Utah 84119.
FOR FURTHER INFORMATION CONTACT: Larry England, Botanist, at the above
address (telephone 801-975-3330, extension 138; fax 801-975-3331; or e-
mail larry_england@fws.gov).
SUPPLEMENTARY INFORMATION:
Background
In this document, it is our intent to discuss only those topics
directly relevant to the listing and designation of critical habitat
for Penstemon grahamii. For additional information on the species,
refer to the proposed rule published in the Federal Register on January
19, 2006 (71 FR 3158).
The genus Penstemon consists of dicotyledonous plants traditionally
placed in the Figwort family (Scrophulariaceae). Penstemon grahamii was
first collected from a site west of the Green River and south of Sand
Wash, in southern Uintah County, Utah, on May 27, 1933, and from a site
north of Sand Wash on the following day (Graham 1937, p. 332). P.
grahamii is an herbaceous perennial plant within the sub-genus Cristati
(N. Holmgren in Cronquist et al. 1984, p. 380). The species is
described in detail in the proposed rule (71 FR 3158).
We delineated all known locations with extant populations of
Penstemon grahamii into 109 occurrences. An ``occurrence'' is defined
in this document as: an area with continuous suitable habitat with an
extant or historical population of P. grahamii delineated on aerial
photography (Service 2005, pp. 1-3, 13). We grouped these occurrences
into five population habitat units separated by unoccupied gaps in the
species' range. A ``population habitat unit'' is defined as continuous
groups of occurrences within 5 kilometers (km) (3 miles (mi)) of each
other (Service 2005, pp. 4, 7). Available population data information
is summarized for the five population habitat units rather than each of
the 109 occurrences (Shultz and Mutz 1979b, pp 25-39; Neese and Smith
1982b, pp. 116-140; Borland 1987 p. 1; Franklin 1993, Appendix D;
Franklin 1995, Appendix B; Colorado Natural Heritage Program (Colorado
NHP) 2005, pp. 1-20; Utah Natural Heritage Program (Utah NHP) 2005, pp.
1-124; Service 2005, pp. 1-13).
The 109 occurrences within 5 population habitat units of Penstemon
grahamii collectively form the species' known range, which is
distributed in a curved band about 10 km (6 mi) wide and about 128 km
(80 mi) long. These units extend from the Sand Wash and adjacent Nine
Mile Creek drainages near the point where Carbon, Duchesne, and Uintah
Counties, Utah, meet; then easterly across southern Uintah County to
near the Colorado border; then northerly to a point near the White
River where the population band moves into Colorado to Raven Ridge, the
eastern terminus of the species' range. The total documented population
of P. grahamii is estimated at approximately 6,200 individuals (Shultz
and Mutz 1979a, pp. 38-42; Shultz and Mutz 1979b, pp. 25-38; Neese and
Smith 1982a, pp. 63-66; Neese and Smith 1982b, pp. 115-140; Borland
1987, p. 1; Franklin 1993, Appendix D; Franklin 1995, Appendix B;
Colorado NHP 2005, pp. 1-20; Utah NHP 2005, pp. 1-124; Service 2005,
pp. 1-13; Decker et al. 2006, pp. 3-10). Approximately 60 percent of
the species' population is on Bureau of Land Management (BLM) managed
land with the remainder on non-Federal lands with State and private
ownership. The five population habitat units are described in the
following paragraphs.
The westernmost Penstemon grahamii population habitat unit, named
the Sand Wash Unit (Unit A), occurs in the vicinity of Sand Wash in
southwestern Uintah and adjacent Carbon and Duchesne Counties, Utah.
This population habitat unit consists of 10 separate occurrences with a
population estimated at 135 individuals (Shultz and Mutz 1979b, pp. 37-
38; Franklin 1993, Appendix D; Utah NHP 2005, pp. 1-4, 21-24, 45-52,
65-80; Service 2005, pp. 1-13). This unit has relatively small numbers
(approximately 2 percent of the species' total) compared to those
population habitat units in the center of the species' range. The unit
is the most isolated of the species' population habitat units. This
portion of the species' population has minor morphological differences
from the remainder of its population and may, due to geographic
isolation, be genetically divergent from the remainder of the species'
population (Shultz and Mutz 1979a, p. 41).
A second population habitat unit, named the Seep Ridge Unit (Unit
B), occurs approximately 27 km (17 mi) east of the Sand Wash Unit in
the Willow and Bitter Creek drainages in the vicinity of Sunday School
Canyon near the Seep Ridge road in south central Uintah County, Utah.
This unit consists of 53 separate occurrences with an estimated
population of 3,200 individuals (Shultz and Mutz 1979b, pp. 25-39; Utah
NHP 2005, pp. 5-20, 25-28, 53-56, 61-64, 85-100; Service 2005, pp. 1-
13). This population habitat unit is the species' largest with
approximately 52 percent of the species' total population.
A third population habitat unit, named the Evacuation Creek Unit
(Unit C), occurs approximately 16 km (10 mi) east of the Seep Ridge
Unit in the Asphalt Wash and Evacuation Creek drainages near the
abandoned Gilsonite mining towns of Dragon and Rainbow. This unit is in
southeastern Uintah County, Utah, and adjacent Rio Blanco County,
Colorado, and consists of 31 separate occurrences with an estimated
population of 2,550 individuals (Neese and Smith 1982b, pp. 115-133,
137-140; Franklin 1995, Appendix B, Map 3; Utah NHP 2005, pp. 29-32,
37-44, 57-60, 81-84, 113-120; Service 2005, pp. 1-13). This population
habitat unit is
[[Page 76025]]
the species' second largest with approximately 41 percent of the
species' total population.
A fourth population habitat unit, named the White River Unit (Unit
D), occurs approximately 8 km (5 mi) north of the Evacuation Creek Unit
in Hells Hole and Weaver Canyons immediately south of the White River.
This unit is in eastern Uintah County, Utah, and consists of 9 separate
occurrences with an estimated population of 115 individuals (Neese and
Smith 1982b, pp. 134-136; Franklin 1995, Appendix B, Maps 5-8; Utah NHP
2005, pp. 33-36, 101-112, 121-124; Service 2005, pp. 1-13). This
population habitat unit is the species' smallest, with approximately 2
percent of the species' total. The unit is important as a link between
the largest population habitat units to the south and southwest and the
Colorado population to the northeast.
A fifth population habitat unit, named the Raven Ridge Unit (Unit
E), occurs approximately 11 km (7 mi) northeast of the White River Unit
along the west flank of Raven Ridge and north of the White River
between Raven Ridge and the Utah border in extreme western Rio Blanco
County, Colorado. This unit consists of 6 separate occurrences with an
estimated population of 200 individuals (Borland 1987, p. 1; Colorado
NHP 2005, pp. 1-20; Service 2005, pp. 1-13). The population habitat
unit harbors approximately 3 percent of the species' total population
and includes virtually the species' entire population in Colorado (a
portion of a small population occurs in at the eastern margin of the
Evacuation Creek Unit at the Colorado-Utah border). As in the case of
the Sand Wash Unit, the Raven Ridge Unit is at the extreme end of the
species' range. As such this population is important for its
representation of a portion of the full spectrum of the species'
genetic diversity.
Penstemon grahamii habitat is a discontinuous series of exposed raw
shale knolls and slopes derived from the Parachute Creek and Evacuation
Creek members of the geologic Green River Formation. Most populations
are associated with the surface exposure of the petroleum bearing oil-
shale Mahogany ledge (Cashion 1967, p. 31, Fig. 8; Shultz and Mutz
1979a, pp. 39-40; Neese and Smith 1982a, p. 64; Franklin 1993, Appendix
D; Franklin 1995, Appendix B). The trace of the Mahogany bed correlates
very closely with the trace of Penstemon grahamii sites from the
vicinity of Sand Wash near the Green River to Raven Ridge near the
White River (Cashion 1967, p. 31, Fig. 8; Shultz and Mutz 1979a, pp.
39-40; Neese and Smith 1982a, p. 64; Decker et al. 2006, pp. 3-10).
Penstemon grahamii is associated with a suite of species similarly
adapted to xeric growing conditions on highly basic calcareous shale
soils. The vascular plant species most commonly associated with P.
grahamii are listed in the proposed rule (71 FR 3158). The plant
community associated with P. grahamii forms a distinctive assemblage of
plant species dominated by dwarf shrubs and mound-forming perennial
herbaceous plants with relatively low plant cover. This plant community
forms small patches within the broader plant communities that
characterize the southeastern Uinta Basin (Shultz and Mutz 1979a, p.
40; Neese and Smith 1982a, p. 63; BLM 2005, pp. 3-105 to 3-109; Graham
1937, pp. 43-47, 59-71). Pollinators of Penstemon grahamii are listed
in the proposed rule (71 FR 3158).
The Colorado NHP has assigned Penstemon grahamii a global
imperilment ranking of G2 and State imperilment ranking of S1. The Utah
NHP has assigned Penstemon grahamii a global imperilment ranking of G2
and State imperilment rankings of S2. The G2 and S2 rankings mean the
species is imperiled at Global and State levels respectively. An S1
ranking means the species is critically imperiled at a State level.
These rankings, developed by The Nature Conservancy, and applied by
various NHPs associated with State governments, are utilized by the
Service in selecting candidate species and by the BLM in selecting
``Special Status Species'' for enhanced conservation actions and
resource planning. The International Union for the Conservation of
Nature has given the species a ranking of ``Vulnerable.''
Previous Federal Actions
The history of Penstemon grahamii as a candidate species under the
Act is recounted in detail in the proposed rule (71 FR 3158). It has
been a candidate for listing since 1980 (December 15, 1980; 45 FR
82480).
Penstemon grahamii was petitioned three times for listing as
endangered or threatened under the provisions of the Act. The first
petition was the initial Smithsonian list of 1975 (see above). The
second petition was the Fund for Animals' petition of 1990. This
petition included 401 species the Service had assigned category 1
status in its previous notices of review. On October 8, 2002, we
received a petition specifically for P. grahamii from five separate
parties--Center for Native Ecosystems, Southern Utah Wilderness
Alliance, Utah Native Plant Society, Colorado Native Plant Society, and
American Lands Alliance. This ``second'' petition reiterated biological
information and information on increased levels of threat that, for the
most part, was already in our files.
A court settlement required us to submit a proposed rule to list
Penstemon grahamii to the Federal Register by January 9, 2006. Our
proposed rule to list P. grahamii as threatened with a proposed
designation of critical habitat was published in the Federal Register
on January 19, 2006 (71 FR 3158). The proposed rule announced a 60-day
public comment period ending on March 20, 2006. During the public
comment period we received a request for a public hearing and an
extension of the public comment period. We announced the reopening of
the public comment period and notice of a public hearing in the Federal
Register on April 13, 2006 (71 FR 19158). The public comment period was
extended to May 19, 2006, and a public hearing was held at the Uintah
County Building, in Vernal, Utah, on April 26, 2006.
Summary of Comments and Recommendations
During the open public comment periods between January 19 and March
20, 2006, and April 13 and May 19, 2006, we requested all interested
parties to submit information pertaining to both the proposed listing
and critical habitat. We also sought specific information on any
available preliminary results from the recent lease nominations for
research, development, and demonstration of oil-shale recovery
technologies on BLM lands; success of ongoing oil-shale or tar-sands
development projects, particularly in the Green River formation;
available economic and technological analyses; and specific information
detailing definitive effects of these operations on environmental
resources, as primarily related to losses of individual plants, loss or
fragmentation of the habitat, and loss or declines in plant
pollinators. Similarly, the Energy Policy Act sets the stage for
increased oil and gas drilling activities within Penstemon grahamii
habitat, so we requested information specific to ongoing or proposed
actions in these areas.
The BLM provided us with substantial information concerning:
current and projected energy development; grazing use and management;
off-road vehicle (ORV) use and management; exotic species (weeds)
control activities; wildland fire control actions; and the potential
for horticultural collection. In addition,
[[Page 76026]]
BLM provided planning and regulatory direction it will use to ensure
the conservation of the species as a consequence of any future
development of oil-shale or tar-sands that may affect the species. As a
consequence we have relied heavily on BLM's comments in this final
notice withdrawing the proposed rule to list P. grahamii as threatened,
incorporating the information it provided within our analysis of
threats.
Peer Review
In accordance with our July 1, 1994, Interagency Cooperative Policy
on Peer Review (59 FR 34270), we requested the expert opinions of six
independent specialists regarding pertinent scientific or commercial
data and assumptions relating to supportive biological and ecological
information in the proposed rule. The purpose of such a review is to
ensure that the listing decision is based on scientifically sound data,
assumptions, and analyses, including input of appropriate experts and
specialists.
The six experts we requested to review the proposed rule were
selected on the basis of their expertise on Penstemon grahamii natural
history and ecology. We requested that they review the proposed rule
and provide any relevant scientific data relating to taxonomy,
distribution, population status, or the supporting biological and
ecological data used in our analyses of the listing factors. We
specifically requested information responding to the following six
questions. (1) Is our description and analysis of the biology,
population, and distribution of P. grahamii accurate? (2) Does the
proposed rule provide accurate and adequate review and analysis of the
factors relating to the threats to the P. grahamii (A. The present or
threatened destruction, modification, or curtailment of its habitat, B.
Overutilization for commercial, sporting, scientific, or educational
purposes, C. Disease and predation, D. Adequate regulatory mechanisms,
and, E. Any other natural or man made factors affecting is continued
existence)? (3) Are our assumptions and definition of suitable habitat
logical and adequate? (4) Is our delineation and proposal of critical
habitat for this species appropriate? (5) Are the conclusions we reach
logical and supported by the evidence we provide? (6) Did we include
all the necessary and pertinent literature to support our assumptions/
arguments/conclusions?
Three of the six provided comments during the initial peer review
process. All three provided information to correct, clarify, or support
statements contained in the proposed rule. We have incorporated their
comments into the final determination, as appropriate. The three
responding peer reviewers stated that all six of the questions asked
were adequately addressed in the proposed rule. One reviewer noted that
our proposed critical habitat included only existing populations, and
therefore provided a conservative estimate of potential habitat. This
same reviewer also agreed that current oil and gas activity appears to
provide little adverse affect to the species, but future increase in
the density of conventional oil and gas wells and the inevitable
development of oil-shale extraction projects would be problematic.
Another peer reviewer stated that Penstemon grahamii is clearly a
narrowly restricted, globally rare species, but most of the information
on the species in Colorado is not current. A lack of recent surveys has
resulted in uncertainty about its distribution and population size. He
concluded that even if future surveys revealed robust populations, the
types of threats faced by the species would result in a need for
habitat protection.
The third peer reviewer stated that, in her opinion, ``* * * the
effect of livestock grazing is an additional source of stress for a
species already grappling with a stressful environment.'' Therefore,
studies of the effects of livestock and wildlife exclosures on plant
vigor and reproduction should be a high priority if the species is
listed. She also felt that the degree of protection provided to
Penstemon grahamii by BLM's Area of Critical Environmental Concern
designations is variable and inconsistent.
Although the peer reviewers felt that our proposed listing rule
justified listing, based on the new scientific and commercial
information concerning the species' status received during the comment
period, we have determined that Penstemon grahamii does not currently
warrant protection under the Act.
Summary of Public Comments and Recommendations
During the public comment periods, we received written comments
from 37 entities. Twenty-two entities advocated listing of the species,
12 entities advocated not listing the species, and 3 entities did not
advocate either listing position. The public comments received and our
responses are summarized below. Comments that contained new, updated,
or additional information were thoroughly considered in this final
determination. We received a large number of identical or similar
comments, and we consolidated those into several categories.
Comments Related to Energy Development Impacts to the Species and Its
Habitat
Comment 1--No overlap exists between current, proposed, and
potential future oil-shale/tar-sands development and species' habitat.
Our Response--We evaluated the potential for oil-shale and tar-
sands development to impact Penstemon grahamii based largely on the
plant's dependence on oil-shale geologic strata. There are no ongoing
commercial oil-shale or tar-sands activities on Federal lands in the
Uinta Basin, Green River formation. We acknowledge that the exact
location and extent of future oil-shale or tar-sands commercial
development in the Uinta Basin is unknown, and we have considered
information from BLM regarding--1) the higher likelihood that oil-shale
would progress, at least initially, in the Piceance Basin, Colorado,
approximately 30 miles east of known P. grahamii occurrences and 2)
geologic information depicting mineral development potential compared
to known P. grahamii habitats. Approved nominations under the BLM oil-
shale Research, Development, and Demonstration (RD&D) program also do
not overlap known P. grahamii habitat.
Comment 2--A high level of technological and economic uncertainty
exists for future oil-shale and tar-sands development.
Our Response--We acknowledge there is a high level of technological
and economic uncertainty, and that commercial oil-shale or tar-sands
development is only a potential future prospect, likely many years
away. We have included this information in our analysis.
Comment 3--Even if industry's interest in oil-shale mining
eventually moved near Penstemon grahamii occurrences, experience shows
that industry would likely propose underground mining techniques, or
one or more of various in-situ recovery processes. There is
considerable flexibility in siting access shafts and supporting surface
facilities for an underground mine or in-situ development and they can
easily be placed to avoid critical surface resource areas.
Our Response--We acknowledge that there is a high level of
technological uncertainty regarding commercial oil-shale development.
Until more specific technological decisions are made, it is not
feasible for us to make conclusions
[[Page 76027]]
regarding the actual effects oil-shale mining may have on Penstemon
grahamii and its habitat. The different mining technologies are
discussed in our analysis. However, we strongly recommend that BLM
continue to evaluate technological processes and devise appropriate
conservation measures if commercial development progresses in the
future.
Comment 4--The GIS analysis supports the concept that engineering
and economics generally keep oil and gas wells out of Penstemon
grahamii habitat. In addition, BLM and industry have implemented
species inventories and avoid special status plant species and their
habitats.
Our Response--Our evaluation concluded that oil and gas wells, to
date, have not been located directly on known Penstemon grahamii
locations. We encourage BLM and the energy industry to implement
appropriate technologies and conservation measures to avoid development
that may threaten the species and its habitat in the future.
Comment 5--Several conventional oil and gas exploratory and field
development projects are proposed or underway in or near occupied
Penstemon grahamii habitat, including--the Resource Development Group,
GASCO, Dominion Kings Canyon project, Enduring Resource Big Pack
project, MakJ Little Canon/Bick Pack Mountain field development
project, Pioneer Park Ridge 3D Seismic project, and Columbine 3D
seismic project.
Our Response--We have included an evaluation of these projects in
our analysis and concluded that they do not significantly affect
Penstemon grahamii or its occupied habitat. See our discussion of the
impacts of oil and gas exploration and development in the Summary of
Factors Affecting the Species section.
Comment 6--Industry has historically demonstrated no interest in
surface mining the Mahogany outcrops. There is no evidence that
potential, foreseeable oil-shale development would occur in the
vicinity of the Mahogany ledge outcrops.
Our Response--We have evaluated the information presented and agree
that there is no current active interest, to date, for oil-shale
development along the Mahogany zone in Penstemon grahamii habitat.
Technological and economic uncertainties exist to the extent that we
cannot conclude that there is a certainty of future threats in this
area.
Comment 7--Most Penstemon grahamii are located on a bed of
petroleum bearing oil-shale in Utah and Colorado. Ninety-eight percent
of P. grahamii individuals are located in the Parachute Creek member of
the Green River formation. The Parachute Creek member is the most
important area in regard to oil-shale. The entire range of P. grahamii
also is sitting on deposits of natural gas.
Our Response--We have analyzed the distribution of Penstemon
grahamii relative to the potential for energy development. Significant
economic questions remain concerning the development of the Green River
formation oil-shale and tar-sands. There are currently no development
projects for this resource proposed anywhere within the known range of
P. grahamii, or anywhere else in the United States. We have included a
detailed analysis of potential impacts of oil-shale and tar-sands
development, and the current and future impacts of conventional natural
gas drilling and production in the Summary of Factors Affecting the
Species section.
Comment 8--Oil-shale processing has been attempted many times all
over the world with the same result--failure. The processing of oil-
shale is far too expensive to be economical. Although the technology
for the oil-shale processing may not be quite ready, the potential for
it is very real.
Our Response--We acknowledge the technological and economic
uncertainty associated with oil-shale development. Until and unless
technology advances and commercial oil-shale development plans are
proposed, it is inappropriate for us to speculate on the potential
scale and distribution of commercial oil-shale development.
Comment 9--Commenters provided information regarding the current
and projected future increases in oil and gas development in the Vernal
BLM Field Office area respective to the proposed critical habitat
units.
Our Response--We have evaluated ongoing and proposed energy
development and potential impacts to Penstemon grahamii in our finding.
We acknowledge the current and projected increases in oil and gas
exploration and development in the Uinta Basin. We have addressed
energy exploration and development in our final rule. Our analysis of
the best available scientific and commercial data reveals that P.
grahamii is not warranted for listing under the Act.
Comment 10--Shell's Mahogany Project in the Piceance Basin provides
a glimpse of what surface impacts using in-situ methods would look
like--100 percent surface disturbance. Images posted on the
SkyTruth.org Web site show impacts at an oil-shale operation in
Australia that show complete surface disturbance.
Our Response--We acknowledge the potential impacts of oil-shale
mining to Penstemon grahamii habitat, if this mining occurs in habitat
occupied by the species. However, we do not have information to
conclude that oil-shale mining will occur in P. grahamii habitat.
Comment 11--The Department of the Interior may attempt to argue
that until oil-shale development is shown to be technically and
economically viable on a commercial scale, it should not be considered
a real threat. However, this ignores the fact that members of Congress
are actively interested in forcing the BLM to lease large portions of
the oil-shale resource now before RD&D projects begin, and that any
analysis of economic feasibility must factor in the possibility that
the government may be willing to heavily subsidize this experiment. The
Service must recognize that interest in oil-shale will not go away as
long as oil is valuable. The Service must list now because oil-shale
poses an extremely high magnitude threat to Penstemon grahamii and
Congress has made that threat more imminent today than it has been in
the past decades.
Our Response--We acknowledge the potential impacts of oil-shale
mining to Penstemon grahamii if this mining occurs in habitat occupied
by the species. However, we do not have information to conclude that
oil-shale mining will occur in P. grahamii habitat.
Comment 12--Several comments described the direct, indirect, and
cumulative environmental impacts associated with oil-shale mining.
Our Response--We acknowledge the potential effects of oil-shale
development on Penstemon grahamii. We have evaluated the threat of oil-
shale mining in our finding.
Comment 13--Shell Frontier Oil and Gas Corporation's proprietary
In-situ Conversion Process (ICP) uses subsurface heating to convert
kerogen contained in oil-shale into ultra-clean transportation fuels
and gas. Shell's ICP is more environmentally friendly and more
efficient than previous oil-shale efforts. It recovers the resources
without conventional mining, uses less water, and does not generate
large tailing piles.
Our Response--Our finding discusses various technologies for
commercial oil-shale mining. Certainly any processes that also provide
environmental protections are preferred. We also acknowledge that
technologies are still being developed for oil-shale mining and the
location and extent of
[[Page 76028]]
commercial oil-shale mining is still uncertain.
Comment 14--The proposed rule, if finalized, will impede, if not
completely proscribe, oil-shale development in areas occupied by
Penstemon grahamii.
Our Response--Our determination that this species does not warrant
listing under the Act is based on our assessment of the threats to the
species, as they are known at the time of the decision, not the
potential land management implications of listing. We have evaluated
the potential impacts of oil-shale mining in this finding.
Comment 15--There are no present threats to the viability of the
species, either listed in the proposed rule or otherwise known. The
threats listed in the proposed rule are all perceived future threats,
not current activities.
Our Response--We concur that potential threats to Penstemon
grahamii from oil-shale and tar-sands development described in the
proposed rule were speculative, although based on the best information
available to the Service. Our analysis in this final rule, based on
information received after publication of the proposed rule, recognizes
that current impacts to the species from oil and gas development do not
rise to level to warrant listing now or for the reasonably foreseeable
future.
Comment 16--Destruction of Penstemon grahamii habitat is
irrevocable. We should not take irrevocable action for the sake of
short-term economic benefit.
Our Response--We have evaluated threats to Penstemon grahamii and
its habitat in our finding. Our determination as to whether or not this
species warrants listing under the Act must be based on our assessment
of the threats to the species as they are known at the time of the
decision.
Comment 17--Boom and bust energy cycles have occurred in Uintah
County for the past 75 years. Penstemon grahamii has continued to
flourish.
Our Response--Our finding has taken into consideration the known
species' population status and trends, as well as the potential threat
of energy development.
Comments Related to Inadequacy of Existing Regulatory Mechanisms
Comment 18--Existing regulatory mechanisms, including the Energy
Regulatory Act of 2005, are available to protect Penstemon grahamii
from mineral development as well as other land use activities.
Our Response--We acknowledge that regulatory mechanisms and
policies exist to incorporate conservation measures for this species in
oil-shale or tar-sands commercial leasing programs. Regulatory
mechanisms and policies also are available for other land-use
activities.
Comment 19--Combined hydrocarbon leases (e.g., conventional oil and
gas along with tar-sands) have been issued to some extent prior to the
Energy Policy Act of 2005. There was no real restriction to leasing in
these areas as portrayed in the Service's proposed rule (71 FR 3158).
Our Response--We acknowledge there was some opportunity for oil and
gas leasing prior to the Energy Policy Act of 2005. Energy Policy Act
provisions alleviate some of the prior restrictions of oil and gas
leasing in the tar-sands areas.
Comment 20--Without listing, the BLM can only require that proposed
facilities be moved 200 meters (m) (656 feet (ft)) or less, unless
special stipulations have been attached to the lease. Even if one were
able to preclude direct habitat loss under the 200-m (656-ft)
limitation, substantial cumulative indirect effects and habitat
fragmentation are likely to occur if one is simply shuffling
disturbance around well by well, rather than actively conserving
critical habitat.
Our Response--We have considered existing regulatory mechanisms and
management activities in this finding, and determined that conventional
oil and gas development lease stipulations provide sufficient
conservation measures to prevent extinction of Penstemon grahamii.
Comment 21--The State of Utah supports the implementation of a
Conservation Agreement for the Graham's beardtongue. Implementation of
a Conservation Agreement will allow for better species' inventory, the
opportunity to protect important habitats, and the opportunity to
reduce potential threats to the species.
Our Response--Our analysis of the best available scientific and
commercial data indicates that listing Penstemon grahamii under the Act
is not warranted at this time. Therefore, it was not necessary to
further evaluate conservation efforts associated with a Conservation
Agreement. We encourage continued development and implementation of
conservation measures and a Conservation Agreement to protect and
enhance P. grahamii and its habitat.
Comments Related to Other Threat Factors
Comment 22--Information was provided regarding evaluations and
conservation measures applied to grazing allotments in Penstemon
grahamii habitat.
Our Response--We concluded that grazing does not appear to be a
species level threat to Penstemon grahamii, and our rationale is
presented in the Summary of Factors Affecting the Species section. We
encourage continued monitoring and conservation efforts to ensure
grazing effects remain minimal in the future.
Comment 23--Information was provided regarding off-road vehicle
(ORV) use and available conservation measures to avoid and minimize
impacts to Penstemon grahamii.
Our Response--We have no information to indicate that ORV use is a
threat to Penstemon grahamii or its habitat. To date, little ORV use
has been observed in the species' range. We encourage continued
monitoring and conservation efforts to ensure ORV effects remain
negligible in the future.
Comment 24--Overexploitation for horticultural purposes is a threat
to Penstemon grahamii.
Our Response--We acknowledge that the rarity and beauty of this
species makes collection a potential concern. However, we have no
information to conclude that collection is impacting wild populations
in the species' native habitat. We encourage continued monitoring and
conservation efforts to ensure horticultural collection remains a
negligible impact in the future.
Comment 25--Penstemon grahamii may be at greater risk because of a
reduced ability to form a large seed bank to act as a buffer in the
face of population decline, whether this decline is weather-related or
caused by anthropogenic disturbance.
Our Response--Information pertaining to the status, life history,
and distribution of Penstemon grahamii has been reviewed and
incorporated into our analysis. We have noted the presence of small
population sizes at specific locations, but we do not believe that the
threats to the species rise to a level that listing is warranted.
Comment 26--Other concerns of increased energy development
activities in Penstemon grahamii habitat are the incidental spread of
noxious and exotic weeds and soil erosion, leading to decreased plant
and insect (pollinator) biodiversity.
Our Response--We acknowledge the presence of exotic weeds within
occupied Penstemon grahamii habitat, including Bromus tectorum
(cheatgrass) and Halogeton glomeratus (halogeton). Habitat disturbances
associated with future energy development activities could exacerbate
the situation. We encourage the development and
[[Page 76029]]
implementation of conservation efforts to minimize the invasion of
exotic weed species.
Comment 27--The notice fails to provide any scientific evidence
that disease and predation are threats to the species.
Our Response--We have identified that grazing may affect certain
populations of Penstemon grahamii (see discussion in Factor A in the
Factors Affecting the Species section), but we determined that grazing
is not a threat to the species as a whole. Therefore, we determined
that disease and predation do not constitute threats to the continued
existence of P. grahamii.
Comment 28--The species responds to cultivation and proliferates in
habitats other than its natural habitat and, therefore, is capable of
being cultivated for use in reclamation and revegetation.
Our Response--It is true that the species has been cultivated as a
garden plant, and is available for sale in catalogs and on the
Internet. Propagation in the wild may be explored at a future date, but
on an experimental basis. We do not have information at this time to
conclude that populations propagated in the wild will be viable in the
long-term. Until this information is available, we would not rely on
restoration or revegetation of this species from a cultivated source.
Comments Related to the Biology of the Species
Comment 29--Green River outcrops support a number of rare species
of special concern. The edaphic features of Green River outcrops are
natural laboratories of evolution and endemism, and should be
preserved.
Our Response--We concur that the Green River outcrops have
significant ecological and evolutionary values. However, our evaluation
of threats under the Act's criteria is restricted to Penstemon
grahamii. This final rule does not evaluate other species associated
with the Green River formation.
Comment 30--The limited distribution and highly specific habitat
requirements of this species make it a valuable component of the Utah
flora and highly vulnerable to disturbance.
Our Response--We concur that this species is a valuable component
of the Utah flora. We considered the habitat requirements and threats
to this species in our finding, and determined that the level of
threats to Penstemon grahamii were insufficient to warrant listing.
Comment 31--Penstemon grahamii habitat requirements make
restoration/ reclamation of the species extremely difficult, if not
impossible, if energy developments were to impact any of the known
populations.
Our Response--Our finding has evaluated the potential threats of
energy development to Penstemon grahamii.
Comment 32--Listing under the Act results in important protections
for listed species threatened with development. Unlisted species may
receive some consideration, but no real protection in the face of
pressure to develop energy resources.
Our Response--Our decision regarding Penstemon grahamii is based on
the best available scientific and commercial data, as required by the
Act. Our determination regarding whether or not this species warrants
listing under the Act must be based on our assessment of the threats to
the species at the time of the decision. We evaluated the threat of
energy development, and the effectiveness of regulatory mechanisms in
this finding.
Comment 33--A few comments expressed concern about Penstemon
grahamii's low population numbers and low and declining seed set
numbers, as a result of substantial herbivory and livestock trampling.
The Nature Conservancy's eco-regional assessments confirm that P.
grahamii, with very low natural population numbers and restricted
distribution, is at risk.
Our Response--Information pertaining to the status, life history,
and distribution of Penstemon grahamii has been reviewed and
incorporated in our analysis. We have noted the presence of small
population sizes at specific locations, and the potential for threats
to have negative impacts if they occur. The referenced study sites are
small, and do not provide sufficient information on threats to conclude
that Penstemon grahamii warrants listing. Although additional studies
may be desirable, we have made our decision based on the best available
scientific and commercial data, as required by the Act.
Comment 34--The extinction of Penstemon grahamii would undoubtedly
affect the only specialist wasp, Pseudomasaris vespoides, which feeds
its offspring exclusively on Penstemon pollen. This wasp should be the
subject of further study.
Our Response--Our evaluation is restricted to Penstemon grahamii,
which we have determined does not warrant listing under the Act. The
wasp is a specialist on most species of Penstemon. Other Penstemon
species occur within the range of P. grahamii and are apparently
supporting Pseudomasaris vespoides populations.
Comment 35--This species may be valuable for a cure to cancer or
some other disease.
Our Response--Many plant species have provided important advances
in medicine. However, our determination regarding whether or not this
species warrants listing under the Act must be based on our assessment
of the threats to the species, as they are known at the time of the
decision.
Comment 36--Current and historic population trend data do not show
any decline in the population of Penstemon grahamii.
Our Response--We evaluated available population status and trend
information for the species in this finding.
Comment 37--Penstemon grahamii habitat is not dependent on oil-
shale as represented. The association with oil-shale may be
coincidental, and there is a substantial likelihood that the species'
distribution is more widespread than presented in the proposed rule.
Our Response--We cite several sources that indicate Penstemon
grahamii is associated with oil-shale outcrops. We are not aware of any
data indicating that the species is more widely distributed than as we
described in the proposed rule and this document.
Comment 38--Oil and gas operations are typically able to avoid
individual plants.
Our Response--Our finding has evaluated the threat of energy
development to Penstemon grahamii. We encourage development and
implementation of conservation efforts to avoid impacts to P. grahamii
and its habitat.
Comment 39--There is no clear evidence that the species'
environment is as fragmented as is implied by the delineation of the
units.
Our Response--Our decision regarding Penstemon grahamii is based on
the best available scientific and commercial data, as required by the
Act. We have described the species' known distribution and provided
citations for this information in our finding.
Comment 40--There are areas in Uintah County that have shown no
previous signs of this plant. However when the ground has been
disturbed, followed by a rainfall, the plant has flourished. Listing
this plant to prevent disturbance in the area, seems to defeat the
natural course of growth, which includes ground disturbance and water.
Our Response--To our knowledge the potential for land disturbance
to facilitate Penstemon grahamii conservation has not been studied.
However, we have no documentation of this species responding favorably
to
[[Page 76030]]
disturbance as described above. Observations of biologists studying
this species have not shown any such response to surface disturbance,
and we provide a detailed description of the species' habitat
requirements in the Background section of this document.
Comment 41--Penstemon grahamii must be considered extremely rare
whether considered at the global, national, State, or county level.
Our Response--Rarity in and of itself does not automatically lead
to listing. Our determination of whether or not listing this species
under the Act is warranted must be based on our assessment of the
threats to the species, as they are known at the time of the decision.
Comments Related to General Listing Issues Under the Act
Comment 42--The various Federal Register notices are deficient in
that they do not identify, other than by author, name, and year, the
references on which they rely. The Administrative Procedures Act and
other authorities require a reasonable opportunity to comment on
proposed rules. The publications and page numbers at which the
references appear could easily have been included in one of the
notices.
Our Response--We have included page numbers with citations in this
notice, and the list of references and the references themselves are
available for inspection at our Utah Field Office (see ADDRESSES
section).
Comment 43--Several commenters supported the proposal to list
Penstemon grahamii and designate critical habitat, based on the
species' status and the threats analysis presented in the proposed
rule.
Our Response--We have reevaluated the best available scientific and
commercial data, based on information received during the public
comment period, and have determined that the threats to Penstemon
grahamii described in the proposed rule are not sufficient to warrant
listing under the Act at this time. Our analysis is presented in the
Summary of Factors Affecting the Species section.
Comment 44--A commenter felt that listing of this species is not
warranted.
Our Response--We have considered all factors potentially affecting
Penstemon grahamii in our decision and determined that the listing is
not warranted. We have made our decision based on the best available
scientific and commercial data, as required by the Act.
Comment 45--Penstemon grahamii meets all five requirements to be
listed as a threatened species.
Our Response--Our analysis of the best available scientific and
commercial data determined that listing Penstemon grahamii is not
warranted at this time. Our analyses and conclusions are described in
detail in the Summary of Factors Affecting the Species section.
Comment 46--The U.S. House of Representatives has passed House Bill
3824, which will amend the Act and repeal critical habitat
requirements. The Service should delay any listing decisions until a
final determination is made on this legislation.
Our Response--The Act requires that we finalize proposed listings
within 12 months of publication. In this case, we also are responding
to a court-approved settlement agreement to complete a listing
determination by December 8, 2006. Therefore, we are unable to postpone
completion of this listing decision.
Comment 47--Listing Penstemon grahamii now could protect against
the most damaging projects in its habitat, and allow for recovery.
Our Response--Our decision regarding Penstemon grahamii is a
listing, not a recovery decision. Our determination of whether or not
this species warrants listing under the Act must be based on our
assessment of the threats to the species, as they are known at the time
of the decision, not the potential for recovery under the Act.
Comment 48--If listing is denied, the little extra attention that
Penstemon grahamii has received based on its candidate status will
disappear.
Our Response--Candidate species are plants and animals for which
the Service has sufficient information on their biological status and
threats to propose them as endangered or threatened under the Act, but
for which a proposed listing regulation is precluded by other higher
priority listing activities. Candidate species receive no statutory
protection under the Act. The BLM has designated Penstemon grahamii as
a ``special status species'' and as such will provide strong
consideration for the species in its land use planning and will
implement measures to conserve the species and protect its habitat. The
BLM has made an explicit commitment to conserve this species into the
future, regardless of any energy or other development action within the
species range (BLM 2001, 2006a p. 1-2). We encourage the formation of
partnerships to conserve these species because they are, by definition,
species that warrant future protection under the Act. Our decision not
to list Penstemon grahamii removes the species from candidate status.
However, P. grahamii retains its status as a BLM special status
species. In addition, we are partnering with Federal and State agencies
to develop and implement a Conservation Agreement for P. grahamii. This
Conservation Agreement is not the basis for this withdrawal.
Comment 49--If the plant is listed as threatened, the Service
should adopt a special rule under section 4(d) of the Act that would
provide that any energy development projects undertaken in accordance
with BLM-mandated terms and conditions would not constitute a violation
of any of the Act's plant-related prohibitions.
Our Response--Our analysis of the best available scientific and
commercial data determines that Penstemon grahamii is not warranted for
listing under the Act.
Comment 50--The proposed rule pays little attention to the best
commercial data which, if considered, would provide both an estimate of
the magnitude of the potential threats, and the adverse economic impact
of listing Penstemon grahamii.
Our Response--This final rule includes our analysis of the
magnitude of potential threats to this species, and we have determined
that these threats are not sufficient to warrant listing the species
under the Act at this time. The Act does not include economic
considerations as a factor in listing decisions.
Comment 51--Listing under the Act ensures benign neglect of a
species; it does nothing to proactively ensure proliferation of a
species.
Our Response--Our determination of whether or not this species
warrants listing under the Act must be based on our assessment of the
threats to the species, as they are known at the time of the decision,
not whether listing would ensure the species' recovery.
Comment 52--Costs to the Nation's economy and energy security can
be avoided by withdrawal of the proposed rule, as warranted by the
scientific and commercial evidence.
Our Response--Our determination as to whether or not this species
warrants listing under the Act must be based on our assessment of the
threats to the species, as they are known at the time of the decision.
The Act provides for evaluating economic considerations when
designating critical habitat, but not when making listing
determinations.
Comment 53--A commenter disagreed with the statement on page 3173
that the action is not a significant energy action.
Our Response--Our analysis of the best available scientific and
commercial data indicates that listing Penstemon
[[Page 76031]]
grahamii is not warranted at this time. Therefore, it was not necessary
to further evaluate significant energy effects, or prepare an economic
analysis for the designation of critical habitat.
Comment 54--It appears that no attempt is being made to designate
or restore all original habitats once occupied by this species.
Our Response--The Act does not require restoration of all historic
habitat for a listed species, nor does it require designation of all
historic range as critical habitat. By determining that this species
does not warrant listing we indicate that it is not in danger of
becoming extinct throughout all or a significant portion of its range,
or likely to become so in the foreseeable future.
Comment 55--A recovery plan is not a part of the current proposal.
Our Response--Recovery Plans are only completed for listed species
under the Act. This current finding has determined that listing
Penstemon grahamii under the Act is not warranted.
Comments Related to Agency Management of the Species
Comment 56--The Energy Policy Act strengthens the BLM and Service
capability to protect this species.
Our Response--The 2005 Energy Policy Act resulted in increased
staffing and funding levels for pilot project offices, including the
Vernal BLM Field Office. We strongly encourage BLM to utilize these
available resources to ensure long-term, successful conservation
efforts for Penstemon grahamii and other listed and sensitive species
during energy project planning and implementation.
Comment 57--The BLM has done a poor job of protecting plant
communities from rapid industrialization and lawless ORV use.
Our Response--We considered potential threats, such as increased
energy development and ORV use, in our finding, but we were unable to
document threats from these activities that would warrant listing
Penstemon grahamii.
Comment 58--There is no assurance at this point that the BLM,
through the Vernal Resource Management Plan (RMP), will provide
adequate protection for Penstemon grahamii.
Our Response--Our determination of whether or not this species
warrants listing under the Act must be based on our assessment of the
threats to the species, as they are known at the time of the decision.
We understand that all action alternatives within the BLM's draft
Vernal RMP commit the BLM to protect the populations and habitat of
Special Status Species, including P. grahamii.
Comment 59--The Act provides no authority to protect this plant on
State or private lands. Therefore, it is that much more important to
protect them on Federal lands.
Our Response--Existing regulatory mechanisms were evaluated for our
finding. We encourage Federal land management agencies to continue
conservation efforts for Penstemon grahamii and its habitat. In
addition we will work with both the State of Utah and private
landowners to encourage voluntary measures to conserve viable
populations of the species and its habitat on their properties.
Comment 60--BLM has recently initiated survey and life history
studies for Penstemon grahamii. Life history and survey data are out of
date and may not accurately portray the species' distribution and
abundance. Lack of information may affect the Service's decisions
regarding critical habitat designation.
Our Response--We agree that additional population status,
distribution, and life history information would be useful to determine
the status of the species and identification of critical habitat.
However, as required by the Act, we have used the best scientific and
commercial information available when making the determination on
whether to list Penstemon grahamii.
Comment 61--All action alternatives in the draft BLM Vernal RMP
would lead to Penstemon grahamii being more imperiled.
Our Response--The BLM has provided its commitment to continue
implementation of effective conservation measures through the RMP to
ensure long-term conservation of P. grahamii. Our analysis of the best
available scientific and commercial data reveals that P. grahamii is
not warranted for listing under the Act. We have evaluated existing
regulatory mechanisms in our finding. All action alternatives within
the BLM's draft RMP commit the BLM to protect the populations and
habitat of Special Status Species, including P. grahamii. We have
identified specific protective measures for the protection of P.
grahamii which BLM will include in the final RMP and as stipulations in
all subsequent mineral leases. (See discussion under listing Factors A
and D below.)
Comment 62--The BLM Vernal Field Office has continued to offer oil
and gas lease parcels even though it is in the midst of a Plan
revision, and the Service must consider that the areas unleased because
of tar-sands development potential could be offered in any upcoming
sale.
Our Response--Our analysis assumes that leasing will occur in
suitable tar-sands areas and other areas in the Uinta Basin. Leasing
does not necessarily mean that an area will be developed for oil and
gas. We have addressed the potential impacts of energy development to
Penstemon grahamii in our finding, and determined that those impacts
now and in the foreseeable future do not rise to the level that would
warrant listing of the species.
Comment 63--In the Castle Peak Environmental Impact Statement, the
BLM was quite frank about not being able to impinge on valid, existing
lease rights, and openly refused to require No Surface Occupancy within
the Pariette Wetlands Area of Critical Environmental Concern (ACEC),
even though (1) that was one of the expectations set forth in the
biological opinion, and (2) Uinta Basin hookless cactus' (Sclerocactus
glaucus) listed status should have allowed the agency to place
additional constraints on those leases. The BLM White River Field
Office also has permitted pipelines through ACECs designated for the
Dudley Bluffs plants, in what appears to be direct contravention of the
White River RMP.
Our Response--This finding pertains to Penstemon grahamii, not
other plant species in the area. Our analysis of the best available
scientific and commercial data indicates that P. grahamii is not
warranted for listing under the Act. We have considered existing
regulatory mechanisms and management activities in this finding. The
Service encourages the successful development and implementation of
conservation measures for P. grahamii to maintain the species' status
in the long-term.
Comment 64--The BLM has provided very little in the way of
conservation measures for Penstemon grahamii, despite its candidate
status.
Our Response--We have considered existing regulatory mechanisms and
management activities in this finding, and determined that the impacts
to Penstemon grahamii populations and habitat are not sufficient to
warrant listing under the Act. This species has been a listing
candidate for decades, and we have no evidence to indicate that current
BLM management is resulting in serious impacts to populations of this
species.
Comments Related to Critical Habitat
Comment 65--There were numerous comments regarding the importance,
[[Page 76032]]
extent, and boundary lines regarding the proposed critical habitat
designation.
Our Response--We considered all factors potentially affecting
Penstemon grahamii in our decision and we have determined that the
listing is not warranted. Therefore, we are withdrawing our proposed
critical habitat designation.
Summary of Factors Affecting the Species
Section 4 of the Act and regulations (50 CFR part 424) promulgated
to implement the listing provisions of the Act set forth the procedures
for adding species to Federal lists. We analyzed the threats applicable
to the species in the present and foreseeable future to determine
whether the species as a whole meets the definition of endangered or
threatened due to one or more of the five factors described in section
4(a)(1). The five factors considered and their application to P.
grahamii are as follows:
A. The Present or Threatened Destruction, Modification, or Curtailment
of Its Habitat or Range
Energy Resources
Our proposed rule concluded that recent Federal policy direction,
technological advances, world oil demand, and economics have renewed
the desirability to invest in renewed energy development in Utah and
Colorado. However, based on comments received on the proposed rule, it
appears that the development of oil-shale and tar-sands resources in
Penstemon grahamii habitat is not likely to occur, if it occurs at all,
until at least 20 years into the future.
Penstemon grahamii has been listed as a candidate species since
1980, in part due to the potential threat of increased energy
development (Service 2004). The habitat of P. grahamii is a series of
knolls and slopes of raw oil-shale derived from the Green River
geologic formation (Shultz and Mutz 1979a, pp. 38-42; Shultz and Mutz
1979b, pp. 25-38; Neese and Smith 1982a, pp. 63-66; Neese and Smith
1982b, pp. 115-140; Borland 1987, p. 1; Franklin 1993, Appendix D;
Franklin 1995, Appendix B; Colorado NHP 2005, pp. 1-20; Utah NHP 2005,
pp. 1-124; Service 2005, pp. 1-13; Decker et al. 2006, pp. 3-10). Oil-
shale resources associated with the Green River formation underlie
approximately 41,440 km\2\ (16,000 mi\2\) and represent the largest
known concentration of oil-shale in the world with potential
recoverable reserves in excess of 1 trillion barrels (Bartis et al.
2005, pp. 5-7; Bunger et al. 2004 p. 1; Dyni 2003, pp. 241-245; Lonnie
2005, pp. 1-3). P. grahamii only grows directly on weathered surface
exposures of the oil-shale bearing strata in the Parachute member and
closely associated strata, making the species vulnerable to impacts if
that oil-shale strata is exploited in the future (Bartis 2005, pp. 35-
37; Cashion 1967, p. 31, Fig. 8; Johnson et al. 2004b. pp. 3-5; Service
2005, p. 21; Shultz and Mutz 1979a, p. 42; Neese and Smith 1982a, pp.
64-66).
One hundred five of 109 (96 percent) Penstemon grahamii occurrences
are in the Parachute Creek member of the Green River formation; the
remaining 4 sites are in oil-shale strata of the Evacuation Creek
member of the Green River formation (Service 2005, p. 21; Shultz and
Mutz 1979a, p. 39; Neese and Smith 1982a, p. 64). Oil-shale beds are
most numerous and important in the Parachute Member of the Green River
formation (Cashion 1967, p. 13), but the underlying Evacuation Creek
member also contains a few beds of oil-shale (Cashion 1967, p. 17). The
105 occurrences in the Parachute Creek member harbor an estimated 6,100
individuals or 98 percent of the species' estimated population of 6,200
(Shultz and Mutz 1979a, pp. 38-42; Neese and Smith 1982a, pp. 63-66).
There are no oil-shale or tar-sand development projects currently
in operation or proposed within the known occupied habitat of Penstemon
grahamii, or anywhere else in the United States (BLM 2006a, p. 13). The
BLM projects that the oil-shale industry will focus its earliest
commercial production efforts in the Piceance Basin, Colorado, about
48.3 km (30 mi) from the nearest known P. grahamii occurrence (BLM,
2006, pp. 14, 36). The Piceance Basin contains larger oil-shale
deposits than the Uinta Basin in Utah. Deposits are more than 305 m
(1,000 ft) thick in parts of the Piceance Basin and continuous across
311 km\2\ (120 mi\2\) (BLM, 2006, p. 14).
Initial industry interest appears to support BLM projections. In
2005, the BLM received 20 proposals and applications for oil-shale
Research, Development, and Demonstration (RD&D) leases on Federal lands
in Colorado and Utah. None of these RD&D lease applications are within
the occupied habitat of Penstemon grahamii (BLM 2006a, pp. 6, 12-13).
The nearest is about 3.2 km (2 mi) southeast of known occurrences (on
Green River shale barrens). Of the 20 RD&D lease application proposals,
the BLM selected 6 for further consideration--5 are in Colorado in the
Piceance Basin about 50 km (30 mi) east of the P. grahamii's population
at Raven Ridge. The one Utah RD&D application still under review is
located about 8 km (5 mi) west and 13 km (8 mi) north of the nearest P.
grahamii occurrences in habitat not suitable for the species (BLM
2006a, pp. 12-13, 15, 18-19, 34).
Any future oil-shale development within the Uinta Basin nearest the
range of Penstemon grahamii is expected to be associated with the
thickest deposits of oil-shale, which occur about 8 km (5 mi) from the
nearest occurrence of P. grahamii (BLM 2006a, pp. 12-13). These
deposits occur in the vicinity of the