Endangered and Threatened Wildlife and Plants; Withdrawal of Proposed Rule To List the Southwestern Washington/Columbia River Distinct Population Segment of Coastal Cutthroat Trout (Oncorhynchus clarki clarki, 8621-8644 [2010-3803]
Download as PDF
Federal Register / Vol. 75, No. 37 / Thursday, February 25, 2010 / Proposed Rules
We encourage interested parties to
continue to gather data that will assist
with the conservation of the species. If
you wish to provide information
regarding the bald eagle, you may
submit your information or materials to
the Field Supervisor, Arizona Ecological
Services Office (see ADDRESSES section
above). The Service continues to
strongly support the cooperative
conservation of the Sonoran Desert Area
bald eagle.
On March 6, 2008, the U.S. District
Court for the District of Arizona
enjoined our application of the July 9,
2007 (72 FR 37346), final delisting rule
for bald eagles to the Sonoran Desert
population pending the outcome of our
status review and 12-month petition
finding. As a result, we put this
population back on the List of
Threatened and Endangered Species on
May 1, 2008. In light of our 12-month
finding presented above, we intend to
publish a separate notice to remove this
population from the List of Threatened
and Endangered Wildlife. However, we
will only do so once the U.S. District
Court for the District of Arizona has
confirmed that its injunction, which
required us to add this population to the
List of Threatened and Endangered
Wildlife, has been dissolved. Until that
time, the Sonoran Desert Area
population will remain protected by the
Act.
References Cited
A complete list of all references cited
herein is available, upon request, from
the Arizona Ecological Services Office
of the U.S. Fish and Wildlife Service
(see ADDRESSES section above).
Author
The primary authors of this notice are
the staff of the Arizona Ecological
Services Office (see ADDRESSES).
Authority
The authority for this action is the
Endangered Species Act of 1973, as
amended (16 U.S.C. 1531 et seq.).
sroberts on DSKD5P82C1PROD with PROPOSALS
Dated: February 17, 2010.
Hannibal Bolton,
Acting Director, Fish and Wildlife Service.
[FR Doc. 2010–3794 Filed 2–24–10; 8:45 am]
BILLING CODE 4310–55–P
VerDate Nov<24>2008
17:18 Feb 24, 2010
Jkt 220001
DEPARTMENT OF THE INTERIOR
Fish and Wildlife Service
50 CFR Part 17
[Docket No. FWS–R1–ES–2008–0128]
[MO 92210–0–0009–B4]
RIN 1018–AW72
Endangered and Threatened Wildlife
and Plants; Withdrawal of Proposed
Rule To List the Southwestern
Washington/Columbia River Distinct
Population Segment of Coastal
Cutthroat Trout (Oncorhynchus clarki
clarki) as Threatened
AGENCY: Fish and Wildlife Service,
Interior.
ACTION: Proposed rule; withdrawal.
SUMMARY: We, the U.S. Fish and
Wildlife Service (Service), have
determined that the proposed listing of
the Southwestern Washington/Columbia
River Distinct Population Segment
(DPS) of coastal cutthroat trout as a
threatened species under the
Endangered Species Act of 1973, as
amended (Act), is not warranted. We
therefore withdraw our proposed rule
(64 FR 16397; April 5, 1999) to list the
DPS under the Act. Although we had
earlier concluded that this DPS did not
warrant listing under the Act, as a result
of litigation we have reconsidered
whether the marine and estuarine areas
of the DPS may warrant listing if they
constitute a significant portion of the
range of the DPS. Based upon a
thorough review of the best available
scientific and commercial data, we have
determined that the threats to coastal
cutthroat trout in the marine and
estuarine areas of its range within the
DPS, as analyzed under the five listing
factors described in section 4(a)(1) of the
Act, are not likely to endanger the
species now or in the foreseeable future
throughout this portion of its range. We,
therefore, again withdraw our proposed
rule, as we have determined that the
coastal cutthroat trout is not likely to
become endangered now or in the
foreseeable future throughout all or a
significant portion of its range within
the Southwestern Washington/Columbia
River DPS.
ADDRESSES: This withdrawal and
supporting documentation are available
on the Internet at https://
www.regulations.gov; search for Docket
Number [FWS–R1–ES–2008–0128].
Supporting documentation for this
determination is also available for
inspection, by appointment, during
normal business hours at the U.S. Fish
and Wildlife Service, Oregon Fish and
PO 00000
Frm 00073
Fmt 4702
Sfmt 4702
8621
Wildlife Office, 2600 SE. 98th Avenue,
Suite 100, Portland, OR 97266;
telephone 503–231–6179; facsimile
503–231–6195.
FOR FURTHER INFORMATION CONTACT: Paul
Henson, Ph.D., State Supervisor, U.S.
Fish and Wildlife Service, Oregon Fish
and Wildlife Office (see ADDRESSES,
above). Persons who use a
telecommunications device for the deaf
(TDD) may call the Federal Information
Relay Service (FIRS) at 800–877–8339.
SUPPLEMENTARY INFORMATION:
Background
On July 5, 2002, we published a
notice of our withdrawal of the
proposed rule to list the Southwestern
Washington/Columbia River distinct
population segment (DPS) of the coastal
cutthroat trout (Oncorhynchus clarki
clarki) as threatened under the
Endangered Species Act of 1973, as
amended (Act) (67 FR 44934; July 5,
2002). As a result of litigation, we are
required to reconsider our withdrawal
of the proposed rule with specific regard
to the question of whether marine and
estuarine areas may constitute a
significant portion of the range of the
Southwestern Washington/Columbia
River DPS of coastal cutthroat trout.
On March 24, 2009, we published a
notice of reopening of a comment period
on the proposed rule (74 FR 12297). In
that notice, we alerted the public, other
concerned governmental agencies, the
scientific community, industry, and any
other interested party of our request for
information, data, or comments on the
marine and estuarine areas of the
Southwestern Washington/Columbia
River DPS of coastal cutthroat trout,
with particular regard to whether these
areas constitute a significant portion of
the range of the DPS under the Act, and
if so, whether the subspecies is
threatened or endangered in those areas.
The comment period closed on April
23, 2009, and we received four comment
letters. After analyzing the information
received, information in our files, and
all other available information, we
analyzed the threats to coastal cutthroat
trout in the marine and estuarine
portion of the DPS to determine whether
coastal cutthroat trout are threatened or
endangered in that area and, if so,
whether the area constitutes a
significant portion of the range of the
DPS. Although the Court did not ask us
to revisit status, trends, and threats to
anadromous cutthroat trout or other lifehistory forms outside of marine and
estuarine areas, we have also considered
any new information available for these
areas that would suggest any significant
change in status, trend, or threats for the
E:\FR\FM\25FEP1.SGM
25FEP1
8622
Federal Register / Vol. 75, No. 37 / Thursday, February 25, 2010 / Proposed Rules
remainder of the DPS. This withdrawal
of the proposed rule is the result of our
determination that coastal cutthroat
trout in the marine and estuarine areas
of the DPS do not warrant listing as
either threatened or endangered.
Previous Federal Actions
The Federal Register documents
related to this current withdrawal action
are listed in table 1 and explained
further in text following the table.
TABLE 1—FEDERAL REGISTER PUBLICATIONS CONCERNING THE PROPOSED LISTING OF THE SOUTHWESTERN WASHINGTON/
COLUMBIA RIVER DISTINCT POPULATION SEGMENT OF COASTAL CUTTHROAT TROUT (Oncorhynchus clarki clarki).
Date of Federal Register Publication
Federal Register Citation
Action
64 FR 16397
FWS and NMFS jointly issue a proposed rule to list the southwestern
Washington/Columbia River distinct population segment of coastal
cutthroat trout as threatened and opened a public comment period
until July 6, 1999
April 14, 2000
65 FR 20123
Announced 6–month extension for publishing the final determination on
the April 5, 1999, proposed rule from the normal 12–month timeframe
required by the Act (extension was from April 5, 2000, to October 5,
2000)
April 21, 2000
65 FR 21376
Announced transfer of regulatory jurisdiction for coastal cutthroat trout
from joint FWS and NMFS management to FWS exclusively
June 2, 2000
65 FR 35315
Reopened the comment period on the April 5, 1999, proposed rule until
July 23, 2000, and announced a public hearing on June 20, 2000
July 14, 2000
65 FR 43730
Clarified the take prohibitions that would go into effect if the April 5,
1999, proposed rule was finalized
September 6, 2000
65 FR 53974
Reopened the comment period on the July 14, 2000, take clarification
document until September 29, 2000, and announced a public hearing
on September 21, 2000
November 23, 2001
66 FR 58706
Reopened the comment period on the April 5, 1999, proposed rule to
list until December 24, 2001
July 5, 2002
67 FR 44934
Withdrew the April 5, 1999, proposed rule to list
March 24, 2009
sroberts on DSKD5P82C1PROD with PROPOSALS
April 5, 1999
74 FR 12297
Reconsidered the July 5, 2002, withdrawal and reopened the comment
period on the April 5, 1999, proposed rule to list until April 23, 2009
As indicated in table 1, the National
Marine Fisheries Service (NMFS) and
the Service jointly published a proposed
rule to list the Southwestern
Washington/Columbia River ESU (later
DPS) of coastal cutthroat trout as a
threatened population under the
distinct vertebrate population segment
provision of the Act on April 5, 1999 (64
FR 16397). In that proposed rule, we
noted the uncertainty regarding which
agency, the NMFS or the Service, had
jurisdiction over the coastal cutthroat
trout, and we committed to notify the
public once the issue had been resolved.
Subsequently, the time to make a final
determination on the proposed rule was
extended for an additional 6 months,
from April 5, 2000, to October 5, 2000,
due to substantial scientific
disagreement about the status of the
population; this action further opened
an additional 30–day comment period
(65 FR 20123; April 14, 2000).
On April 21, 2000, the NMFS and the
Service published a notice of the
Service’s assumption of sole jurisdiction
for coastal cutthroat trout under the Act
VerDate Nov<24>2008
17:18 Feb 24, 2010
Jkt 220001
(65 FR 21376). On June 2, 2000, we
again reopened the comment period on
the proposed rule and announced a
public hearing to be held in Ilwaco,
Washington, on June 20, 2000, to allow
all interested parties to submit oral or
written comments on the proposal (65
FR 35315). On July 14, 2000, we
published a notice to clarify the take
prohibitions for the Southwestern
Washington/Columbia River DPS of
coastal cutthroat trout that would apply
if the proposed listing were to be
finalized, and provided a 30–day public
comment period on the list of activities
that would, and would not, likely
constitute a violation of section 9 of the
Act (65 FR 43730). The comment period
on the clarification of take prohibitions
was reopened on September 6, 2000 (65
FR 53974), and a hearing was held
September 21, 2000, in Aberdeen,
Washington, based on a request during
the initial public comment period. In
addition, the comment period on the
proposed rule to list the Southwestern
Washington/Columbia River DPS of
coastal cutthroat trout was again
PO 00000
Frm 00074
Fmt 4702
Sfmt 4702
reopened for an additional 30 days on
November 23, 2001 (66 FR 58706).
On July 5, 2002, we published a
notice of withdrawal of the proposed
rule to list the Southwestern
Washington/Columbia River DPS of the
coastal cutthroat trout as threatened (67
FR 44934; July 5, 2002). The notice set
forth the following bases for our
determination that the DPS did not meet
the listing criteria as a threatened
species: (1) new data indicating that
coastal cutthroat trout are more
abundant in southwest Washington than
was previously thought, and that
population sizes were comparable to
those of healthy populations in other
areas; (2) new information and analyses
calling into question prior interpretation
of the size of the anadromous portion of
the population in the Columbia River,
and indicating higher numbers than
previously described; (3) new data and
analyses no longer showing declining
adult populations in the Grays Harbor
tributaries; (4) new analyses calling into
question the past interpretation of trend
data, and, therefore, the magnitude of
E:\FR\FM\25FEP1.SGM
25FEP1
sroberts on DSKD5P82C1PROD with PROPOSALS
Federal Register / Vol. 75, No. 37 / Thursday, February 25, 2010 / Proposed Rules
the trend in the anadromous portion of
the population in the Columbia River;
(5) new information describing the
production of anadromous progeny by
non-anadromous and above-barrier
cutthroat trout; and, (6) two large-scale
Habitat Conservation Plans (HCPs) and
significant changes in Washington
Forest Practices Regulations,
substantially reducing threats to aquatic
and riparian habitat on forest lands in
Washington. The withdrawal notice
concluded that, based on reduced
threats and new information and
understanding regarding the status of
the DPS, the Southwestern Washington/
Columbia River DPS of coastal cutthroat
trout was not in danger of becoming
endangered in the foreseeable future,
and, therefore, did not meet the
definition of a threatened species.
On February 3, 2005, the Center for
Biological Diversity, Oregon Natural
Resources Council, Pacific Rivers
Council, and WaterWatch filed a legal
challenge to the Service’s withdrawal of
the proposed listing in the U.S. District
Court for the District of Oregon (Center
for Biological Diversity, et al. v. U.S.
Fish and Wildlife Service, Case No. 05–
165–KI). The Court ruled that the
Service’s decision to withdraw the
proposed rule complied with the Act
and was not arbitrary and capricious,
and dismissed the action on November
16, 2005. Plaintiffs appealed. On April
18, 2008, the U.S. Court of Appeals for
the Ninth Circuit affirmed the district
court’s decision in part and reversed the
decision in part. The Ninth Circuit
found no error in the Service’s
determination that the DPS as a whole
did not merit listing, but held that the
Service had failed to consider whether
the marine and estuarine portions of the
DPS constitute a significant portion of
the range of the coastal cutthroat trout
within that DPS under the Act (Center
for Biological Diversity, et al. v. U.S.
Fish and Wildlife Service, 274 Fed.
Appx. 542 (9th Cir. 2008)). The Ninth
Circuit reversed the district court’s
decision and remanded the matter to the
district court.
On July 1, 2008, the U.S. District
Court for the District of Oregon issued
an amended order remanding the listing
decision to the Service for further
consideration in light of the opinion of
the Ninth Circuit. On March 24, 2009,
we reopened a comment period on the
proposed rule (74 FR 12297), soliciting
information on the question of whether
the estuary and other marine areas
constitute a significant portion of the
range of the Southwestern Washington/
Columbia River DPS of the coastal
cutthroat trout. The comment period
closed on April 23, 2009.
VerDate Nov<24>2008
17:18 Feb 24, 2010
Jkt 220001
Species Information
The following descriptions of the
subspecies coastal cutthroat trout
(Oncorhynchus clarki clarki), its habitat,
and life history, are excerpted from our
July 5, 2002, withdrawal of the
proposed rule to list the Southwestern
Washington/Columbia River DPS of the
coastal cutthroat trout as threatened
(hereafter ‘‘withdrawal notice’’) (67 FR
44934; July 5, 2002). We incorporate all
of the information in the withdrawal
notice by reference. Where new
information has become available, we
have updated these descriptions to
ensure we are using the best available
scientific and commercial information.
Where certain information is critical to
the understanding of our reasoning, we
have included it here. We have focused
on cutthroat exhibiting anadromous lifehistory strategies as these are the only
individuals that use the marine and
estuarine areas under consideration
here. Please see the withdrawal notice
(67 FR 44934; July 5, 2002) for
additional information.
The coastal cutthroat trout is 1 of 10
formally described subspecies of
cutthroat trout (Behnke 1992) and is a
member of the family Salmonidae
(collectively known as salmonids). The
coastal cutthroat trout is distributed
along the Pacific Coast of North America
from Prince William Sound in Alaska to
the Eel River in California (Behnke
1992, p. 65; Trotter 2008, p. 62) and
inland from the Coast Range of Alaska
to roughly the crest of the Cascades of
Washington and Oregon (Trotter 2008,
p. 62).
The Southwestern Washington/
Columbia River DPS of coastal cutthroat
trout includes the Columbia River and
its tributaries from the mouth to the
Klickitat River on the Washington side
of the river and Fifteenmile Creek on the
Oregon side; the Willamette River and
its tributaries from its confluence with
the Columbia upstream to Willamette
Falls; Willapa Bay and its tributaries;
and Grays Harbor and its tributaries.
The portion of the range of the DPS
being considered here includes three
estuaries and areas of nearshore marine
ocean habitat off the coasts of these
estuaries. In the Columbia River, we
have defined the estuary as extending to
approximately river mile (rmi) 28 (river
kilometer (rkm) 45) where the upstream
extent of saltwater intrusion occurs. The
Columbia River estuary, from the mouth
to the extent of saltwater intrusion,
covers approximately 148 square miles
(sq mi) (about 383 square kilometers (sq
km)). In Grays Harbor and Willapa Bay
estuaries, the extent of saltwater
intrusion is less distinguishable from
PO 00000
Frm 00075
Fmt 4702
Sfmt 4702
8623
the extent of tidal influence, largely due
to the less linear shape of the water
body. As a result, we define the estuary
as extending approximately as far
upstream as the extent of saltwatertolerant shoreline vegetation along each
of the respective tributaries. Defined
this way, Grays Harbor estuary covers
approximately 91 sq mi (about 236 sq
km), and Willapa Bay estuary covers
approximately 129 sq mi (about 334 sq
km).
The marine area included is far more
difficult to identify, since anadromous
coastal cutthroat trout from within this
DPS could potentially intermingle with
coastal cutthroat trout from Olympic
Peninsula populations to the north, and
the Oregon coast populations to the
south (Johnson et al. 1999, pp. 126–
130). We define the nearshore marine
area by considering the marine areas
known or likely to be used by Columbia
River anadromous coastal cutthroat
trout. To the south of the mouth of the
Columbia River, an acoustic-tagged
coastal cutthroat trout from a study by
Zydlewski et al. (2008, p. 34) was
detected by an unrelated acoustic
tracking study off the mouth of Nehalam
Bay, approximately 38 miles (mi) (about
61 kilometers (km)) south of the
Columbia River mouth. We can
therefore reasonably assume that coastal
cutthroat trout from Grays Harbor
estuary in Washington might swim
about the same distance north of the
mouth of its bay, or approximately to
the mouth of the Queets River.
According to Trotter (2008, p. 71),
coastal cutthroat trout have been
collected as far out into the Columbia
River plume as 41 mi (about 66 km)
from the mouth. The ‘‘plume’’ refers to
the area where river water extends into
and mixes with the waters of the ocean
at the mouth of the river.
The marine areas included in this
analysis, therefore, include
approximately 4,952 sq mi (about
12,826 sq km) of ocean ranging from the
mouth of the Nehalam River in Oregon,
out to a point approximately 30 mi
(about 48 km) from shore, then to a
point approximately 41 mi (about 66
km) west of the Columbia River mouth,
then a point approximately 30 mi (about
48 km) west of the mouth of the Queets
River, in Washington. The Columbia
River plume exhibits highly variable
flow and location, depending on river
flow, wind patterns, El Nixntilde;o
oscillations, and other oceanographic or
climatic factors (Hickey et al. 2005, p.
1632; Thomas and Weatherbee 2006, p.
169). The area described above is
heavily influenced by plume conditions,
and thus might provide suitable habitat
for anadromous coastal cutthroat trout
E:\FR\FM\25FEP1.SGM
25FEP1
sroberts on DSKD5P82C1PROD with PROPOSALS
8624
Federal Register / Vol. 75, No. 37 / Thursday, February 25, 2010 / Proposed Rules
that may access the ocean from the three
estuaries mentioned. Actual distribution
of coastal cutthroat trout in the marine
areas may be highly variable at any
given time, and, as mentioned above,
coastal cutthroat trout from the
Southwestern Washington/Columbia
River DPS may mingle with coastal
cutthroat trout from other populations
in this area.
Coastal cutthroat trout spend more
time in the freshwater environment and
make more extensive use of this habitat,
particularly small streams, than do most
other Pacific salmonids. The life history
of coastal cutthroat trout may be one of
the most complex of the Pacific
salmonids (Johnson et al. 1999, p. 120).
Coastal cutthroat trout exhibit a variety
of life-history strategies across their
range (Northcote 1997, p. 24; Johnson et
al. 1999, pp. 44–45) that includes three
basic variations: resident or primarily
nonmigratory; freshwater migrants; and
marine migrants. Residents may stay
within the same stream segment their
entire life. Freshwater migrants may
make migrations from small tributaries
to larger tributaries or rivers, or may
migrate from tributary streams to lakes
or reservoirs. Marine migrations
(anadromy) are generally thought to be
limited to nearshore marine areas;
individuals may not venture out of the
estuary in some cases (ODFW 2008, p.
8; Krentz 2007, pp. 71–75). There are
numerous exceptions to these
generalized behaviors. In areas above
long-standing barriers, coastal cutthroat
trout are generally limited to resident or
freshwater migratory life-history
strategies, though some individuals may
pass the barrier and end up in the ocean
but be barred from returning by the
barrier. In areas accessible to the ocean,
all three life-history strategies (resident,
freshwater migratory, and anadromous)
are likely to be expressed in the same
area.
Coastal cutthroat trout appear to
exhibit diverse and very flexible lifehistory strategies. The significance of
the various life-history strategies, the
extent to which each strategy is
controlled by genetic versus
environmental factors, and the extent to
which individuals expressing these
various strategies are isolated from other
life-history forms is largely unknown.
There is some evidence that individuals
may express multiple life-history
behaviors in their lifetimes (Johnson et
al. 1999, pp. 43–44); in other words,
apparently an individual fish at various
times in its life may switch between
these life-history forms, some years
acting as a freshwater resident or
migrant, and some years acting as a
marine migrant (see the ‘‘Anadromy and
VerDate Nov<24>2008
17:18 Feb 24, 2010
Jkt 220001
Life History Diversity’’ section below for
more information). For convenience we
refer to individuals that migrate to
marine waters as anadromous, or as the
anadromous life form (also known as
‘‘sea-run’’ cutthroat trout). In doing so,
we do not intend to imply that they
represent a separate population from
freshwater forms. We are treating all
forms as part of a single population in
this analysis, due to their flexibility in
life-history expression and genetic
information showing more
differentiation between river or stream
systems than between individuals
expressing various life histories in a
single system, as described below.
Coastal cutthroat trout are repeat
spawners. Some individuals have been
documented to spawn each year for at
least 5 years (Giger 1972, p. 33), others
may not spawn every year, and some do
not return to seawater after spawning,
remaining in fresh water for at least a
year, demonstrating the flexibility of
individual life history strategies. Eggs
begin to hatch within 6 to 7 weeks of
spawning and fry emerge between
March and June, with peak emergence
in mid-April. At emergence, fry appear
to seek refugia near channel margins
and backwater habitats, although they
may use fast water habitats (riffles and
glides) when exposed to competitive
interactions with other native salmonids
(Johnson et al. 1999, pp. 51–52).
Migratory coastal cutthroat trout
juveniles generally remain in upper
tributaries until they are 1 or 2 years of
age. Like other anadromous salmonids,
coastal cutthroat trout on marinedirected migrations undergo
physiological changes to adapt to salt
water; these changes are called
‘‘smoltification,’’ and individuals that
have undergone this process are referred
to as ‘‘smolts.’’ Smoltification of coastal
cutthroat trout has been reported to
occur from 1 to 6 years of age, but is
most common at age 2 (Trotter 2008, p.
71). Migration of juvenile cutthroat from
tributaries of the lower Columbia River
occurs most months of the year, but
peak movement occurs from March
through June (Johnson et al. 2008, pp.
7–9; ODFW 2008, p. 7).
Anadromous coastal cutthroat trout
that enter nearshore marine waters
reportedly move moderate distances
along the shoreline. Anadromous
cutthroat trout along the Oregon coast
may swim or be transported long
distances with the prevailing currents
during the summer; individual marked
fish have been reported to move from 45
to 180 mi (72 to 290 km) off the Oregon
Coast (Pearcy 1997, p. 30). It is unclear
how far offshore coastal cutthroat trout
migrate. Cutthroat trout have been
PO 00000
Frm 00076
Fmt 4702
Sfmt 4702
routinely caught up to 4 mi (6 km off the
mouth of the Nestucca River (Sumner
1953, 1972). Coastal cutthroat trout have
also been captured between 6 to 41 mi
(10 and 66 km) offshore of the Columbia
River (Trotter 2008, p. 71), though it is
unclear whether they were carried by
the plume of the Columbia River or
moved offshore in search of prey.
Resident (non-migratory) fish appear to
mature earlier (2 to 3 years), are shorterlived than the migratory form, and are
smaller and less fecund (Trotter 2008, p.
85). Sexual maturity rarely occurs before
age four in anadromous coastal
cutthroat trout (Johnson et al. 1999, p.
51). Growth rates increase during the
initial period of ocean residence, but
decrease following the first spawning
due to energy expenditures from
migration and spawning (Giger 1972,
pp. 29–31). Behnke (1992, p. 70) reports
the maximum age of sea-run cutthroat to
be approximately 10 years.
The timing of fish returns to estuary
and freshwater habitat varies
considerably across the range and
within river basins (Trotter 2008, p. 73;
Behnke 1992, p. 70). For example,
return migrations of anadromous coastal
cutthroat trout in the Columbia River
system usually begin as early as late
June and continue through October,
with peaks in late September and
October. Anadromous coastal cutthroat
trout spawning typically starts in
December and continues through June,
with peak spawning in February.
Significant progress had been made in
understanding the biology of
anadromous cutthroat trout in the
Columbia River since 2002, when we
published our initial withdrawal notice
(67 FR 44934; July 5, 2002). We received
new information from a suite of recent
companion studies conducted on
coastal cutthroat trout from tributaries
on the Washington side of the lower
Columbia River. Johnson et al. (2008,
entire) examined the timing and
prevalence of juvenile movement out of
tributaries and timing of adult returns.
Zydlewski et al. (2008, entire) examined
movement patterns and extent of use of
the mainstem and estuary by coastal
cutthroat trout entering the Columbia
River from four tributaries known to
support anadromous life forms. Finally,
Hudson et al. (2008, entire) examined
movement of adult coastal cutthroat in
the lower Columbia River mainstem and
estuary. These studies, combined with
similar research conducted by the
Oregon Department of Fish and Wildlife
(ODFW 2008, entire) on several
tributaries on the Oregon side of the
lower Columbia River, contribute
significantly to our understanding of
E:\FR\FM\25FEP1.SGM
25FEP1
sroberts on DSKD5P82C1PROD with PROPOSALS
Federal Register / Vol. 75, No. 37 / Thursday, February 25, 2010 / Proposed Rules
coastal cutthroat trout. We summarize
the findings from these studies below.
Johnson et al. (2008, entire)
monitored cutthroat trout from three
tributaries of the lower Columbia River:
Abernathy Creek, rmi 54.0 (rkm 87),
Chinook River, rmi 3.7 (rkm 6), and Gee
Creek, rmi 87.0 (rkm 140). A total of
4,923 cutthroat were tagged with
passive integrated transponders (‘‘PIT
tagged’’) over a 4–year period and
subsequently monitored by antennas
placed near the confluence of the
streams with the Columbia River.
Detections of tagged cutthroat followed
a seasonal pattern of movement
consistent among years with most
emigration (downstream migration)
occurring between March and May.
Although some individuals in this study
did not move out of the tributary in
which they were tagged, and others
were documented moving upstream
once they entered the Columbia River,
the majority of emigrating fish were
assumed to migrate downstream to the
Columbia River estuary, plume, and
marine environments (i.e., exhibit
anadromous behavior).
The number of tagged fish detected
emigrating to the Columbia River varied
considerably between streams, but
within streams the proportion of
detected migrants versus the total
number tagged was generally consistent
among years. In Abernathy Creek, the
proportion of detected migrants
(percentage of tagged fish emigrating
versus total number tagged) averaged 9.0
percent over 4 years; in Chinook River,
the proportion averaged 45.2 percent;
and in Gee Creek, the average was 12.4
percent. Outmigrating cutthroat trout
were generally age 1 or 2. Adults
returned between October and
December. Cutthroat trout returned from
all reaches sampled during initial
tagging, suggesting there was no distinct
spatial separation between resident and
migratory cutthroat.
Adult returns to Abernathy Creek
totaled 15 individual tagged fish (2.5
percent of the total number of tagged
fish detected emigrating). Subsequently,
8 of those 15 exhibited a second
migration to the Columbia River, one of
which subsequently returned for a third
spawning migration. Adult returns to
Chinook River totaled 43 tagged
individuals (7.4 percent of the total
number of tagged fish detected
emigrating). Subsequently, 16 exhibited
a second migration to the Columbia
River, 10 of which returned. Of those 10
fish, 4 exhibited a third migration back
to the Columbia River of which 1
individual returned for a fourth
spawning season. Of the 132 fish PITtagged from Gee Creek, 17 emigrated to
VerDate Nov<24>2008
17:18 Feb 24, 2010
Jkt 220001
the Columbia River and none were
documented returning in subsequent
years.
The authors suggested the higher
adult return rates and the higher
likelihood of multiple migrations in the
Chinook River as compared to
Abernathy Creek could be due to (1)
migrants from the Chinook River being
larger relative to those emigrating from
Abernathy Creek, which may confer a
competitive advantage and predator
avoidance, and (2) less loss of Chinook
River fish because its confluence with
the Columbia River is in the estuary at
the mouth of the Columbia River,
resulting in a short corridor in which
migrants are less subject to
anthropogenic and natural threats. The
information from this study suggests a
large degree of variability among
streams in regards to the proportion of
the population that exhibits
anadromous behavior (i.e., emigrating
annually to the Columbia River).
Zydlewski et al. (2008, entire) studied
cutthroat trout from four tributaries of
the lower Columbia River using radio
and acoustic telemetry. Individual fish
were tracked as they migrated down the
Columbia River, through the estuary,
and into the ocean. In 2002, cutthroat
trout leaving Germany, Abernathy, and
Mill creeks took a median of 6.6 days to
reach the mouth of the Columbia River
(i.e., where the Columbia River meets
the Pacific Ocean). Many individuals in
this study traveled the distance in 1 to
2 days consistent with the speeds of
other species of anadromous salmonids
in the Columbia River. The authors of
this study suggested that rapid and
directed downstream movement
seaward may be the most advantageous
migratory strategy in this and other large
river systems. The observed directed
seaward movement documented in this
study differs from observations in other
estuaries where cutthroat trout make
greater use of the estuary (Krentz 2007,
entire). The findings of Zydlewski et al.
(2008, entire) are generally consistent
with migration patterns of coastal
cutthroat smolts from several tributaries
on the Oregon side of the lower
Columbia River by the ODFW (2008,
entire). Together these data suggest less
use of the Columbia River estuary by
anadromous cutthroat trout on their first
seaward migration than previously
thought. Zydlewski et al. (2008, p. 35)
speculated this somewhat uniform
migratory pattern may be a recent
condition based on a loss of life-history
diversity due to estuary habitat
degradation and altered hydrograph,
although this speculation was not
supported by any data.
PO 00000
Frm 00077
Fmt 4702
Sfmt 4702
8625
Hudson et al. (2008, entire)
investigated adult coastal cutthroat trout
behavior in the lower Columbia River
mainstem and estuary using radio
telemetry. Post-spawning adult
cutthroat trout were captured and
tagged in multiple tributaries on the
Washington side of the lower Columbia
River. Of the 44 fish radio-tagged over
2 years, 30 left tributary habitat between
February and May and utilized the
lower mainstem Columbia River and
estuary. Radio-tracking showed these
fish utilize a variety of habitats in the
mainstem Columbia River and estuary.
In this study the suspected or confirmed
mortality rate for tagged, post-spawning
anadromous cutthroat trout that moved
from spawning streams to the Columbia
River and estuary was 59.1 percent.
In summary, these recent studies
documented the prevalence of juvenile
movements out of tributaries and
migration patterns of anadromous
cutthroat trout in the lower Columbia
River. Cutthroat trout on their first
anadromous migration utilized the
estuary to a lesser degree than
previously thought, although returning
adults and those on second or third
migrations were documented utilizing
the estuary extensively. Emigration rates
from natal tributaries to the Columbia
River varied among tributaries with
rates ranging from 3.5 percent to 45
percent, and adult returns vary from 0.0
percent to 7.4 percent. Although timing
of peak outmigrations and return
migrations were documented, these
studies suggest cutthroat trout can be
found in the Columbia River estuary
year-round.
Anadromy and Life History Diversity
The presence of an anadromous lifehistory strategy could be valuable to the
DPS for genetic mixing in the long-term
and for potential recolonization after
large catastrophic events, assuming
some level of straying and mixing of
breeding cutthroat. Genetic exchange
can be important in evolutionary time
scales to maintain diversity within
populations, though complete genetic
mixing requires that only a few
individuals interbreed successfully over
generation-scale timeframes. The Pacific
Northwest is subject to periodic
catastrophic events such as volcanic
eruptions and stand replacement fires
that can seriously depress, and even
extirpate, local populations. These types
of events occur on very long time scales
and at watershed or sub-basin scales;
the risk of full river basin impacts is
unlikely. Anadromous cutthroat
represent one possible source of
individuals for recolonization, another
being resident or freshwater migratory
E:\FR\FM\25FEP1.SGM
25FEP1
sroberts on DSKD5P82C1PROD with PROPOSALS
8626
Federal Register / Vol. 75, No. 37 / Thursday, February 25, 2010 / Proposed Rules
cutthroat trout above or outside the area
of the catastrophic event. However, the
ability of anadromous cutthroat trout to
recolonize is limited by barriers. Since
the fish cannot make it past large
natural barriers, there is no possibility
of providing rescue above such barriers.
All of these functions can be
accomplished with relatively small
proportions of the population
expressing an anadromous life-history
strategy.
The original proposal to list the
Southwestern Washington/Columbia
River DPS of the coastal cutthroat trout
stated that ‘‘[a] significant risk factor for
coastal cutthroat trout in this [DPS] was
a reduction of life-history diversity’’
based on serious declines in
anadromous life-history forms and near
extirpation in at least two rivers on the
Oregon side of the basin (64 FR 16407;
April 5, 1999). The proposed rule
acknowledged that freshwater forms
remained well distributed and in
relatively high abundance (64 FR 16407;
April 5, 1999). The proposed rule
indicated that habitat degradation in
stream reaches accessible to
anadromous cutthroat trout, and poor
ocean and estuarine conditions, likely
had combined to severely deplete the
anadromous life-history form
throughout the lower Columbia River
Basin. Finally, the proposed rule further
stated that ‘‘Reduced abundance in
anadromous fish will tend to restrict
connectivity of populations in different
watersheds, which can increase genetic
and demographic risks. ... The
significance of this reduction in life
history diversity to the [sic] both the
integrity and the likelihood of this
[DPS’s] long-term persistence is a major
concern to NMFS.’’ (64 FR 16407; April
5, 1999).
The ODFW and the Washington
Department of Fish and Wildlife
(WDFW) presented preliminary
evidence to the NMFS Status Review
team that freshwater cutthroat trout
could produce anadromous migrants,
which could mitigate risks to the
anadromous portion of the population.
The proposed rule did note that the
presence of well-distributed freshwater
forms in relatively high abundance,
coupled with the possibility that
freshwater forms could produce
anadromous progeny ‘‘could act to
mitigate risk to anadromous forms of
coastal cutthroat trout,’’ though the
observation that anadromous coastal
cutthroat trout population sizes
remained consistently low remained a
cause for concern at that time (64 FR
16407; April 5, 1999).
The extent to which each life-history
expression is partitioned or isolated
VerDate Nov<24>2008
17:18 Feb 24, 2010
Jkt 220001
among and within populations is largely
unknown; however, there is evidence
that individuals may express multiple
life-history behaviors over time
(Johnson et al. 1999, p. 43). Coastal
cutthroat trout believed to be freshwater
forms one year may migrate to the sea
another year; some individuals may not
make their initial migration to sea until
age six (Trotter 2008, p. 71). Some searun cutthroat trout may not enter
saltwater every year after their initial
seaward migration (Tomasson 1978).
Existing studies show that, although
both allele frequencies and morphology
may differ some between populations
above and below barriers, individuals
exhibiting different life-history
strategies within a single drainage are
generally more closely related to each
other than are individuals exhibiting
similar life-history strategies from
different drainages (Johnson et al. 1999,
p. 75; Ardren et al. (in press)). In other
words, a resident fish and an
anadromous fish from the same drainage
would be more closely related to one
another than either would be to another
fish with the same life-history
expression in a different drainage. These
results indicate that migratory and
nonmigratory portions of the population
of cutthroat trout likely represent a
single evolutionary lineage in which the
various life-history characteristics have
arisen repeatedly in different geographic
regions (Johnson et al. 1999, p. 75).
For other salmonids with multiple
life-history forms, Jonsson and Jonsson
(1993, p. 356) suggested that in a single
mating, parents may produce offspring
with different migratory strategies,
though this has not been confirmed
experimentally for coastal cutthroat
trout (Johnson et al. 1999, p. 40).
Studies of brown trout have
demonstrated that non-anadromous
adults can produce anadromous
offspring, though at lower levels than
anadromous adults. Both the ODFW
(1998, p. 4; 2008, entire) and Anderson
(2008, p. 12) presented information
showing evidence of production of
anadromous progeny by freshwater
resident coastal cutthroat trout. Many
coastal cutthroat populations are
isolated above natural barriers. Studies
have shown low levels of downstream
migration over these natural barriers,
indicating that these isolated
populations likely are contributing
demographically and genetically to
populations below them (Griswold
1996, p. 40; Johnson et al. 1999, p. 75).
There is increasing evidence that
coastal cutthroat trout isolated for
relatively long periods of time above
impassable dams retain the capacity to
produce marine migrants (anadromous
PO 00000
Frm 00078
Fmt 4702
Sfmt 4702
fish). The WDFW (2001) reported that
between 476 and 1,756 smolts were
produced from the freshwater form of
coastal cutthroat trout above Cowlitz
Falls Dam on the Cowlitz River in 1997
and 1998. A downstream migrant trap at
Mayfield Dam recorded between 60 and
812 migrants per year from 1978 to
1999. There was a single release of
hatchery-derived anadromous cutthroat
trout above Mayfield Dam in 1981, but
all cutthroat trout currently above the
dam are considered to be freshwater
forms (WDFW 2001b, p. 7). Mayfield
Dam was built in 1962, blocking
upstream migration. WDFW has marked
coastal cutthroat trout smolts produced
by upstream resident freshwater fish at
Cowlitz Falls, which lies above
Mayfield Dam. Two adults returned
from smolts tagged in 1997, one of
which was sacrificed and
microchemistry results confirmed it had
migrated to salt water and returned.
Eight fish from smolts tagged returned
in 1998; thus, while this portion of the
DPS may contain residualized
anadromous cutthroat trout trapped
behind the dam, it has continued to
produce downstream migrants for over
40 years (more than 10 generations).
These results are consistent with the
hypothesis that resident fish in
anadromous fish zones are capable of
producing migratory juveniles (i.e.,
smolts) and sea-run adults.
Information submitted by the ODFW
(2008, p. 1) documents the outmigration
of cutthroat trout smolts to the lower
Columbia River estuary that are
offspring of resident cutthroat trout
isolated above a man-made barrier in
Big Creek that has been in place since
1941. Despite the fact that the barrier
prevented upstream passage of
anadromous cutthroat for more than 65
years (until 2004), anadromy has
continued to persist in this basin. The
level of outmigration (about 5 percent
emigration of fish tagged), although at a
considerably lower level than in
adjacent Bear Creek, which has no such
barrier to anadromous returns (about 30
percent emigration of fish tagged), still
represents a substantial demographic
and genetic input to the downstream
population. These reports suggest
resident cutthroat trout make potentially
important contributions to the
anadromous portion of the population,
despite extreme selective pressure
against anadromy (no anadromous
cutthroat had returned to spawn above
the barrier for many generations).
As mentioned earlier, a few studies
show that, although both allele
frequencies and morphology may differ
between populations above and below
barriers, fish with differing life-history
E:\FR\FM\25FEP1.SGM
25FEP1
sroberts on DSKD5P82C1PROD with PROPOSALS
Federal Register / Vol. 75, No. 37 / Thursday, February 25, 2010 / Proposed Rules
forms are generally more closely related
within a drainage than are populations
from different drainages (Johnson et al.
1999, p. 75). Ardren et al. (In Press)
examined coastal cutthroat trout to test
for genetic separation of sympatric (cooccurring) life-history forms within and
between two Columbia River tributaries,
Abernathy Creek and the Chinook River.
No distinct genetic separation was
found between sympatric migratory and
resident cutthroat forms within each
tributary, and genetic differences were
an order of magnitude higher between
tributary samples than between life
forms within a tributary. These results
are consistent with a population that
freely interbreeds within each tributary
producing progeny that have the genetic
capacity to express different life-history
forms. Based on the results from this
study the authors suggest that sympatric
migrant and resident forms of coastal
cutthroat trout in the lower Columbia
River may be best described as a
continuum of life-history forms
expressed from a single population.
This life history variation likely affords
resilience to environmental fluctuation
as has been demonstrated with bull
trout where loss of life history forms
results in higher extirpation
probabilities (Dunham and Rieman
1999, pp. 650–651). Considering lower
Columbia River cutthroat trout as a
single population is consistent with the
views of McPhee et al. (2007, p. 7), who
suggest that, due to lack of reproductive
isolation, it may not be appropriate to
consider sympatric resident and
anadromous rainbow trout
(Oncorhynchus mykiss) as separate
biological units, as they are currently
managed.
Anadromous cutthroat trout,
particularly in the lower Columbia River
estuary, are exposed to the full array of
habitat loss or degradation reported for
the estuary. However, there are few data
describing how they respond to this
exposure. The degree to which the
reduced numbers of the anadromous
portion of the population of coastal
cutthroat trout represent a risk to the
DPS as a whole depends, in part, on the
importance of this life-history strategy
and the extent to which the expression
of life history strategies are genetically
versus environmentally controlled.
NMFS (Johnson et al. 1999, p. 201)
acknowledged that, if freshwater coastal
cutthroat trout can produce smolts, this
could mitigate the risks to the
anadromous portion of the population,
though at the time they lacked
information on the length of isolation of
populations above Mayfield Dam to
fully evaluate this phenomenon. They
did note that, even if smolts were being
VerDate Nov<24>2008
17:18 Feb 24, 2010
Jkt 220001
produced, the anadromous portion of
the population remains consistently low
in many areas, which NMFS concluded
was cause for concern at that time. The
fact that resident cutthroat isolated by
artificial barriers for over 40 years in the
Cowlitz and over 65 years in Big Creek
in Oregon continue to produce smolts
suggests that even if the anadromous
portion of the population continues to
experience low numbers and possible
declines, smolts will be produced that
can supplement the anadromous portion
of the population and take advantage of
any improvement in anadromous
habitat (e.g., ocean, estuary, mainstem
rivers and tributaries). Further, the
reported rates of smolt to adult returns
are consistent with literature reports of
return ratios among healthy populations
of other Pacific salmon species
(Bradford 1995, p. 1332; Beckman et al.
1999, p. 1130), suggesting that return
rates of anadromous cutthroat are not
unusually low.
In addition, there is no evidence at
this time that coastal cutthroat trout
pursuing the anadromous life-history
strategy are segregated from the
remainder of the population. This
further supports the conclusion that
anadromous and resident forms are not
substantially separate subpopulations.
Therefore, based on the evidence that
freshwater and isolated portions of the
population are capable of producing
anadromous migrants and demonstrate
rates of return consistent with literature
reports of other Pacific salmon species,
we conclude that freshwater and
isolated portions of the coastal cutthroat
trout population are mitigating risks to
anadromous forms to some degree. We
believe that the ability for nonanadromous cutthroat trout to produce
anadromous progeny reduces the risk of
loss of the anadromous life-history
strategy.
Population Size and Trends
In our 2002 withdrawal (67 FR 44934;
July 5, 2002), we acknowledged that
little data existed to determine the
actual population size of cutthroat trout
in the DPS due to the fact that most
information was collected incidental to
monitoring of salmon and steelhead,
counts were generally conducted only
in areas monitored for salmon and
steelhead, and abundance information
originated from trapping facilities not
designed for capturing cutthroat trout,
thereby limiting the value of the
datasets. Given the information
available, and acknowledging the
limitations of the datasets analyzed, we
concluded ‘‘... while the anadromous
portion of the population of coastal
cutthroat trout is likely at lower-than-
PO 00000
Frm 00079
Fmt 4702
Sfmt 4702
8627
historical levels, there is little
information available to determine the
actual size of runs or to indicate that
populations, or even the anadromous
portion alone, are at extremely low
levels in most areas of the DPS.’’
In assessing trends, we cited similar
problems with the reliability of the
information based on the short-term
nature and gaps in many of the datasets,
and biases due to unknown trapping
efficiencies and other confounding
factors. In regard to trends in the
southwest Washington portion of the
DPS, we stated in our 2002 withdrawal
‘‘there was no reliable evidence that the
adult population in the Grays Harbor
tributaries is declining over the long
term and some indication that the adult
population may be stable or increasing
in at least some areas’’ and concluded by
stating ‘‘we no longer conclude that
trends of the adult anadromous portion
of the population and outmigrating
juveniles in the southwest Washington
portion of the DPS are all declining
markedly as described in the proposed
rule (64 FR 16407) .’’ (67 FR 44934; July
5, 2002).
We have little new data to assess
status and trend of anadromous
cutthroat trout in the Grays Harbor and
Willapa Bay portion of the DPS beyond
what we previously assessed. The only
new information we have comes from
Anderson (2008, p. 16), who concluded
the estimated anadromous smolt
production in Bingham Creek between
2002 and 2004 indicated production of
coastal cutthroat trout was relatively
stable, though somewhat cyclical. This
data was not analyzed using regression
analysis, and we are not able to
determine the significance of this trend
or how well the data fit the trend line.
In addition, the time series of the study
is too short to detect a trend with any
statistical confidence. However, this
study does show that smolts continue to
be produced from the Bingham Creek
system. We have no other information
since the withdrawal notice on adult or
juvenile coastal cutthroat trout in the
Grays Harbor watershed, and have no
new information from the Willapa Bay
watershed. Our evaluation of this
information does not alter our original
conclusions regarding the status and
trend of anadromous cutthroat in these
areas.
In our 2002 withdrawal notice, we
stated ‘‘[d]ata for the lower Columbia
River are limited and there are
significant concerns about the reliability
of the results. There are indications of
declines in the anadromous component
of the adult portion of the population in
the Columbia River, though the rate of
the decline is uncertain due to concerns
E:\FR\FM\25FEP1.SGM
25FEP1
sroberts on DSKD5P82C1PROD with PROPOSALS
8628
Federal Register / Vol. 75, No. 37 / Thursday, February 25, 2010 / Proposed Rules
over the reliability of the analyses and
potential biases in the data sets. While
the number of anadromous coastal
cutthroat trout have likely declined in
the Columbia River, we do not have
sufficient data to determine a reliable
rate of recent decline and, therefore, no
longer conclude that returns of
anadromous cutthroat trout in almost all
lower Columbia River streams have
declined markedly over the last 10 to 15
years as described in the proposed rule
(64 FR 16407; April 5, 1999). Based on
these data, we do not find that the
population trends indicate that coastal
cutthroat trout are likely to be extirpated
from any significant portion of their
range in the foreseeable future.’’ (67 FR
44934; July 5, 2002). Our evaluation of
what new information there is does not
alter our previous conclusion regarding
the status and trend of anadromous
cutthroat in this area, as described
above.
We have little new data to assess
status and trend of anadromous
cutthroat trout in the Columbia River
portion of the DPS. The production of
cutthroat trout smolts from Abernathy
and Germany creeks shows a slightly
declining trend, with an increasing
trend in Mill Creek, for the years 2001–
2007 (WDFW 2009, p. 2). The number
of returning natural-origin anadromous
cutthroat trout to the Cowlitz River
Hatchery has averaged 107 over the last
7 years, and the trend is positive
(WDFW 2009, p. 2). Survival rates of
hatchery-origin anadromous cutthroat
trout to the Cowlitz River Hatchery have
been consistent in recent years,
averaging 4.2 percent ± 1.6 percent for
the years 1998–2003 and 2005–2006;
this range overlaps the hatchery’s goal
of achieving an average 4.71 percent
smolt-to-adult survival (WDFW 2005, as
cited in Anderson 2008, p. 13). No
information is available to assess
population size of anadromous cutthroat
trout in the Columbia River, although
several new studies cited above in the
Background section document the
continued expression of anadromy by
cutthroat trout from tributaries of the
Columbia River.
Thus, while the best available
scientific and commercial information
do not allow us to determine overall
status and trend for anadromous coastal
cutthroat trout in the DPS, the limited
information above documents the
continued persistence of the
anadromous life-history form and
suggests trends in streams that are
monitored for coastal cutthroat trout are
variable. Although not reflective of a
trend in anadromous population size,
new information on emigration of
cutthroat juveniles from lower Columbia
VerDate Nov<24>2008
17:18 Feb 24, 2010
Jkt 220001
River tributaries in both Oregon and
Washington indicates tributaries that are
monitored for cutthroat trout are still
delivering anadromous smolts to the
estuary and that adults are returning at
rates that are similar to those of healthy
salmon and steelhead populations
(ODFW 2008, pp. 6–11; WDFW 2009, p.
2; Johnson et al. 2008, pp. 16–20;
Bradford 1995, p. 1332; Beckman et al.
1999, p. 1130). Although we
acknowledge the anadromous lifehistory form in the DPS is likely at
lower levels than it may have been in
the past, our current assessment
reaffirms the conclusions drawn in our
2002 withdrawal notice (64 FR 16407;
April 5, 1999), regarding the
unreliability of much of the available
data for assessing population status and
trend. We do not have evidence that
anadromous coastal cutthroat trout are
experiencing severe declines, or that the
life-history form is likely to be in danger
of extinction now or within the
foreseeable future.
Significant Portion of the Range
As defined under the Act, an
endangered species is any species
which is in danger of extinction
throughout all or a significant portion of
its range (hereafter SPR), and a
threatened species is any species likely
to become endangered within the
foreseeable future throughout all or a
significant portion of its range. Due to
a number of legal challenges
surrounding the meaning of the SPR
phrase, on March 16, 2007, the Solicitor
of the Department of the Interior issued
a formal opinion, ‘‘The Meaning of ‘In
Danger of Extinction Throughout All or
a Significant Portion of Its Range’’’ (U.S.
DOI 2007). In the opinion, the Solicitor
concluded:
(1) The SPR phrase is a substantive
standard for determining whether a
species is an endangered species—
whenever the Secretary concludes
because of the statutory five factor
analysis that a species is ‘‘in danger of
extinction throughout ... a significant
portion of its range,’’ it is to be listed
and the protections of the Act applied
to the species in that portion of its range
where it is specified as an ‘‘endangered
species’’;
(2) The word ‘‘range’’ in the SPR
phrase refers to the range in which a
species currently exists, not to the
historical range of the species where it
once existed;
(3) The Secretary has broad discretion
in defining what portion of a range is
‘‘significant,’’ and may consider factors
other than simply the size of the range
portion in defining what is ‘‘significant’’;
and
PO 00000
Frm 00080
Fmt 4702
Sfmt 4702
(4) The Secretary’s discretion in
defining ‘‘significant’’ is not unlimited;
he/she may not, for example, define
‘‘significant’’ to require that a species is
endangered only if the threats faced by
a species in a portion of its range are so
severe as to threaten the viability of the
species as a whole.
The Service has defined an SPR as a
portion of the range of the listed entity
(whether a full species, subspecies, or
DPS of a vertebrate) that contributes
meaningfully to the conservation of that
entity. We consider the significance of
an SPR to be based on its contribution
to the conservation (resiliency,
redundancy, and representation) of the
listable entity being considered.
Resiliency of a species allows for
recovery from periodic disturbance,
such as ensuring that large populations
persist in areas of high-quality habitat.
Redundancy of populations provides for
the spread of risk among populations
through distribution, such that the
species is capable of withstanding
catastrophic events. Representation
ensures that the species’ adaptive
capabilities are conserved, such as
through genetic variability or the
conservation of unique morphological,
physiological, or behavioral
characteristics.
Section 4 of the Act and its
implementing regulations (50 CFR part
424) set forth the procedures for listing
species, reclassifying species, or
removing species from listed status.
‘‘Species’’ is defined by the Act as
including any species or subspecies of
fish or wildlife or plants, and any
distinct population segment (DPS) of
vertebrate fish or wildlife that
interbreeds when mature (16 U.S.C.
1532(16)). The first step in considering
a listing action is to determine the
listable entity, whether it is a species,
subspecies, or DPS. It is important to
note that a significant portion of the
range is not a ‘‘species,’’ i.e., it is not a
listable entity as defined in the Act;
rather it is the portion of a range of a
listable entity where we may determine
that species to be threatened or
endangered. Upon a determination that
a species is not endangered or
threatened throughout all its range, we
then examine whether there are any
significant portions of the range where
the species is threatened or endangered.
The range of a species can
theoretically be divided into portions in
an infinite number of ways. However, to
meet the intended purpose of the Act,
there is no point in analyzing portions
of a species’ range that are not
reasonably likely to be significant and
threatened or endangered. To identify
only those portions that warrant further
E:\FR\FM\25FEP1.SGM
25FEP1
sroberts on DSKD5P82C1PROD with PROPOSALS
Federal Register / Vol. 75, No. 37 / Thursday, February 25, 2010 / Proposed Rules
consideration under the Act, we must
determine whether there is substantial
information indicating that (i) the
portions are significant and (ii) the
species is in danger of extinction there
or is likely to become so within the
foreseeable future. To be considered a
significant portion of the range that may
warrant the protections of the Act, both
questions must be answered in the
affirmative; the order in which they are
answered is not of consequence, and
both are equally valid approaches to
determining a significant portion of the
range that may warrant the protections
of the Act.
In practice, a key part of our analysis
is whether the threats are geographically
concentrated in some way. If the threats
to the species are essentially uniform
throughout its range, and are not
concentrated in some portion such that
the species may be in danger of
extinction there or likely to become so
within the foreseeable future, no portion
is likely to warrant further
consideration. Alternatively, if any
concentration of threats applies only to
portions of the range that do not
contribute meaningfully to the
conservation of the species, such
portions will not warrant further
consideration. In cases where we do not
identify any portions that warrant
further consideration for either reason,
we document that conclusion and no
further analysis is conducted beyond
our analysis of whether a species is
threatened or endangered throughout its
entire range.
Depending on the biology of the
species, its range, and the threats it
faces, it may be more efficient to address
the contribution to conservation
question first or the status question first.
The first alternative relies on an
assessment of significance based on a
portion’s contribution to the
conservation (resiliency, redundancy,
representation) of the listable entity. If
a portion of the range is identified that
is considered as making a meaningful
contribution to the conservation of the
species, a five-factor threats assessment
is then conducted to determine if the
species is threatened or endangered in
that portion. If we determine that a
portion of the range does not make a
meaningful contribution to the
conservation of the species, we need not
continue with our analysis to determine
whether the species is threatened or
endangered there.
The second alternative is to first
conduct a five-factor threats assessment
on the portion under consideration to
determine whether the species is
threatened or endangered in this
geographic area. If we determine that
VerDate Nov<24>2008
17:18 Feb 24, 2010
Jkt 220001
the species is not threatened or
endangered in that portion of its range,
we need not determine if that portion
makes a meaningful contribution to the
conservation of the species. If, however,
we determine that the portion of the
range under consideration does make a
meaningful contribution to the
conservation of the species and the
species is threatened or endangered in
that portion, we would then propose to
add that species to the appropriate list
and specify that significant portion of
the range as threatened or endangered,
as provided under section 4(c)(1) of the
Act.
In this case, the Court, based on
information presented in the 2002
withdrawal of the proposed rule, has
directed us to assess whether the marine
and estuarine areas of the Southwestern
Washington/Columbia River DPS
represent a significant portion of the
coastal cutthroat’s range. The portion of
the species’ range to be considered as a
potential SPR has, therefore, already
been defined for the Service. In order to
address the Court’s remand, we have
elected to conduct a five-factor threats
assessment on the portion under
consideration, the marine and estuarine
areas of the DPS, to determine whether
the coastal cutthroat trout is threatened
or endangered in this geographic area.
According to the process described
above, if we determine through our fivefactor threats assessment that coastal
cutthroat trout are not threatened or
endangered in the marine and estuarine
areas of the DPS, the question of
whether that portion may make a
meaningful contribution to the
conservation of the species would not
warrant further consideration. If, on the
other hand, we determine that coastal
cutthroat trout are threatened or
endangered in that portion, we would
then proceed to consider the question of
whether those marine and estuarine
areas make a meaningful contribution to
the conservation of the species in terms
of resiliency, redundancy or
representation. If the importance of
those marine and estuarine areas to the
conservation of coastal cutthroat trout in
the DPS were affirmed, we would then
propose to add the DPS to the
appropriate list and would specify
coastal cutthroat trout in that significant
portion of the range as threatened or
endangered.
Summary of Factors Affecting the
Species
As noted above in the Previous
Federal Actions section, the District
Court’s remand of our 2002 withdrawal
(67 FR 44934; July 5, 2002) of the
proposed rule (64 FR 16397; April 5,
PO 00000
Frm 00081
Fmt 4702
Sfmt 4702
8629
1999) was due to the Ninth Circuit’s
determination that we did not properly
consider whether the estuaries and
other marine areas of the DPS constitute
a significant portion of the range of the
DPS. The Court’s focus on marine and
estuarine areas was due to statements in
our record that included: first,
acknowledgement of degradation of
estuary and marine areas that are vital
to the anadromous life-form of the DPS;
second, that the anadromous life-form is
important to the DPS’s long-term
survival strategy; and, third, that though
there is evidence that resident life-forms
can spawn anadromous life-forms, this
is only significant if estuary habitat
conditions and near-shore environments
can support the persistence of this lifehistory strategy.
To address the Court’s remand, the
following analysis focuses on current
threats, and threats reasonably likely to
occur in the foreseeable future, to
anadromous cutthroat trout in marine
and estuarine areas of the DPS. As
described above, we define ‘‘estuary’’ to
mean a semi-enclosed coastal body of
water that has a free connection with
the open sea and within which sea
water is measurably diluted with
freshwater derived from land drainage
(Lauff 1967, as cited in ISAB 2000, p. 2).
In the Columbia River, salt water
intrusion extends up to roughly rmi 28
(rkm 45) depending on daily tide cycles
and seasonal flow volume. For this
analysis, we define the Columbia River
estuary to rmi 28 (rkm 45). This is
distinguished from definitions created
for other management processes that are
tied to tidal influence rather than salt
water intrusion. Because the primary
issue for coastal cutthroat trout is based
on the expression of anadromy, defining
the estuary based on salt water intrusion
is more biologically relevant.
There are three estuaries in the DPS:
the Columbia River, Willapa Bay, and
Grays Harbor. Although the Court did
not ask us to revisit status, trends, and
threats to anadromous cutthroat trout or
other life-history forms outside of
marine and estuarine areas, we have
considered any new information
available for these areas that would
suggest a significant change in status,
trend, or threats.
Section 4 of the Act and its
implementing regulations (50 CFR 424)
set forth the procedures for adding
species to the Federal Lists of
Endangered and Threatened Wildlife
and Plants. A species may be
determined to be an endangered or
threatened species due to one or more
of the five factors described in section
4(a)(1) of the Act: (A) The present or
threatened destruction, modification, or
E:\FR\FM\25FEP1.SGM
25FEP1
8630
Federal Register / Vol. 75, No. 37 / Thursday, February 25, 2010 / Proposed Rules
sroberts on DSKD5P82C1PROD with PROPOSALS
curtailment of its habitat or range; (B)
overutilization for commercial,
recreational, scientific, or educational
purposes; (C) disease or predation; (D)
the inadequacy of existing regulatory
mechanisms; or (E) other natural or
manmade factors affecting its continued
existence. Listing actions may be
warranted based on any of the above
threat factors, singly or in combination.
Each of these factors relevant to coastal
cutthroat trout in the marine and
estuarine portion of the Southwestern
Washington/Columbia River DPS are
discussed below.
A. The Present or Threatened
Destruction, Modification, or
Curtailment of Its Habitat or Range
In 1999, the proposed rule (64 FR
16407; April 5, 1999) listed forest
management and estuary degradation as
principal factors in the decline of
coastal cutthroat rangewide, and estuary
degradation as the principal factor
affecting coastal cutthroat trout in the
Southwestern Washington/Columbia
River DPS. Our 2002 withdrawal of the
proposed rule (67 FR 44934; July 5,
2002) assessed effects to coastal
cutthroat trout from forest management
and estuary degradation, as well as from
agriculture and livestock management,
dams and barriers, urban and industrial
development, and mining. Our analysis,
combined with information presented in
the proposed rule, confirmed that all of
these land uses, to varying degrees, had
previously impacted, and continue to
impact, habitat utilized by all lifehistory forms of coastal cutthroat trout
in the DPS. Despite these impacts, we
determined that coastal cutthroat trout,
including anadromous forms, were not
threatened to the degree portrayed in
the proposed rule, and further, current
regulatory mechanisms conferred a low
risk of significant additional destruction
or modification of habitat in the
foreseeable future.
In regard to curtailment of range, our
analysis in the withdrawal notice
confirmed that coastal cutthroat trout,
especially the freshwater forms,
remained well distributed throughout
the DPS, at densities comparable to
healthy-sized populations in large
portions of the subspecies’ range outside
the DPS. We acknowledged a change in
accessibility of some areas to
anadromous cutthroat trout due to
barriers created by dams, diversions,
culverts, dikes, and tidegates, and some
streams that were lost to development,
such as streams around Portland,
Oregon. However, we determined these
areas of inaccessibility to the
anadromous life form comprised a
relatively small portion of the DPS, and
VerDate Nov<24>2008
17:18 Feb 24, 2010
Jkt 220001
that while the anadromous portion of
the DPS was likely at lower-thanhistorical levels, there was little specific
information available to support the
statement in the proposed rule that the
abundance of the anadromous portion
was at extremely low levels.
Subsequently, we concluded in the
withdrawal of the proposed rule that
none of the impacts assessed under
Factor A were likely to result in coastal
cutthroat trout becoming threatened or
endangered in the foreseeable future.
We present some new information
below regarding potential impacts to
habitat utilized by cutthroat trout in
marine and estuarine areas, such as the
proposed development of liquefied
natural gas terminals in the Columbia
River estuary and shellfish aquaculture
impacts in Willapa Bay and Grays
Harbor. In addition, there is also
information newly available on the
significant actions that have occurred,
or are currently under way, to restore
and protect estuary habitats in the DPS,
particularly in the Columbia River.
These restoration and conservation
actions are summarized in this section
following discussion of factors relevant
to estuary degradation.
Columbia River Estuary and Marine
Areas
Proposed Liquefied Natural Gas (LNG)
Development
Liquefied Natural Gas (LNG) projects
include berths for unloading liquefied
gas, storage tanks, facilities to vaporize
the liquid back to natural gas, and
pipelines from the projects to deliver
the gas to its final destination. There are
two LNG terminals approved or
proposed in the lower Columbia River:
Bradwood Landing (approved) and
Oregon LNG (proposed). In addition,
another potential site at St. Helens,
Oregon, has been identified.
Aspects of LNG development that
could potentially affect aquatic
resources include construction activities
and associated habitat modification,
water appropriations, artificial lighting,
accidental spills or leaks of hazardous
materials, and operation of the LNG
terminal. In-water construction
activities include dredging,
development of the shoreline, and pile
driving and could result in increased
sedimentation and turbidity, increased
noise, permanent habitat alteration, loss
of benthic organisms, re-suspension of
contaminants, entrainment through
water intake pipes, and alterations to
sediment transport and deposition.
Activities associated with construction
of the terminal, access facilities, and
pipelines could indirectly affect aquatic
PO 00000
Frm 00082
Fmt 4702
Sfmt 4702
resources through ground disturbances
that lead to increased sediment inputs
and turbidity in adjacent water bodies,
increased water temperature from
vegetation removal, noise, and artificial
lighting that could alter species
behavior (FERC 2008).
Operation of the LNG terminals
would entail maintenance dredging of
the access channel, potential for
accidental spills of hazardous materials,
stormwater runoff from impervious
surfaces, lighting of ship berth and
unloading facilities, operation of noiseproducing equipment, and routine
discharge of water from the vaporization
process and testing of fire suppression
equipment. Impacts to aquatic resources
could include loss of habitat from
increased water temperature, increased
turbidity and sedimentation, and
modification of animal behavior.
Potential impacts to cutthroat trout
would vary depending on location of
the facilities relative to cutthroat use
areas in the estuary (FERC 2008), but is
not expected to be a limiting factor.
Although the construction and
operation of LNG terminals have the
potential to impact anadromous
cutthroat trout and associated habitat in
the Columbia River, the area of impact
relative to the total area of available
habitat in the Columbia River and
estuary is small. In addition, regulatory
mechanisms required through the
Federal Energy Regulatory Commission
(FERC) and through State land use
regulations are expected to provide
protective mechanisms to minimize
impacts of construction and operation of
LNG facilities. For these reasons we do
not believe potential impacts rise to a
level that constitutes a significant threat
to anadromous cutthroat trout in the
Columbia River portion of the DPS.
Wave Energy
Currently, there are five wave energy
projects being evaluated or proposed in
Oregon: (1) Coos Bay Ocean Power
Technologies (OPT) Wave Park Project
located in the Pacific Ocean about 2.5
mi (1.6 km) offshore in Coos County; (2)
Newport OPT Wave Park Project about
3 to 6 mi (1.9 to 3.7 km) offshore in
Lincoln County; (3) Oregon Coastal
Wave Energy Project in the Pacific
Ocean in Tillamook County; (4)
Reedsport OPT Wave Park Project
(FERC license pending); and (5) Douglas
County Wave Energy Project off the
Umpqua South jetty. In addition,
Oregon State University has an
experimental buoy offshore of Newport,
Oregon. Given that wave energy is an
emerging technology and new to
Oregon, there is uncertainty as to its
effects on the marine environment.
E:\FR\FM\25FEP1.SGM
25FEP1
Federal Register / Vol. 75, No. 37 / Thursday, February 25, 2010 / Proposed Rules
These potential projects would not
occur within the Southwestern
Washington/Columbia River DPS, and
thus we do not believe potential impacts
constitute a threat to anadromous
cutthroat trout.
sroberts on DSKD5P82C1PROD with PROPOSALS
Channel Improvement Project Update
The Columbia River Channel
Improvement Project (CRCIP) is a
collaborative effort between the U.S.
Army Corps of Engineers (USACE) and
six river ports in Oregon and
Washington to deepen the navigation
channel to accommodate the current
fleet of international bulk cargo and
container ships. The USACE Record of
Decision, signed in January of 2004, was
to (1) deepen the 40-ft (12.2 m)
navigation channel by 3 ft (1 m) to
facilitate navigation, and (2) improve
the natural environment through several
ecosystem restoration projects designed
to enhance salmon habitat. The Service
and NMFS issued a non-jeopardy
opinion on the project in 2002.
Project construction has been largely
consistent with the decision criteria
developed by the Adaptive
Environmental Management Team.
Several short-term discrepancies
involving monitoring results for
temperature and salinity were explained
by corresponding variations in river
flows or storms. The monitoring of
dredging and dredged material disposal
continues to show that actual
construction volumes and their disposal
are within the specifications developed
for the project and that these
specifications were considered in the
non-jeopardy biological opinion.
Several monitored deviations of crosschannel survey results from the decision
criteria were shown to have returned to
pre-project conditions in follow-up
monitoring.
Reporting of extensive sediment
identified only two locations, well
outside the navigation channel, where
sediment contaminants might be of
concern. Shallow water habitat surveys
and fish stranding monitoring are not
scheduled to be addressed in detail
until project construction has been
completed. While completion and
maintenance of the CRCIP may cause
short-term and low-level impacts now
and in the foreseeable future to
anadromous cutthroat trout and their
habitat, we do not believe these
potential impacts constitute a
significant threat because of the
adequacy of current regulatory
mechanisms and limited project scope
relative to available habitat.
VerDate Nov<24>2008
17:18 Feb 24, 2010
Jkt 220001
Columbia River Estuary Restoration
Actions
Habitat restoration activities that may
offset the threat of habitat destruction or
modification in the lower Columbia
River have been ongoing since 1999
through a variety of entities and are
aimed at restoring habitat conditions to
benefit primarily salmon and steelhead.
However, they may well provide
benefits for cutthroat trout and other
species as well by restoring estuary
rearing habitat. The database of the
Lower Columbia River Estuary
Partnership (LCREP) identifies 44
completed and/or ongoing projects in
the lower 25 rmi (47 rkm) of the
Columbia River and a total of 152 for the
Columbia River from the mouth
upstream to Bonneville Dam (LCREP
2009). The projects include a variety of
conservation and restoration activities
designed to benefit salmonids including
culvert removal, tidegate alteration or
removal, large wood placement, tidal
reconnection, dike breaching, invasive
species removal, revegetation, water
control structures, conservation
easements, channel modification,
velocity barrier removal, and land
acquisitions.
Grays Harbor and Willapa Bay Estuaries
and Marine Areas
Loss of estuary habitat
Currently, coastal cutthroat trout use
of the various portions of Willapa Bay
and Grays Harbor estuaries and marine
habitat is unknown. However, recent
studies have documented estuary use by
coastal cutthroat trout within (Hudson
et al. 2008, entire) and outside of the
DPS (Haque 2008, entire; Krentz et al.
2007, entire). Krentz et al. (2007, p. 81)
examined migratory patterns of coastal
cutthroat trout in the Salmon River
Estuary, Oregon. Two main life-history
forms were identified: Ocean migrants
that move quickly through the estuary to
marine environments, and estuarine
residents that remain in the estuary
throughout the spring and summer
months. In addition, this study
documented trout residing in the
estuary but making brief forays into the
marine environment and individuals
overwintering in the estuary. In South
Puget Sound, Haque (2008, p. 26)
documented overwintering use of
estuaries by coastal cutthroat trout. She
also concluded that observed movement
patterns and travel distances may
indicate different life-history strategies
among anadromous coastal cutthroat
trout. Both studies may support the
existence of opportunistic and adaptable
behavior of coastal cutthroat trout.
PO 00000
Frm 00083
Fmt 4702
Sfmt 4702
8631
Coastal cutthroat trout are
opportunistic feeders that forage in
eelgrass beds in estuary environments
(Trotter 1997, p. 10). In nearshore
environments in Washington and
Oregon, coastal cutthroat trout were
found to prey on salmonids, herring,
pacific sand lance, shiner perch, surf
smelt, anchovy, and invertebrates
including gammarid amphipods (family
Crangonyctidae), shrimp, and isopods
(Jauquet 2008, p. 152; Jones et al. 2008,
p. 146). Although we have no new
information on coastal cutthroat trout
migration in estuary or marine areas
offshore from Willapa Bay and Grays
Harbor, it is likely that estuary habitat
within these areas is used extensively
by anadromous coastal cutthroat trout.
The proposed rule (64 FR 16402;
April 5, 1999) described the potential
loss of important estuary habitat
through the ‘‘[d]redging, filling, and
diking of estuarine areas for agricultural,
commercial, or municipal uses’’ and
stated ‘‘reductions in the quantity and
quality of estuarine ... habitat have
probably contributed to declines, but
the relative importance of these risks is
not well understood’’ (64 FR 16408;
April 5, 1999).
The withdrawal notice (72 FR 44948;
July 5, 2002) stated ‘‘30 percent of the
historical wetland habitat in Grays
Harbor estuary has been lost, as well as
31 percent of the historical Willapa Bay
estuary wetlands.’’ During the public
comment period we received additional
information on the historical loss of
estuary habitats to Willapa Bay and
Grays Harbor estuaries (WDFW 2009,
pp. 2–3). WDFW reported estimates of a
19 percent loss of native tidal marsh
plant communities and extensive
dendritic slough systems in the Willapa
River Basin and a 36 percent loss in the
Bay Basin due to diking and filling
along the lower Willapa River. Diking of
the river’s upper intertidal wetlands,
downstream of South Bend, is estimated
at 89 percent. However, we have no
information documenting any effects of
the historical loss of eelgrass and
wetland habitat on coastal cutthroat
trout populations in Willapa and Grays
Harbor estuary habitat.
Ongoing and planned restoration
projects in the Columbia River and
southwest Washington estuary habitats
should benefit coastal cutthroat trout
and their prey species (WDFW 2009, p.
2). We have no specific information on
restoration projects occurring in Willapa
and Grays Harbor estuaries. In addition,
we do not have information at this time
regarding the responses of coastal
cutthroat trout or their prey to estuary
enhancement and restoration.
E:\FR\FM\25FEP1.SGM
25FEP1
sroberts on DSKD5P82C1PROD with PROPOSALS
8632
Federal Register / Vol. 75, No. 37 / Thursday, February 25, 2010 / Proposed Rules
Shellfish Aquaculture
Shellfish aquaculture is likely to
degrade water quality temporarily and
reduce available foraging habitat for
anadromous coastal cutthroat trout and
prey species. In Willapa Bay and Grays
Harbor estuaries, activities that may
potentially affect anadromous coastal
cutthroat trout are those that involve
bed preparation, mechanical harvest,
and shellfish grow-out. Although these
specific activities have not been directly
investigated, bed preparation activities
such as tilling, disking, raking,
harrowing, and dragging in eelgrass
beds may reduce the density and
biomass of eelgrass and their related
communities (USFWS 2009, p. 120).
Approximately 55 percent of the
Willapa Bay estuary is intertidal land
(42,502 of 78,876 acres (ac) (17,200 of
31,920 hectares (ha)), and
approximately 21 percent (9,000 ac
(3,642 ha)) of that intertidal land is
intensively cultured. Commercial
aquaculture is limited to 3 percent (900
ac (364 ha)) of the intertidal land in the
Grays Harbor estuary (Burrowing
Shrimp Committee 1992 as cited in
Feldman et al. 2000, p. 146). Within
intertidal areas, eelgrass provides cover,
refuge, and supports a prey base for
coastal cutthroat trout. Although the
loss of eelgrass density and abundance
as a result of shellfish aquaculture may
have negative effects to individual
coastal cutthroat trout, due to the
limited area dedicated to intensive
shellfish culture, we do not believe
these potential impacts rise to the level
of a significant threat to coastal
cutthroat trout in the marine and
estuarine areas, or the DPS as a whole.
Since 1963, the Washington
Department of Ecology has issued
permits to oyster growers to apply
carbaryl to intertidal areas for the
purpose of controlling burrowing
shrimp (USACE 2008, as cited in
USFWS 2009, p. 143). Carbaryl is
applied annually in July or August.
Between 2000 and 2003, carbaryl was
applied on 541 ac (219 ha) on Willapa
Bay and Grays Harbor intertidal lands.
In 2007, approximately 420 ac (170 ha)
in Willapa Bay and approximately 140
ac (55 ha) in Grays Harbor were treated
with carbaryl (Booth and Tufts 2007 as
cited in USFWS 2009, p. 143). Labenia
et al. (2007, p. 6) found that coastal
cutthroat trout do not avoid carbarylcontaminated seawater at ecologically
representative concentrations
potentially found in Willapa Bay. Brief
exposure to carbaryl affects the
swimming performance of cutthroat
trout (Labenia et al. 2007, pp. 6–7).
Decreased swimming performance may
VerDate Nov<24>2008
17:18 Feb 24, 2010
Jkt 220001
increase predation on coastal cutthroat
trout smolts. Because cutthroat trout
forage in shallow waters during the
summer months it is likely that wild
fish will be exposed to carbaryl.
Carbaryl is absorbed onto sediments
relatively quickly and may remain toxic
to burrowing shrimp for up to 28 days
(Labenia et al. 2007, p. 9).
Carbaryl is acutely toxic to
invertebrates (USFWS 2009, p. 144). A
secondary indirect exposure pathway to
anadromous salmonids may exist
through dietary consumption of dead
and dying invertebrates and fish
(USFWS 2009, p. 146). We have no
information as to whether or not coastal
cutthroat trout may consume dead and
dying invertebrates or fish or how the
potential uptake of the chemical in this
manner may affect coastal cutthroat
trout. The reduction of prey species for
several weeks after treatment of oyster
beds may indirectly reduce the growth
of anadromous cutthroat trout by
temporarily reducing the amount of
prey species. One or two tidal cycles
after spraying, the area may be relatively
devoid of macroinvertebrate prey.
Recolonization of an area by epibenthic
invertebrates is variable, depends on the
species and site, and can take anywhere
from 2 to 52 days (Simenstad and Fresh
1995, as cited in USFWS 2009, p. 137).
Fish would likely recolonize the area
more quickly. Given the relatively small
portion of the estuaries treated with
carbaryl, we do not believe the potential
impacts constitute a significant threat to
anadromous cutthroat trout in the
Willapa Bay and Grays Harbor portion
of the DPS. The use of carbaryl on oyster
beds is planned to be phased out in
2012 (https://www.epa.gov/oppsrrd1/
REDs/factsheets/carbaryl_factsheet.pdf).
Summary of Threat Factor A
As discussed in Bottom et al. (2005,
entire), the Columbia River estuary and
plume have undergone significant
alteration from historical conditions,
which has likely reduced the amount
and quality of habitat for anadromous
coastal cutthroat trout. While not as
much information is available regarding
current conditions and foreseeable
threats to anadromous cutthroat trout
from the Willapa Bay and Grays Harbor
watersheds, it is clear these estuaries
have also undergone significant
alteration.
Despite these altered conditions,
anadromous coastal cutthroat trout
continue to persist in the DPS and
return rates appear to be within the
normal range for Pacific salmon, as
documented in recent studies on
hatchery and wild-origin cutthroat trout
returning to Cowlitz River Hatchery
PO 00000
Frm 00084
Fmt 4702
Sfmt 4702
(Johnson et al. 2008, entire; ODFW
2008, entire; WDFW 2009, pp. 5–7). In
addition to documenting the persistence
of returning anadromous adults, these
studies also provided new information
on the prevalence of outmigrating
coastal cutthroat smolts, even above
long-standing artificial barriers, from
tributaries of the lower Columbia River.
Although very little new information is
available on trend of anadromous
cutthroat trout in the DPS, the limited
information available does not suggest
an overall declining trend of returning
adults, or significant limiting factors to
anadromous coastal cutthroat trout.
While development and operation of
LNG terminals and completion and
maintenance of the Columbia River
Channel Improvement Project may
cause short-term and low-level impacts
now and in the foreseeable future to
anadromous cutthroat trout and their
habitat, we do not believe these
potential impacts constitute a
significant threat or a limiting factor
because of the adequacy of current
regulatory mechanisms and limited
project scope relative to available
habitat. In Willapa Bay, shellfish
aquaculture may be impacting
anadromous cutthroat trout, but we
have no information to determine the
nature of these effects; however, we do
know that the area of intensive culture
represents a small fraction of the habitat
utilized by coastal cutthroat trout.
Similarly, while the use of carbaryl to
control burrowing shrimp in shellfish
aquaculture has been shown through lab
studies to potentially impact coastal
cutthroat trout, the area of exposure
within the estuary is relatively small,
and we have no information to indicate
this pesticide has caused a decline in
anadromous cutthroat trout.
Given the adequacy of current
regulatory mechanisms and the
restoration actions that have occurred,
as well as those under way, the overall
baseline condition of the estuary is more
likely on a positive versus negative
trajectory. Furthermore, we have no
information to suggest any correlation
between the threat factors considered
here and any decline in the anadromous
life-history form, such that we would
consider anadromous coastal cutthroat
trout likely to become endangered
within the foreseeable future. We have
thus evaluated the best available
scientific and commercial information
and determined anadromous cutthroat
trout are not threatened by destruction,
modification, or curtailment of its
habitat or range in marine and estuarine
areas, or the DPS as a whole.
E:\FR\FM\25FEP1.SGM
25FEP1
sroberts on DSKD5P82C1PROD with PROPOSALS
Federal Register / Vol. 75, No. 37 / Thursday, February 25, 2010 / Proposed Rules
B. Overutilization for Commercial,
Recreational, Scientific, or Educational
Purposes.
Our 2002 withdrawal of the proposed
rule identified only one potential threat,
recreational angling, under Factor B.
Based on our analysis we determined
the potential threats from recreational
angling did not represent a significant
threat to the DPS as a whole. In our
current review of available information
we did not identify any new threats, nor
did we find evidence that any
previously identified threats had
significantly changed. As noted in our
withdrawal of the proposed rule, coastal
cutthroat trout are not harvested
commercially, and bycatch of cutthroat
trout in commercial gillnet fisheries is
minimal due to the large mesh size of
the nets (NMFS 2003; pp. 3–73).
Scientific research and collection for
educational programs have probably
had no discernible negative impact on
the anadromous life-history form or the
DPS as a whole.
Anadromous cutthroat were a soughtafter sportfish for many years, due in
part to the multiple hatchery programs
operated by the States of Oregon and
Washington. While it is likely that sport
angler harvest within the DPS
contributed to reductions in the
anadromous form over time, due in part
to liberal size and bag limits (Trotter
2008, p. 95), the legacy of overharvest
on today’s status of anadromous
cutthroat is unknown. Current angling
effort for anadromous cutthroat trout
has significantly declined in the last two
decades (67 FR 44934, July 5, 2002;
Rawding 2001 as cited in Anderson
2005, p. 17), and in many areas coastal
cutthroat trout harvest is primarily
incidental to recreational fisheries for
other species of salmonids. Because of
harvest restrictions on naturally
produced coastal cutthroat trout in
many areas and the lack of targeted
fisheries, direct mortality due to fishing
pressure is thought to be relatively low,
at least in recent years (Hooton 1997, p.
66; Gerstung 1997, pp. 53–54).
Washington’s fishing regulations have
been designed to increase the survival of
rearing and migrating cutthroat smolts
and to allow adult females to spawn at
least once (Washington Department of
Game 1984, as cited in Anderson 2008,
p. 13). (Note: for additional information
on the changes in coastal cutthroat trout
angling regulations over time, see the
withdrawal notice (67 FR 44934; July 5,
2002)). In 2009, new anti-snagging
restrictions were implemented in
Washington State (WDFW 2009, p. 15),
which may provide further protection of
coastal cutthroat trout. In 1998,
VerDate Nov<24>2008
17:18 Feb 24, 2010
Jkt 220001
Washington adopted a catch and release
regulation for any coastal cutthroat trout
caught in marine waters. Washington’s
freshwater fishing regulations in the
Willapa Bay and Washington zone of
the Columbia River provide protection
to coastal cutthroat trout by requiring
catch and release of naturally produced
cutthroat trout. Catch and release
restrictions are generally required in the
mainstem Columbia River, except for
adipose-clipped (removal of fin behind
dorsal fin) hatchery fish. Below the
Bonneville Dam, two hatchery trout can
be retained daily with a minimum size
of 12 inches (in) (30.5 centimeters (cm)).
A bag limit of five hatchery trout over
12-in (30.5 cm), including no more than
two over 20 in (50.8 cm) is allowed in
the Cowlitz River. Harvest restrictions
are not as restrictive in the Grays Harbor
watershed, where harvest of wild
coastal cutthroat is allowed in many of
its tributaries. Regulations require a 14in (35.6-cm) minimum size and daily
bag limit of two wild cutthroat trout.
Current Oregon sport fishing
regulations (ODFW 2009b) in the
Columbia Zone, which includes most of
the Columbia River in Oregon within
the Southwestern Washington/Columbia
River DPS, have required catch and
release of wild unmarked coastal
cutthroat trout since 1997.
Summary of Threat Factor B
We have evaluated the best available
scientific and commercial information
on the overutilization of anadromous
cutthroat trout for commercial,
recreational, scientific, or educational
purposes. We identified no new or
significantly increased threats under
this threat factor beyond those analyzed
in the 2002 withdrawal notice (67 FR
44934; July 5, 2002). The most relevant
information pertaining to this threat
factor are the current angling regulations
within the DPS in Oregon and
Washington, which with few exceptions
require the release of naturally
produced cutthroat trout. Current
fishing regulations within the DPS for
Oregon and Washington are generally
protective of naturally produced coastal
cutthroat trout. Where regulations allow
the retention of wild cutthroat trout
(some Grays Harbor tributaries), the
regulation is designed to increase the
likelihood that juveniles and migrating
smolts are protected and the majority of
adult females are able to spawn at least
once (Anderson 2008, p. 13). Based on
the information above, we conclude that
anadromous cutthroat trout are not
threatened now or in the foreseeable
future by overutilization in marine and
estuarine areas, or any of the remaining
portions of the DPS.
PO 00000
Frm 00085
Fmt 4702
Sfmt 4702
8633
C. Disease or Predation.
Our 2002 withdrawal of the proposed
rule provided information on several
threats to anadromous coastal cutthroat
trout identified under Factor C,
including the parasite Ceratomyxa
shasta in the Columbia and Willamette
rivers, gas bubble disease below large
hydroelectric dams in the Columbia
River, and predation by nonnative
fishes, pinnipeds, and fish-eating birds
such as Caspian terns (Hydroprogne
caspia) and double-crested cormorants
(Phalacrocorax auritus) (67 FR 44934;
July 5, 2002). We determined these
potential threats did not represent
significant threats to the DPS as a
whole. In our current review of
available information we did not
identify any new disease or predation
threats, nor did we find evidence that
any previously identified threats had
significantly changed. We did receive
new information allowing us to quantify
the potential effect of avian predation in
the lower Columbia River, which we
were forced to deal with qualitatively in
the withdrawal notice (67 FR 44934;
July 5, 2002).
Estuary predation of outmigrating
salmon and steelhead juveniles by fisheating birds has been studied
extensively in the lower Columbia
River, focused on colonies of Caspian
terns and double-crested cormorants,
which have grown in number in recent
decades. The largest breeding colony of
Caspian terns in the world (10,700
breeding pairs in 2008), and the largest
breeding colony of double-crested
cormorants (13,700 breeding pairs) in
western North America, now nest on
East Sand Island. The reasons for these
concentrations of fish-eating birds are:
(1) the creation of artificial nesting
habitat; (2) reliable food supply
produced by salmon hatcheries; and, (3)
loss of secure nesting sites and food
resources elsewhere (BRNW 2009).
From 1999 to 2001, about 4 percent of
the PIT tags that were placed on
juvenile salmon in the Columbia River
system were detected on these island
nesting habitats, suggesting a minimal
predation rate on salmon and steelhead,
varying from 2.6 percent of yearling
chinook to 11.5 percent of the juvenile
steelhead (Ryan et al. 2001 as cited in
Quinn 2005, p. 238). The magnitude of
predation on salmon and steelhead has
more recently been estimated to be
approximately 10 percent of salmon and
steelhead that survive to the estuary
(BRNW 2009). Recent work by Hudson
et al. (2008, entire) examined estuary
bird predation on anadromous coastal
cutthroat trout based on PIT tagging of
cutthroat trout in 11 tributaries of the
E:\FR\FM\25FEP1.SGM
25FEP1
sroberts on DSKD5P82C1PROD with PROPOSALS
8634
Federal Register / Vol. 75, No. 37 / Thursday, February 25, 2010 / Proposed Rules
Columbia River from 2001 to 2008.
Avian mortality was estimated to be
16.6 percent for all cutthroat trout that
were tagged. Mortality rates in
individual tributaries ranged from 3.7
percent to 24.2 percent.
PIT tags from Bear Creek and Big
Creek coastal cutthroat trout were
detected on Caspian tern and doublecrested cormorant colonies on East Sand
Island during both years of an ODFW
study (ODFW 2008, p. 9). Tag detection
was not 100 percent efficient, so
estimates are conservative. Confirmed
mortalities from avian predation made
up 5.3 percent of the total outmigrant
cutthroat from Big Creek in 2006, 15.4
percent of the Big Creek migrants in
2007, and 14.7 percent of Bear Creek
migrants in 2007 (ODFW 2008, p. 9).
The studies by Hudson et al. (2008,
entire) and ODFW (2008, entire) present
new information on impacts to
anadromous cutthroat trout from avian
predation that was not considered in the
withdrawal notice (67 FR 44934; July 5,
2002). Despite the avian predation rates
documented in Hudson et al. (2008,
entire) and ODFW (2008, entire), return
rates of adults are similar to or exceed
adult return rates for many wild,
healthy anadromous salmon and
steelhead populations in all but one
tributary that was monitored (Bradford
1995, p. 1332; Beckman et al. 1999, p.
1130), suggesting avian predation is not
a limiting factor for anadromous coastal
cutthroat trout.
The USACE initiated a program in
2008 to disperse and relocate the tern
and cormorant colonies outside the
Columbia Basin to reduce predation
impacts on threatened Columbia River
salmon and steelhead by creating new
nesting habitat in a number of locations
along the west coast, including Crump
and Summer lakes in southeast Oregon,
Fern Ridge Reservoir in the southern
Willamette Valley, and in San Francisco
Bay, California. Concurrent with the
creation of new habitats outside the
lower Columbia River estuary, current
nesting habitat on East Sand Island is
being gradually reduced through
vegetation management. Available
nesting habitat on East Sand Island in
2009 was reduced by approximately 50
percent from that available in 2008
(BRNW 2009). Nesting by Caspian terns
has occurred at the newly created
Crump Lake habitat, and evidence from
banded birds indicates some of the birds
are from the East Sand Island colony.
Two newly created islands in Summer
Lake are being used by nesting terns.
Results from monitoring terns at Crump
and Summer lakes indicate initial
success. Recent video camera footage
revealed that Caspian terns visited
VerDate Nov<24>2008
17:18 Feb 24, 2010
Jkt 220001
newly created nesting habitat at Fern
Ridge Reservoir following the 2009
nesting season. Construction of sites in
San Francisco Bay will take place prior
to the 2010 nesting season.
While there is evidence that
relocation efforts are showing success,
fish-eating birds have likely always been
present in the marine and estuarine
portions of the DPS. Research
documenting the extent of the predation
on salmon and steelhead, and now on
coastal cutthroat trout, has begun to
portray the nature of the impact of these
predators, but does not serve to explain
the full measure of the impact. Though
we have some data on bird predation,
we have no data to explain what
proportion of all predation faced by
outmigrating coastal cutthroat trout is
bird-caused versus other sources. To
determine whether this bird predation
presents an extinction risk to
anadromous coastal cutthroat trout, we
reviewed comments submitted by
WDFW (2009, pp. 2–7) on hatchery
releases and returns at its Cowlitz River
hatchery.
Between brood year 1996 and brood
year 2004, the rate of returns of released
coastal cutthroat trout 2 years after
release ranged from a low of 2.36
percent to a high of 7.41 percent
(excluding 2004, when some fish may
have been double-counted by mistake).
Subsequent to brood year 2004, the
broodstock trap was moved, making
comparisons between the years before
and after the move inappropriate. For
brood years 2005 and 2006, return rates
were measured at 0.92 percent and 1.77
percent, respectively. The Cowlitz
Hatchery has as its program goal to
achieve an average 4.71 percent smoltto-adult survival, including harvest and
return of up to 5,000 fish at current
production levels (WDFW 2005, as cited
in Anderson 2008, p. 13). WDFW’s
submitted comments state that returns
for brood years 1998–2006 (excluding
2004) averaged 4.2 percent, ± 1.6
percent., the range of which includes
the program goals for smolt-to-adult
survival (Anderson 2008, p. 13).
A 3–year study on the Oregon side of
the lower Columbia River estuary
documented adult return rates of PIT- or
acoustic-tagged coastal cutthroat trout
that emigrated from Big Creek and Bear
Creek (ODFW 2008, entire). ODFW
reports: ‘‘In Big Creek, none of 30
acoustically tagged fish that emigrated
in Spring 2006 returned to the stream,
and one of 53 PIT and/or acoustic
tagged migrants (two percent) returned
to the stream after emigrating in Spring
2007. In Bear Creek, 1 of 20 fish (5
percent) returned to the stream from the
2007 acoustic tagged group, and 2 of 25
PO 00000
Frm 00086
Fmt 4702
Sfmt 4702
PIT-tagged fish that were detected
emigrating in spring 2008 returned in
autumn 2008 (8 percent). One of the two
returning fish from Bear Creek returned
to Big Creek, however, indicating that
some straying among tributaries occurs.
Accordingly, it is possible that some
tagged fish may have returned to other
unmonitored streams.’’ In the streams
that show returns, the rates of return are
consistent with literature reports of
smolt-to-adult return ratios among other
healthy populations of Pacific salmon
species (Bradford 1995, p. 1332,
Beckman et al. 1999, p. 1130),
suggesting that conditions experienced
post-emigration in the estuary and
marine habitats, including present
levels of avian predation, do not present
a limiting factor to coastal cutthroat
trout.
Summary of Threat Factor C
We have evaluated the best available
scientific and commercial information
on the threat of disease and predation.
We did not identify any new disease or
predation threats to anadromous coastal
cutthroat beyond those identified
previously in the proposed rule (64 FR
16397; April 5, 1999) or the withdrawal
of the proposed rule (67 FR 44934; July
5, 2002). We did receive information
allowing us to quantify the potential
level of predation by birds. We found no
new evidence to suggest previously
identified threats under Factor C are
significant sources of mortality to
anadromous cutthroat in marine and
estuarine areas or the DPS as a whole.
While the recent work by Hudson et al.
(2008, entire) confirms that anadromous
cutthroat trout, like other migrating
fishes in the estuary, are vulnerable to
predation by terns and cormorants, the
overall impact to the anadromous lifehistory form in the Columbia River is
unknown. However, we do know that,
despite the avian predation rates
documented in Hudson et al. (2008, pp.
54–55) and ODFW (2008, p. 9), return
rates of adults are similar to or exceed
adult return rates for many wild,
healthy anadromous salmon and
steelhead populations (Bradford 1995,
p. 1332, Beckman et al. 1999, p. 1130)
in all but one tributary that was
monitored, suggesting avian predation is
not a limiting factor for anadromous
coastal cutthroat trout. Fish-eating birds
will continue to be, and have always
been, present in the marine and
estuarine portions of the DPS. Although
we expect efforts to redistribute Caspian
terns and cormorants may reduce
predation impacts on anadromous
cutthroat trout in the Columbia River
estuary, in the near-term, we expect this
source of mortality to continue at
E:\FR\FM\25FEP1.SGM
25FEP1
Federal Register / Vol. 75, No. 37 / Thursday, February 25, 2010 / Proposed Rules
current levels. Based on the information
above, we conclude that anadromous
cutthroat trout are not threatened by
disease or predation in marine and
estuarine areas, or any of the remaining
portions of the DPS.
D. The Inadequacy of Existing
Regulatory Mechanisms.
In the 2002 withdrawal of the
proposed rule, we concluded that
coastal cutthroat trout are not
threatened as a result of the inadequacy
of existing regulatory mechanisms,
including Federal land management
practices; Oregon and Washington land
use practices; dredge, fill, and in-water
construction programs; water quality
programs; and hatchery management (67
FR 44934; July 5, 2002). We further
noted that many of these regulatory
mechanisms were contributing to the
recovery of aquatic habitats from
degradation that occurred prior to the
creation and implementation of many of
these State and Federal regulatory
mechanisms. Our review of available
information indicates that there has
been no significant weakening of State
and Federal regulatory mechanisms
since 2002. Hence, we again conclude
that the species is not threatened as a
result of inadequacy of regulatory
mechanisms.
sroberts on DSKD5P82C1PROD with PROPOSALS
Summary of Threat Factor D
Inadequacy of regulatory mechanisms
was not identified as a threat in the
proposed rule, nor was this considered
a significant threat at the time of the
withdrawal (2002). Based on our current
analysis, we have no evidence that any
of the previously identified regulatory
mechanisms have been significantly
weakened from 2002 to 2009, and
several changes during this time have
strengthened regulatory mechanisms.
Although we believe that our 2002
analysis adequately assessed the role of
these existing regulatory mechanisms on
coastal cutthroat trout in marine and
estuarine environments, we have
reassessed their role in these geographic
areas, considered any changes from
2002 to 2009, and again conclude that
anadromous coastal cutthroat trout are
not threatened in marine and estuarine
areas, or in any remaining portions of
the DPS, by inadequacies in these
mechanisms.
E. Other Natural or Manmade Factors
Affecting Its Continued Existence.
Under Factor E in the withdrawal of
the proposed rule, we assessed the
potential threats of climate change,
catastrophic natural events, and
hybridization to coastal cutthroat trout
(67 FR 44934: July 5, 2002). We
VerDate Nov<24>2008
17:18 Feb 24, 2010
Jkt 220001
concluded from our analysis that none
of these factors were anticipated to
significantly threaten the Southwestern
Washington/Columbia River DPS of
coastal cutthroat trout in the foreseeable
future. With the exception of climate
change, we have no new significant
evidence to analyze that would
potentially alter our previous
conclusion that these factors do not
pose a significant threat to coastal
cutthroat trout in marine and estuarine
areas or the remaining portions of the
DPS.
Climate Change
According to the Climate Impacts
Group, an interdisciplinary research
group studying the impacts of natural
climate variability and global climate
change (‘‘global warming’’) on the U.S.
Pacific Northwest, it is unclear how
coastal ocean conditions in the Pacific
Northwest will respond to climate
change because of the complexity of
these systems and the lack of long-term
studies (CIG 2009). Considerable
research has provided evidence for the
likelihood and potential consequences
of climate change associated with
greenhouse gas emissions. Climate
change is anticipated to result in sea
level rise, ocean acidification, increased
winter precipitation and intensity of
storm events, accelerated coastal
erosion, and increased water
temperatures (OPWG 2006, p. 23). The
rate of sea level rise in the Pacific
Northwest is projected to be faster than
the global average. Sea level rise could
result in increased coastal erosion rates
and degraded nearshore habitat.
Bottom et al. (2005, pp. 80–88)
assessed impacts of climate change in
the Columbia River Basin. They
concluded that the near-term effects of
climate change are not large enough to
rival the impacts of anthropogenic
alterations to the hydrological cycle.
Climate change may exacerbate current
conditions and conflicts over water
supply by increasing demand and
decreasing natural flows during the
critical spring-freshet period (Hamlet
and Lettenmaier 1999, as cited in
Bottom et al. 2005, p. 80). While
physical changes to the near-shore
environment appear likely, much
remains to be learned about the
magnitude, geographic extent, and
temporal and spatial patterns of change,
and their effects on coastal cutthroat
trout.
In this section we summarize new
information regarding potential impacts
to coastal cutthroat trout in marine
environments. New information
regarding the condition of the marine
environment in Washington and Oregon
PO 00000
Frm 00087
Fmt 4702
Sfmt 4702
8635
includes information regarding harmful
algal blooms, dead zones, prey
availability and quality, and the
potential exacerbation of these
conditions from climate change.
California Current System
The California Current System (CCS)
extends about 190 mi (~300 km)
offshore from southern British
Columbia, Canada, to Baja California,
Mexico, and is dominated by a
southward surface current of colder
water from the north Pacific (Miller et
al. 1999, p. 1; Dailey et al. 1993, as cited
in USFWS 2009b, p. 34). The system is
characterized by upwelling, particularly
in spring-summer. This is an
oceanographic phenomenon involving
wind-driven movement of dense, cooler,
and usually nutrient-rich water towards
the ocean surface, which replaces
warmer and usually nutrient-depleted
surface water (Smith 1983, as cited in
USFWS 2009b, p. 34). Coastal upwelling
replenishes nutrients near the surface
where photosynthesis occurs, resulting
in increased productivity (Batchelder et
al. 2002, as cited in USFWS 2009b, p.
35).
The CCS is affected by El Nixntilde;oSouthern Oscillation (ENSO) and Pacific
Decadal Oscillation climatic processes.
ENSO is used to describe periodic
changes, typically lasting 1 to 2 years,
in air-sea interaction in the equatorial
Pacific Ocean region. El Nixntilde;o
events (warm-water events) result in
increased sea-surface temperatures,
reduced flow of eastern boundary
currents such as the CCS, and reduced
coastal upwelling (Norton and McLain
1994, pp. 16,019–16,030; Schwing et al.
2006, as cited in USFWS 2009b, p. 35).
La Nixntilde;a events (cold-water
events) produce effects in the northeast
Pacific Ocean that tend to be the reverse
of those during El Nixntilde;o events,
resulting in colder, more-nutrient rich
waters than usual, due to strong
upwelling-favorable winds and cold
waters near the surface due to a shallow
thermocline (zone of rapid temperature
change in the water column that
typically separates warm water above
from cold water below) (Murphree and
Reynolds 1995, p. 52; Oedekoven et al.
2001, as cited in USFWS 2009b, p. 35).
In addition to climate events such as
El Nixntilde;o and La Nixntilde;a, the
mid-latitude Pacific Ocean experiences
warm and cool phases that occur on
decadal time scales (Mantua 2000, as
cited in USFWS 2009b, p. 35). The term
‘‘Pacific Decadal Oscillation’’ was coined
to describe long-term climate variability
in the Pacific Ocean, in which there are
observed warm and cool phases, or
‘‘regime shifts’’ (Mantua et al. 1997, pp.
E:\FR\FM\25FEP1.SGM
25FEP1
8636
Federal Register / Vol. 75, No. 37 / Thursday, February 25, 2010 / Proposed Rules
sroberts on DSKD5P82C1PROD with PROPOSALS
1069–1079; Mantua 2000, as cited in
USFWS 2009b, p. 35). Recently, the
North Pacific Gyre Oscillation concept
was developed to help explain the basis
for the changing Pacific Decadal
Oscillation patterns in the northeast
Pacific (Ceballos et al. 2009, as cited in
USFWS 2009b, p. 35).
Should climate change affect the
timing, variability, and/or magnitude of
coastal upwelling in the species’ range,
it could negatively affect coastal
cutthroat trout and prey resources. The
available information is equivocal, with
studies to date reaching different
conclusions on whether such upwelling
changes are expected. Bakun (1990, as
cited in USFWS 2009b, p. 43) outlined
a physical mechanism by which coastal
upwelling should intensify under global
warming. While Bakun’s mechanism
has received much support, and is based
on simple physical principles, two other
modeling studies have predicted little
change in the magnitude and
seasonality of upwelling in the next
century (Mote and Mantua 2002; Mote
et al. 2008, as cited in USFWS 2009b,
p. 43). The differing predictions of
ocean conditions and changes in
upwelling patterns due to climate
change prevent an informative threat
assessment to coastal cutthroat trout.
We, therefore, have no information at
this time indicating that climate change
poses a significant threat to anadromous
coastal cutthroat trout in the marine and
estuarine areas, or any remaining areas
of the DPS, within the foreseeable
future.
Harmful Algal Blooms and Biotoxins
Some algal species cause harm to
animals and the environment through
toxin production or excessive growth.
These algal species are known as
harmful algae and can include
microalgae that live suspended in the
water or macroalgae that live attached to
plants or other substrates. Harmful algal
blooms are a natural phenomenon, but
human activities are thought to
contribute to the increased frequency of
some of these, e.g., increased nutrient
loading is a factor that contributes to
increased occurrence of high biomass
harmful algal blooms (Lopez et al. 2008,
as cited in USFWS 2009b, p. 36). All
coastal States in the United States have
experienced harmful algal bloom events
and ‘‘it is generally believed that the
frequency and distribution of [harmful
algal blooms] and their impacts have
increased considerably in recent years’’
(Lopez et al. 2008, as cited in USFWS
2009b, p. 36).
The consequences of harmful algal
blooms can include the death of whales,
sea lions, dolphins, manatees, sea
VerDate Nov<24>2008
17:18 Feb 24, 2010
Jkt 220001
turtles, birds, fish, and invertebrates
from direct exposure to toxins; exposure
to toxins via contaminated food, water,
or aerosols; damaged gills; and
starvation due to low or poor food
quality (Lopez et al. 2008, as cited in
USFWS 2009b, p. 36). Ecosystems can
be degraded through the formation of
such large blooms that they alter habitat
quality through overgrowth, shading, or
oxygen depletion (see dead zone section
below). In addition, mortalities from
harmful algal blooms can degrade
habitat quality indirectly through
altered food webs or hypoxic (low
oxygen) events caused by the decay of
dead animals (Lopez et al. 2008, as cited
in USFWS 2009b, p. 36).
Blooms of Heterosigma akashiwo, a
raphidophyte known to kill fish have
been documented in the Pacific
Northwest annually since the 1960s and
blooms of Chanttonella, another
raphidophyte, have also killed fish
along the Pacific coast. Macroalgal
blooms along Washington’s coast harm
seagrasses, fish, and invertebrates due to
hypoxia and potentially due to the
production of bioactive compounds
(Lopez et al. 2008, as cited in USFWS
2009b, p. 37). These blooms may reduce
survival of coastal cutthroat trout
through exposure to toxins, reducing
habitat, and reducing the quality and
quantity of prey species. We have no
information at this time documenting
the effect of these blooms on coastal
cutthroat trout, prey species, or foraging
habitat in the marine environment
within the DPS, or to suggest that these
blooms pose a significant threat to
anadromous coastal cutthroat trout in
the marine and estuarine areas of the
DPS within the foreseeable future.
Dead Zones
Ecosystems can be degraded through
the formation of such large algal blooms
that they alter habitat quality through
overgrowth, shading, or oxygen
depletion (hypoxia or anoxia) (Lopez et
al. 2008, as cited in USFWS 2009b, p.
38). Hypoxia or anoxia (low or no
dissolved oxygen) can suffocate fish and
bottom-dwelling organisms and can
sometimes lead to hydrogen sulfide
poisoning (Lopez et al. 2008, p. 22;
Grantham et al. 2004, p. 750; Chan et al.
2008, as cited in USFWS 2009b, p. 38).
In addition, mortality from harmful
algal blooms can degrade habitat quality
indirectly through altered food webs or
hypoxic events caused by the decay of
dead animals (Lopez et al. 2008, as cited
in USFWS 2009b, p. 38). Hypoxic and
anoxic events along the Pacific Coast
can also be caused by large-scale
changes in ocean conditions on nearshore upwelling ecosystem dynamics.
PO 00000
Frm 00088
Fmt 4702
Sfmt 4702
Upwelling is part of the California
Current coastal ecosystem, but typically,
northerly winds alternate throughout
the summer with southerly winds. The
wind shifts suppress upwelling, mix the
water, and prevent nutrient overload.
However, every summer since 2002, the
Oregon Coast has experienced a
hypoxic/anoxic event (also referred to as
‘‘dead zone’’) (Grantham et al. 2004;
Chan et al. 2008, as cited in USFWS
2009b, p. 38), due to changes in typical
summer wind patterns along with
upwelling of nutrient-rich, but oxygenpoor, waters.
While hypoxic conditions are known
to be related to upwelling events, the
hypoxic events off Oregon’s coast
extend from the shallowest reaches
(inshore of 30 meter (98 feet) isobath) to
the nearshore stations (1.2 to 3.1 mi (2
to 5 km) offshore), which is unusual.
Further complicating matters,
phytoplankton are two to three times
more abundant during these hypoxic
events, resulting in increased
respiration (expiration of carbon
dioxide), which exacerbates the
dissolved oxygen deficits (Grantham et
al. 2004, as cited in USFWS 2009b, p.
38). The severe hypoxic event in 2006
extended into Washington at least as far
north as the Quinault River and affected
crabs in pots at depths of about 45 to 90
ft (14 to 27m). In addition to unusual
summer wind patterns, researchers are
also interested in large phytoplankton
blooms that occur in the late spring and
early summer in the waters off
Washington and Vancouver Island. The
large blooms in the north might explain
why waters off the Oregon coast that
now upwell at the coastal shelf break
are unusually low in oxygen. The
change in wind patterns and the
response of the marine ecosystem may
be an interlude in a natural cycle or may
signal a more permanent shift in the
regional climate and the health of the
ecosystem (Chan et al. 2008, as cited in
USFWS 2009b, p. 38).
These seasonal dead zones begin as
early as June and typically end in
September, times when coastal cutthroat
trout are present in nearshore and
marine environments. It is unclear how
far offshore coastal cutthroat trout
migrate; those entering nearshore waters
reportedly move moderate distances
along the shoreline. These hypoxic
events in Oregon and Washington may
occur within the marine areas used by
coastal cutthroat trout and avoidance of
these areas may impact migratory
patterns. In addition, dead zones can
result in significant mortality of fish and
invertebrates (Grantham et al. 2004;
Chan et al. 2008 as cited in USFWS
2009b, p. 39). Reduction of these species
E:\FR\FM\25FEP1.SGM
25FEP1
Federal Register / Vol. 75, No. 37 / Thursday, February 25, 2010 / Proposed Rules
may contribute to low quality and
quantity of prey for coastal cutthroat
trout. However, we have no information
at this time documenting the effects of
dead zones on coastal cutthroat trout
migration or prey availability.
sroberts on DSKD5P82C1PROD with PROPOSALS
Summary of Threat Factor E
Although climate change will
undoubtedly impact ocean productivity
as well as estuary and freshwater
habitats, the likely effects to
anadromous cutthroat trout and the DPS
as a whole are uncertain. At this point
we have no information that allows us
to make a reliable projection of climate
change effects on coastal cutthroat trout
within the foreseeable future. We note
that coastal cutthroat trout are habitat
generalists and, like other generalist
species, may be less vulnerable to
changing environmental conditions
brought on by climate change compared
to other species that have a narrower
range of habitat requirements (Foden et
al. 2008, p. 3). As discussed above, we
also assessed the potential threats of
catastrophic natural events and
hybridization under Factor E in the
2002 withdrawal of the proposed rule
(67 FR 44934: July 5, 2002). However, as
we have no new information to analyze
regarding these threats, we consider our
previous assessment as still representing
the best available information on these
subjects. Therefore, we reaffirm our
original conclusion that catastrophic
natural events and hybridization do not
pose a significant threat to coastal
cutthroat trout.
We have evaluated the best available
scientific and commercial information
on natural or manmade factors affecting
its continued existence, and we
conclude that anadromous cutthroat
trout are not threatened in marine and
estuarine areas, or any of the remaining
portions of the DPS, by climate change,
potential catastrophic natural events, or
hybridization.
Finding
Based on the remand of the
withdrawal of the proposed rule and the
direction provided by the Court, we
have reassessed our previous analysis to
focus on anadromous cutthroat trout in
the marine and estuarine portion of the
DPS. We relied heavily on our past
analysis in order to make a new finding
for several reasons. Our previous
analysis was comprehensive and
included an assessment of threats to
anadromous cutthroat upon which we
could build. Also, we found that threats
have not significantly changed between
the date of the withdrawal and now. It
was logical to compare the threats we
previously identified to any change in
VerDate Nov<24>2008
17:18 Feb 24, 2010
Jkt 220001
threats now or how we projected those
threats into the foreseeable future, and
to consider whether any new threats
have been identified since our last
status determination. In this analysis,
we have, therefore, considered all
information previously evaluated in the
2002 withdrawal notice (67 FR 44934;
July 5, 2002), as well as any new
information that has become available
since that time.
Although 7 years have passed since
our withdrawal of the proposed rule, we
have little new information available to
further assess current status and trend of
anadromous cutthroat trout in the
Columbia River, Grays Harbor or
Willapa Bay watersheds, and marine
areas. Although not reflective of a trend,
new information on emigration of
cutthroat juveniles from lower Columbia
River tributaries in both Oregon and
Washington indicates tributaries that are
monitored for cutthroat trout are still
delivering anadromous smolts to the
estuary and that adults are returning at
rates that are similar to healthy salmon
and steelhead populations (ODFW 2008,
entire; Johnson et al. 2008, entire;
Zydlewski et al. 2008, entire; Hudson et
al. 2008, entire; Bradford 1995, p. 1332;
Beckman et al. 1999 p. 1130). New
information from ODFW (2008, entire)
provides additional evidence that
resident cutthroat trout isolated above
long-standing anthropogenic barriers
still produce anadromous smolts. This
suggests that, to the extent that there is
a hereditary basis for life history, it is
not lost rapidly even under strong
selection against the anadromous form.
We have no evidence of any new
significant threats or significant changes
in previously identified threats to
anadromous cutthroat trout, though we
now have additional quantitative
information on predation by Caspian
terns and cormorants in the lower
estuary at East Sand Island. While we
acknowledge that avian predation is a
source of mortality for anadromous
cutthroat trout, its overall impact to
anadromous cutthroat trout is unknown.
However, we have no evidence to
suggest it is a limiting factor. Trends of
returning hatchery and naturally
produced cutthroat trout at Cowlitz
Hatchery have been relatively stable in
recent years, suggesting that the large
releases of anadromous cutthroat smolts
are not being significantly impacted by
avian predation. Furthermore, USACE is
seeking to reduce this impact. The goal
of the program is to reduce the size of
the Caspian tern colony by half by 2015.
Early results of the USACE’s relocation
program for Caspian terns, as well as the
concurrent program to reduce suitable
PO 00000
Frm 00089
Fmt 4702
Sfmt 4702
8637
nesting habitat on East Sand Island, are
encouraging.
Future climate change will
undoubtedly impact aquatic habitat and
aquatic species in the lower Columbia
River, and few species will be
unaffected. However, coastal cutthroat
trout, because of their complex lifehistory diversity, may be better
equipped than many salmonids to
handle the environmental stochasticity
we may expect to see under future
climate change. This fact underscores
the importance of conserving and
restoring the life-history diversity
present in this complex subspecies.
The Columbia River estuary and
plume, as well as Willapa Bay and
Grays Harbor estuaries, have undergone
significant alteration from historical
conditions, which has likely reduced
the amount and quality of habitat for
anadromous coastal cutthroat trout.
Despite these altered conditions,
anadromous cutthroat continue to
persist in the DPS. New information
documents the prevalence of
outmigrating coastal cutthroat smolts,
even above long-standing artificial
barriers, from many tributaries of the
lower Columbia River, which supports
the continued existence of the
anadromous life-history form. Although
numbers of anadromous coastal
cutthroat trout may be lower than they
have been historically, the limited
information available on trends in
anadromous coastal cutthroat trout does
not suggest an ongoing decline, or the
existence of significant limiting factors
to anadromous coastal cutthroat trout.
Projects such as proposed LNG
terminals and completion and
maintenance of the Columbia River
Channel Improvement Project may
cause short-term and low-level impacts
now and in the foreseeable future to
anadromous cutthroat trout and their
habitat. However, we do not believe
these potential impacts constitute a
significant threat because of the
adequacy of current regulatory
mechanisms and limited project scope
relative to available habitat. In Willapa
Bay, shellfish aquaculture and the use of
carbaryl to control burrowing shrimp in
shellfish aquaculture has been shown
through lab studies to potentially
impact coastal cutthroat trout, but we
lack information to suggest these have
caused declines in anadromous
cutthroat trout; in addition, the areas
affected are small compared to available
habitat. Given the adequacy of current
regulatory mechanisms and the
restoration actions that have occurred,
as well as those under way, we
conclude the overall baseline habitat
condition of the Columbia River estuary
E:\FR\FM\25FEP1.SGM
25FEP1
sroberts on DSKD5P82C1PROD with PROPOSALS
8638
Federal Register / Vol. 75, No. 37 / Thursday, February 25, 2010 / Proposed Rules
is likely on a positive trajectory. Based
on our evaluation of the best available
scientific and commercial information,
we have, therefore, determined
anadromous cutthroat trout are not
threatened by destruction, modification,
or curtailment of their habitat or range
in marine and estuarine areas, or the
DPS as a whole.
We have evaluated the best available
scientific and commercial information
on the overutilization of anadromous
cutthroat trout for commercial,
recreational, scientific, or educational
purposes. We identified no new or
significantly increased threats under
this threat factor beyond those analyzed
in the 2002 withdrawal. We, therefore,
conclude that anadromous cutthroat
trout are not threatened now or in the
foreseeable future by overutilization in
marine and estuarine areas, or any of the
remaining portions of the DPS.
While recent studies confirm that
anadromous cutthroat trout, like other
migrating fishes in the estuary, are
vulnerable to predation by terns and
cormorants, the overall impact to the
anadromous life-history form in the
Columbia River is unknown. However,
we do know that, despite the avian
predation rates documented in recent
studies, return rates of adults are similar
to or exceed adult return rates for many
wild, healthy anadromous salmon and
steelhead populations, suggesting that
avian predation is not a limiting factor
for anadromous coastal cutthroat trout.
We previously determined that potential
threats due to disease did not represent
significant threats to the DPS as a
whole. In our current review of
available information we did not
identify any new disease threats, nor
did we find evidence that any
previously identified threats had
significantly changed. We, therefore,
conclude that anadromous cutthroat
trout are not threatened by disease or
predation in marine and estuarine areas,
or any of the remaining portions of the
DPS.
Few regulatory mechanisms were
identified as a threat in the proposed
rule and none were considered a
significant threat at the time of the
withdrawal (2002). Based on our current
analysis, we have no evidence that any
of the previously identified regulatory
mechanisms have been significantly
weakened from 2002 to 2009, and
several changes during this time have
strengthened regulatory mechanisms.
We, therefore, conclude that
anadromous coastal cutthroat trout are
not threatened in marine and estuarine
areas, and in the remaining portions of
the DPS by inadequacies in regulatory
mechanisms.
VerDate Nov<24>2008
17:18 Feb 24, 2010
Jkt 220001
Although climate change will
undoubtedly impact ocean productivity
as well as estuary and freshwater
habitats, the likely effects to
anadromous cutthroat trout and the DPS
as a whole, are uncertain. Equivocal
projections of future conditions do not
allow for a reliable prediction of the
effects of climate change on the DPS.
Coastal cutthroat trout are habitat
generalists and, like other generalists,
may be less impacted due to changing
environmental conditions brought on by
climate change and, therefore, more
resilient compared to other species that
have a narrower range of habitat. We
have no new information available that
would alter our previous conclusion
from the 2002 withdrawal notice that
potential catastrophic events and
hybridization do not pose a significant
threat to coastal cutthroat trout (67 FR
44934; July 5, 2002). We have evaluated
the best available scientific and
commercial information on natural or
manmade factors affecting its continued
existence, and we conclude that
anadromous cutthroat trout are not
threatened in marine and estuarine
areas, nor in any of the remaining
portions of the DPS, by climate change,
potential catostrophic natural events, or
hybridization.
Although marine habitats comprise a
significant portion (about 90 percent) of
the combined marine and estuarine
analysis area, we found no information
on threats specific to anadromous
coastal cutthroat trout or similar fish
species in marine habitats. The new
information that is available primarily
addresses the potential effects of climate
change on marine habitat such as
seasonal upwelling, El Nixntilde;o and
La Nixntilde;a events, near-shore dead
zones, and harmful algal blooms (see
discussion under Threat Factor E).
These events influence primary
productivity and thus likely influence
the forage base and overall productivity
of these marine environments for
anadromous coastal cutthroat trout.
However, the degree to which these
events are impacted now and in the
foreseeable future by climate change is
uncertain, as are the subsequent
potential impacts to anadromous
cutthroat trout. Although we
acknowledge uncertainty around the
potential impacts of climate change, the
limited information available on threats
to marine habitats within the analysis
area does not suggest that current or
future conditions represent a threat to
anadromous coastal cutthroat trout.
It is also helpful to note that, while
we have no evidence of potential threats
in marine areas, but do know of some
potential threats in estuarine areas,
PO 00000
Frm 00090
Fmt 4702
Sfmt 4702
based on estuary utilization information
from the Columbia River, it appears the
vast majority of anadromous coastal
cutthroat trout rely less on estuarine
habitat than on marine habitat. The
degree of this reliance on the estuary
varies over the life of an individual fish.
New information on coastal cutthroat
trout movement from the Columbia
River estuary suggests anadromous
coastal cutthroat trout on their first
outmigration use the estuary largely as
a migration corridor only, and spend
relatively little time exposed to those
threats that may exist in estuarine areas.
These younger fish are the ones most
susceptible to the types of threats
described, but their limited exposure to
these threats on their way to marine
habitats reduces the likelihood of a
response, so such exposure is not likely
a limiting factor.
Those anadromous coastal cutthroat
trout that return from marine habitats
exhibit more extensive use of the
estuary than is typical for a first year
outmigrant. However, at the older age
and larger size they have reached after
spawning, they are also generally less
vulnerable to potential estuarine threats.
Therefore, in the marine areas that
comprise 90 percent of the analysis area,
we see few if any potential threats
specific to anadromous coastal cutthroat
trout. In the remaining 10 percent of the
analysis area, a small percentage of
anadromous coastal cutthroat trout are
exposed to, but are less susceptible to,
the potential or known estuarine threats.
We have carefully considered the best
scientific and commercial information
available regarding the status of and
threats to coastal cutthroat trout in the
marine and estuarine portions of the
Southwestern Washington/Columbia
River DPS. On the basis of our review
and analysis of the five threat factors
considered under section 4(a)(1) of the
Act, we have concluded that
anadromous cutthroat trout are not
threatened or endangered in the marine
and estuarine portions of the
Southwestern Washington/ Columbia
River DPS. As stated earlier, to be
considered a significant portion of the
range that may warrant the protections
of the Act, there must be substantial
information indicating that both (i) the
portions are significant and (ii) the
species is in danger of extinction there
or is likely to become so within the
foreseeable future. Both questions must
be answered in the affirmative. Since we
have determined that the marine and
estuarine areas of the DPS (i.e., the
portion of the DPS’ range under
consideration) are not threatened, then
we have determined that the marine and
estuarine areas of the DPS do not
E:\FR\FM\25FEP1.SGM
25FEP1
Federal Register / Vol. 75, No. 37 / Thursday, February 25, 2010 / Proposed Rules
sroberts on DSKD5P82C1PROD with PROPOSALS
warrant the protections of the Act.
Furthermore, we have reviewed the
comments received for indications of
significant changes in threats to coastal
cutthroat trout throughout the
Southwestern Washington/Columbia
River DPS, and concluded there is no
new indication that coastal cutthroat
trout are threatened or endangered in
any other portions of the DPS or the
DPS as a whole.
Therefore, based on the lack of
significant present or foreseeable
threats, we have determined that the
Southwestern Washington/Columbia
River DPS of coastal cutthroat trout is
not likely to become in danger of
extinction in the foreseeable future
throughout all or a significant portion of
its range, including the marine and
estuarine areas of the DPS, and,
therefore, does not meet the Act’s
definition of a threatened or endangered
species. Consequently, we withdraw our
April 5, 1999, proposed rule to list the
Southwestern Washington/Columbia
River DPS as threatened (64 FR 16397;
April 5, 1999).
Current and Future Conservation
Actions
While the following information did
not contribute to our determination, we
believe it is worthwhile to highlight
current and planned conservation
efforts for coastal cutthroat trout.
In the 2002 withdrawal of the
proposed rule, we committed to
providing technical assistance to
Federal, State, and other entities to
encourage them to address the
conservation needs of coastal cutthroat
trout. We committed to work with these
agencies and entities to collect
additional biological information,
monitor the status of coastal cutthroat
trout, and monitor the progress of
conservation efforts for the DPS (67 FR
44934; July 5, 2002).
The Service initiated efforts in 2003 to
involve the States in development and
implementation of a multi-state coastal
cutthroat trout conservation strategy.
Meetings with ODFW resulted in a
Memorandum of Understanding (MOU)
signed in January 2005 (Goodson 2008,
pp. 9–10). Three products to be
accomplished under the MOU included:
(1) a cooperative coastal cutthroat trout
research, monitoring, and evaluation
(RM&E) plan, to be implemented under
the Oregon Plan for Salmon and
Watersheds and ODFW’s Native Fish
Conservation Policy; (2) a coastal
cutthroat trout conservation plan,
developed via ODFW’s Native Fish
Conservation Policy; and, (3) a
Conservation Agreement between the
Service and ODFW to specifically
VerDate Nov<24>2008
17:18 Feb 24, 2010
Jkt 220001
identify the RM&E and conservation
actions and responsibilities necessary to
conserve coastal cutthroat trout in
Oregon. The risk assessments identified
in the 2005 Native Fish Status Report
(ODFW 2005) were used to set
conservation plan priorities under the
Native Fish Conservation Policy (OAR
635-007-0505(3)). Monitoring of coastal
cutthroat trout has been incorporated
into existing ODFW programs, although
it does not encompass all coastal
cutthroat trout habitat (K. Goodson,
pers. comm. 2009).
The 2005 Coastal Cutthroat Trout
Symposium was held in Port Townsend,
Washington, with major support
provided by the Service, Oregon
Chapter of the American Fisheries
Society, and the Pacific States Marine
Fisheries Commission (PSMFC). The
objectives of the symposium were to: (1)
update coastal cutthroat trout
information presented during the 1995
symposium in Reedsport, Oregon; (2)
enhance knowledge on all facets of
coastal cutthroat trout life history and
ecology; (3) provide a current
assessment of the range-wide status of
coastal cutthroat trout populations; and,
(4) encourage development of a
coordinated range-wide coastal
cutthroat trout conservation and
monitoring plan (Young et al. 2008, p.
xi). The Service’s presentation
encouraged the exploration of
opportunities to speed implementation
of conservation strategies through the
newly formed Western Native Trout
Initiative (WNTI) partnership (Finn et
al. 2008, p. 134). The partnership is
funded by a multi-state grant issued
through the Association of Fish and
Wildlife Agencies. The 17 species and
subspecies covered by WNTI are
divided into 5 geographically based
groups. The Northwest Group focuses
on bull trout and coastal cutthroat trout.
WNTI is seen as a way not only to
address funding the development of
conservation plans and actions, but also
an opportunity to raise the visibility of
coastal cutthroat trout (K. Griswold,
pers. comm. 2009).
Following the 2005 symposium and
inclusion of coastal cutthroat trout in
WNTI, a working group composed of
experts throughout the range of coastal
cutthroat trout was formed, known as
the Coastal Cutthroat Trout Interagency
Committee (Committee). The Committee
is composed of State wildlife agency
representatives from the western States
and British Columbia, Federal agencies
(Service, U.S. Bureau of Land
Management, U.S. Forest Service, and
U.S. Geologic Survey), and the
Northwest Indian Fisheries
Commission; the Committee is
PO 00000
Frm 00091
Fmt 4702
Sfmt 4702
8639
sponsored by the PSMFC (K. Griswold,
pers. comm. 2009). The Committee was
formalized in 2006, and identified the
goal of ‘‘developing a consistent
framework to help guide and prioritize
conservation, management, research,
and restoration of coastal cutthroat trout
throughout their native range’’ (Griswold
2008, p. 169).
In pursuit of their goal, the Committee
has sponsored two workshops; the latest
focusing on monitoring needs was held
in 2007. As a result of that workshop,
the Committee initiated a database
project whereby information about the
distribution, abundance, and diversity
of coastal cutthroat trout could be
housed and shared. The project has
three current products: (1) a searchable
library housed within PSMFC’s
StreamNet Library; (2) a database with
an initial focus on documented
occurrence; and, (3) an interactive webbased map to display documented
occurrence (K. Griswold, pers. comm.
2009). Work has also started on a draft
outline of a coastal cutthroat trout
conservation plan, which includes a
section addressing research, monitoring,
and evaluation.
Summary of Comments and
Recommendations
To ensure that any action resulting
from the request for information is
based on the best scientific and
commercial data available, we solicited
comments or suggestions from the
public, other concerned governmental
agencies, the scientific community,
industry, or any other interested parties.
We particularly sought comments
concerning:
(1) Information on those marine and
estuarine areas that could potentially
constitute a significant portion of the
range of the Southwestern Washington/
Columbia River DPS of the coastal
cutthroat trout, and the suggested
boundaries of those areas;
(2) Information on whether and why
those marine and estuarine areas
constitute a significant portion of the
range of the Southwestern Washington/
Columbia River DPS of coastal cutthroat
trout as defined by sections 3(6) or 3(20)
of the Act;
(3) Other information on the status,
distribution, population trends,
abundance, habitat conditions, or
threats specific to those marine and
estuarine areas that could constitute a
significant portion of the range of the
Southwestern Washington/Columbia
River DPS of coastal cutthroat trout; and
(4) Information on the effects of
potential threat factors that are the basis
for a species’ listing determination
under section 4(a)(1) of the Act (16
E:\FR\FM\25FEP1.SGM
25FEP1
8640
Federal Register / Vol. 75, No. 37 / Thursday, February 25, 2010 / Proposed Rules
sroberts on DSKD5P82C1PROD with PROPOSALS
U.S.C. 1531 et seq.; the ‘‘five listing
factors’’) specifically with respect to
those marine and estuarine areas of the
Southwestern Washington/Columbia
River DPS of coastal cutthroat trout. The
five listing factors considered under the
Act are:
(a) The present or threatened
destruction, modification, or
curtailment of the species’ habitat or
range;
(b) Overutilization for commercial,
recreational, scientific, or educational
purposes;
(c) Disease or predation;
(d) The inadequacy of existing
regulatory mechanisms; and,
(e) Other natural or manmade factors
affecting its continued existence.
In the reopening of public comment
(74 FR 12297; March 24, 2009), we
defined ‘‘estuary’’ to mean a semienclosed coastal body of water that has
a free connection with the open sea and
within which sea water is measurably
diluted with fresh water derived from
land drainage (Lauff 1967, as cited in
ISAB 2000, p. 2). All interested parties
were requested to submit factual reports
or information on the marine and
estuarine areas of the Southwestern
Washington/Columbia River DPS of
coastal cutthroat trout with particular
regard to whether these areas constitute
a significant portion of the range of the
DPS under the Act, and if so, whether
the subspecies is threatened or
endangered in those areas.
Additionally, we contacted
appropriate Federal and State agencies,
county governments, scientific
organizations, and other interested
parties and requested comment,
pursuant to section 4(b)(5)(A) of the Act.
During the comment period, a total of
four comment letters were submitted
from government agencies,
organizations, or individuals.
Specifically, comment letters were
submitted by the States of Oregon and
Washington, from one individual, and
from the Center for Biological Diversity.
The following is a summary of
substantive issues that were identified
within the comments received and our
response to each issue.
Comments from the States of Oregon
and Washington
Representatives of both the Oregon
Department of Fish and Wildlife
(ODFW) and the Washington
Department of Fish and Wildlife
(WDFW) submitted comment letters in
response to the request for comments.
The ODFW comments provided updated
biological information on studies
conducted by, or in conjunction with,
ODFW, as well as ODFW’s opinion that
VerDate Nov<24>2008
17:18 Feb 24, 2010
Jkt 220001
the lower Columbia River estuary ‘‘may
be considered a significant portion of
the range’’ of the DPS, although no
statement was made about the rest of the
estuarine and marine areas of the DPS.
The ODFW comments also stated that
‘‘[w]e do not feel the coastal cutthroat
trout in the lower Columbia River
estuary are threatened at this time due
to their fairly wide distribution in the
tributaries of the Columbia River and
the fact that many of the threats facing
them are being addressed in salmon
recovery efforts’’ (ODFW 2009a, p. 7).
The WDFW provided summarized
data and a number of citations for recent
coastal cutthroat trout studies, and
stated that ‘‘marine and estuarine habitat
is vital for the individual cutthroat trout
that utilize this habitat for foraging’’ but
that ‘‘[e]xisting information on
abundance and size at return of the seagoing cutthroat trout of the [DPS] does
not indicate that these fish are at risk of
becoming endangered (WDFW 2009, p.
1).’’ We have considered all data
submitted by ODFW and WDFW in our
analysis. In one instance, a comment
raised made by the ODFW was similar
to those of others who commented; we
responded to this comment in the
Public Comments section below with
attribution.
Public Comments
Comment 1: Several commenters,
including the State of Oregon, suggested
our definition of estuary is too limited
and that we should consider the estuary
as areas under tidal influence, not just
areas of saltwater intrusion.
Our Response: Although there are
many accepted definitions of the term
estuary, we chose to use the definition
by Lauff (1967, as cited in ISAB 2000,
p. 2) that describes an estuary as a semienclosed coastal body of water that has
a free connection with the open sea and
within which sea water is measurably
diluted with fresh water derived from
land drainage. This definition is
consistent with how we have used this
term since publication of the proposed
rule in 1999 (64 FR 16397; April 5,
1999), and parallels the life-history
terminology that coastal cutthroat trout
are not anadromous until they
experience salt water.
Comment 2: One commenter
suggested estuaries may be of greater
relative importance to anadromous
cutthroat than to Pacific salmon based
on the number of times they visit or
pass through this habitat during their
lifetimes, since anadromous coastal
cutthroat trout can spawn up to four
times during their lifetime.
Our Response: We acknowledge that
anadromous cutthroat trout have the
PO 00000
Frm 00092
Fmt 4702
Sfmt 4702
potential to move through and utilize
estuaries multiple times during their
lifetimes, and recent information from
studies of cutthroat trout movement in
the lower Columbia River document this
(Hudson et al. 2008, entire; Johnson et
al. 2008, entire). However, although
anadromous cutthroat have the
capability of spawning multiple times,
studies suggest a relatively low
percentage of individuals return to
spawn a second or third time (Hudson
et al. 2008, pp. 54–55; Johnson et al.
2008, pp. 16–18). Consequently,
estuaries may be of greater relative
importance only to those individuals
that return to spawn multiple times,
which represent a small fraction of this
life history form.
Comment 3: One commenter stated
the importance of the Columbia River
plume (i.e., the mix of salt and
freshwater that extends into the marine
environment) to anadromous cutthroat
and suggested that the Service consider
the plume, as well as the estuary and
near-shore travel zones along the
mainstem Columbia River, in any future
considerations regarding critical habitat
designation for coastal cutthroat trout.
Our Response: Since our finding is
that listing is not warranted, we are not
considering developing a proposed
critical habitat rule for the Southwestern
Washington/Columbia River DPS of
coastal cutthroat trout.
Comment 4: Several commenters
suggested that headwater resident
cutthroat above barriers do not
commonly migrate below these barriers
and should not be relied upon to
contribute to anadromous populations
below the barriers.
Our Response: New information
supports the fact that headwater
resident cutthroat migrate below natural
barriers at low rates (Bateman et al.
2008, pp. 62–64). Given this low rate of
emigration, it is unlikely that they
contribute significantly to anadromous
populations downstream. However,
there is evidence within the DPS that
resident freshwater forms within the
zone of anadromy (i.e., not isolated
above natural barriers impassable to
anadromous fish), even those that have
been isolated for long periods of time
above man-made barriers, are
contributing substantial numbers of
emigrating smolts to the Columbia River
estuary (ODFW 2008, pp. 9–11, Johnson
et al. 2008, pp. 19–20). For this reason
we expect resident freshwater forms
within the zone of current or historical
anadromy to continue to contribute to
the maintenance of the anadromous lifehistory strategy
Comment 5: Several commenters
suggested there is evidence of genetic
E:\FR\FM\25FEP1.SGM
25FEP1
sroberts on DSKD5P82C1PROD with PROPOSALS
Federal Register / Vol. 75, No. 37 / Thursday, February 25, 2010 / Proposed Rules
distinctness between anadromous
coastal cutthroat, freshwater migratory,
and resident cutthroat trout, and that
this distinctness provides support for
the existence of an SPR within the
Southwestern Washington/Columbia
River DPS.
Our Response: The best available
information suggests there is little
genetic differentiation between
anadromous and sympatric resident
freshwater cutthroat trout. Ardren et al.
(in press) found no genetic differences
between sympatric anadromous and
resident life forms within two
tributaries of the lower Columbia River.
They further found genetic differences
were an order of magnitude higher
between tributary samples than between
life forms within a tributary. Their
results are consistent with a population
made up of multiple life histories that
freely interbreed within each tributary
producing anadromous, freshwater
migratory and resident life forms. In
contrast, there is information to suggest
resident cutthroat trout isolated above
natural barriers may be genetically
distinct from cutthroat below natural
barriers due in part to low rates of
emigration over these barriers and the
inability of anadromous and resident
migratory cutthroat to reproduce with
coastal cutthroat trout that exist above
these barriers (Griswold 1997, pp. 167–
169; Bateman et al. 2008 pp. 62–64). We
find that available information on
genetic distinctness between life forms
of coastal cutthroat trout does not
support the existence of an SPR in the
Southwestern Washington/Columbia
River DPS, especially for the
anadromous life form, which is not
genetically distinct from resident forms
below natural barriers.
Comment 6: One commenter
suggested that resident cutthroat trout
above barriers contribute little to
anadromous and freshwater migratory
forms below barriers and that the
designation of DPSs and SPRs should
consider this information.
Our Response: We agree that resident
cutthroat trout above natural barriers
likely contribute little to the
maintenance of anadromous and
freshwater migratory forms. We have
considered this information in our
current analysis.
Comment 7: One commenter stated
that if the Service finds a marine and
estuarine SPR that warrants listing as
threatened or endangered, then the
whole Southwestern Washington/
Columbia River DPS should be listed.
Our Response: Current Service policy
per the DOI solicitor’s M-Opinion on
significant portion of the range allows
for applying the protections of the Act
VerDate Nov<24>2008
17:18 Feb 24, 2010
Jkt 220001
to an SPR that is a portion of a listable
entity, whether that entity is a DPS,
subspecies, or species. In any event,
because the Service has determined that
the subspecies is not threatened or
endangered in the marine and estuarine
areas of the DPS, the Service need not
decide what the appropriate scope of a
listing would be.
Comment 8: One commenter cited the
definition of SPR from the Service’s
draft guidance and suggested, ‘‘based on
this criteria, marine and estuarine areas
easily qualify as an SPR of the range of
the Southwestern Washington/Columbia
River coastal cutthroat trout because
these areas are essential to the survival
of sea-run coastal cutthroat trout.’’
Our Response: Our draft guidance
states that a portion of a species’ range
is significant if it is important to the
conservation of the species because it
contributes meaningfully to the
representation, resiliency, or
redundancy of the species. While we
agree that marine and estuarine areas
are important to the survival of sea-run
(anadromous) coastal cutthroat trout,
our analysis indicates that the species is
not threatened or endangered in these
areas and thus further consideration of
an SPR is not warranted.
Comment 9: One commenter stated
that the Service’s withdrawal of the
proposed rule failed to provide any
evidence that sea-run cutthroat trout are
abundant or widespread and that, in
fact, most of the information the Service
presented indicates continued cause for
concern.
Our Response: Our five-factor analysis
in the 2002 withdrawal found coastal
cutthroat trout to be generally
widespread and abundant throughout
the DPS. While we acknowledged that
the anadromous life form was likely
reduced from historical levels, and
perhaps was still declining in some
areas, we presented new information
and highlighted changes in regulations
that changed our conclusion about the
risk that the DPS may become
endangered in the foreseeable future.
The Service’s withdrawal of the
proposed rule did not require we
demonstrate that sea-run (anadromous)
cutthroat trout be widespread and
abundant, only that they are not
threatened or endangered, as these
terms are defined in section 3 of the Act.
Comment 10: One commenter said
that the reopening of the public
comment (74 FR 12297; March 24, 2009)
misrepresented the court’s direction to
the Service by suggesting that some
portions of the withdrawal of the
proposed rule were insulated from
review.
PO 00000
Frm 00093
Fmt 4702
Sfmt 4702
8641
Our Response: While we believe the
Court’s remand was based solely on our
failure to adequately consider whether
the marine and estuarine portions of the
DPS constituted a ‘‘significant portion of
the range’’ of the DPS, we agree that the
withdrawal decision was remanded in
full by the Court’s ruling, and that data
regarding impacts in areas of the DPS
outside marine and estuarine areas are
also relevant to the current finding. The
reopening of the public comment (74 FR
12297; March 24, 2009) on the proposed
rule specifically sought data on the five
listing factors within the marine and
estuarine areas, but did not limit
submissions to these areas. We have
received and considered comments on
issues specific to the marine and
estuarine as well as the DPS as a whole.
Comment 11: One commenter pointed
out that the Service based its reversal of
the proposed rule in part on the fact that
resident cutthroat trout can occasionally
produce anadromous offspring, but that
this same information was available to
NMFS when it conducted its status
review and NMFS still concluded that
listing was warranted.
Our Response: Information on the
contribution of resident cutthroat trout
to anadromy was not available to NMFS
when completing its status review,
although it was available prior to the
proposal to list the ESU (now DPS). Our
withdrawal of the proposed rule was
based on multiple factors, including
additional information that was not
available to NMFS suggesting that
resident cutthroat trout do produce
anadromous offspring. New information
in our current analysis further supports
the fact that resident cutthroat trout
below natural barriers are contributing
to the anadromous life-history
component of cutthroat trout in this
DPS.
Comment 12: One commenter
suggested that, if poor habitat
conditions are suppressing anadromous
cutthroat trout, then any anadromous
progeny produced by resident cutthroat
trout would face the same habitat
limitations, thereby providing limited
contribution to the conservation of the
anadromous life-history form.
Our Response: We agree that the
anadromous component of coastal
cutthroat trout in the DPS is likely
reduced from historical levels and that
this reduction has likely been caused in
part by habitat degradation. We also
agree that any anadromous progeny
produced by resident cutthroat trout
would face the same habitat limitations.
However, even with historical habitat
degradation in the three estuaries within
the DPS, our analysis indicates
anadromous cutthroat trout are still
E:\FR\FM\25FEP1.SGM
25FEP1
sroberts on DSKD5P82C1PROD with PROPOSALS
8642
Federal Register / Vol. 75, No. 37 / Thursday, February 25, 2010 / Proposed Rules
present and are still returning to many
tributaries within the DPS at rates that
are generally comparable to return rates
for healthy anadromous salmonid
species, and that the nature of threats
are such that the anadromous lifehistory form is not likely to become
threatened or endangered in the
foreseeable future.
Comment 13: One commenter
suggested that forest management
practices will continue to impact coastal
cutthroat trout for decades to come
through ongoing impacts from past
activities.
Our Response: While it is true that
some legacy effects of past logging
practices will continue into the future,
there is no information demonstrating
anything more than a speculative link
suggesting that these types of impacts
pose a risk of extinction of coastal
cutthroat trout throughout the DPS, or
in the marine and estuarine areas of the
DPS. In fact, in our 2002 withdrawal of
the proposal to list, we concluded that
management of forested landscapes is
expected to improve in the future due
to improvements in the requirements for
private timber harvest regulations in
Washington State, and information
received during the recent comment
period from the State of Washington
describes improvements in migratory
corridors and other watershed
improvements under the Washington
State Forest and Fish rules.
Comment 14: One commenter
asserted that private lands forest
management in proximity to the
estuaries has a disproportional impact
to anadromous coastal cutthroat trout as
compared to upper tributary
populations that may be more affected
by Federal forest management.
Our Response: While it is true that
there are more acres of privately
managed forest lands in close proximity
to the estuarine areas of the DPS, the
commenter offers no information to
show that forest management in these
areas has had impacts to coastal
cutthroat trout. Exposure to some of the
negative aspects of these practices is
described in the comment, but no
response by coastal cutthroat trout is
articulated.
Comment 15: One commenter
provided an expansive list of potential
threats or factors to a variety of coastal
cutthroat trout life-history forms (e.g.,
‘‘anadromous,’’ ‘‘sea-run,’’ ‘‘migratory’’),
many of which cite back to the 2002
withdrawal notice or documents used
by the Service in support of the
withdrawal notice, but without any new
information cited in support of these as
actual threats. The commenter failed to
identify how coastal cutthroat trout that
VerDate Nov<24>2008
17:18 Feb 24, 2010
Jkt 220001
may be exposed to some of these
potential threats may respond, for
example in terms of population
declines, increases in extinction risk,
reductions in reproductive capacity or
output, or any other measure indicating
that the exposed fish are responding to
these factors such that they should be
considered threats. The factors
addressed in this manner include, but
are not limited to:
• Urban and industrial sprawl
• Agriculture
• Grazing
• Mining
• Cumulative effects, or a synergy of
impacts ‘‘greater than the sum of the
parts’’
• The fish diseases Ceratomyxa shasta
and gas bubble disease
• Predation by other fishes, mammals, or
birds
• The inadequacy of Federal Forest
management in Oregon and
Washington to protect coastal
cutthroat trout, because the Federal
forests are too far away from the
estuary and marine areas
• The inadequacy of regulations
covering urban, industrial, and
agricultural ‘‘sprawl’’ in Oregon and
Washington
• Oregon Forest Practices Act.
Our Response: In conducting a ‘‘5factor’’ analysis in the listing process,
we must consider all factors that the
best available scientific and commercial
information identifies as threats faced
by the species in question. In
considering what factors might
constitute threats, we must look beyond
the mere exposure of the species to the
factor to determine whether the species
responds to the factor in a way that
causes actual impacts to the species. If
there is exposure to a factor, but no
response, or only a positive response,
that factor is not a threat. If there is
exposure and the species responds
negatively, the factor may be a threat
and we then attempt to determine how
significant a threat it is. If the threat is
significant, it may drive or contribute to
the risk of extinction of the species such
that the species warrants listing as
threatened or endangered as those terms
are defined by the Act. This does not
necessarily require empirical proof of a
threat. The combination of exposure and
some corroborating evidence of how the
species is likely impacted could suffice.
The mere identification of factors that
could impact a species negatively is not
sufficient to compel a finding that
listing is appropriate; we require
evidence that these factors are operative
threats that act on the species to the
point that the species meets the
PO 00000
Frm 00094
Fmt 4702
Sfmt 4702
definition of threatened or endangered
under the Act.
For the factors offered here, the
commenter argues that they exist in
places across the landscape and that
coastal cutthroat trout in the
Southwestern Washington/Columbia
River DPS are exposed to these factors
to varying degrees. However, the
commenter has not provided evidence
that coastal cutthroat trout in the DPS
are responding to these factors in
negative ways such that they constitute
actual threats. In some cases, the
commenter provides evidence that
other, similar species are affected
negatively by these factors, and we have
considered these instances carefully.
Where we lack species-specific studies,
and the best available scientific and
commercial information does not at
least offer corroborating support, we
cannot portray such a factor as a threat
on the basis of mere exposure. To do so
would obviate the need to consider the
biology of the species at all.
In the case of coastal cutthroat trout
and the factors listed in this issue above,
most of these were raised and
considered in the 2002 withdrawal of
the proposed rule (67 FR 44934; July 5,
2002). We have reconsidered them here,
looked for any new information among
the best available scientific and
commercial information received in
response to our reopening of the
comment period, and considered
whether this new information, in
conjunction with the data previously
evaluated in our 2002 withdrawal notice
(67 FR 44934; July 5, 2002) would lead
us to a different conclusion now, even
when applied just to the marine and
estuarine areas of the DPS. In doing so
we find that these factors do not
constitute significant threats because,
while coastal cutthroat trout may be
exposed to them, and in some cases may
suffer some degree of harm, there is
insufficient evidence to suggest that the
species responds in ways that would
contribute to a finding of threatened or
endangered status in marine and
estuarine areas within the DPS or the
DPS as a whole.
Comment 16: One commenter stated
that the State of Washington’s Forest
and Fish rules should not have been
considered ‘‘adequate regulatory
mechanisms’’ for coastal cutthroat trout
in our 2002 withdrawal because these
rules governing private land timber
harvest do not: (a) adequately address
the anadromous life history of coastal
cutthroat trout; (b) encompass enough of
the anadromous form to offer any
protection to it; and (c) were speculative
at the time we made the original
withdrawal finding.
E:\FR\FM\25FEP1.SGM
25FEP1
sroberts on DSKD5P82C1PROD with PROPOSALS
Federal Register / Vol. 75, No. 37 / Thursday, February 25, 2010 / Proposed Rules
Our Response: At the time of our 2002
withdrawal notice, the finding being
reached was on the DPS as a whole, and
did not single out life-history forms. We
have reconsidered that finding here in
light of the best available scientific and
commercial information, including any
new information received in response to
the reopening of the comment period
even when applied just to the marine
and estuarine areas of the DPS. In all of
these analyses, we have considered the
impact of the State of Washington’s
Forest and Fish rules to the full extent,
as is appropriate, regardless of lifehistory form. We acknowledged at the
time of the 2002 withdrawal that the
rules were relatively new, but we
recognized, and still recognize, that they
were consistent with improving fish
habitat conditions on forested lands
over time. The State of Washington’s
comments articulated significant
improvements in fish habitat as a result
of the rules supporting the removal of
culverts and other barriers to fish
migration; we note that no new
information was received to suggest
these rules have not improved
conditions.
Comment 17: One commenter stated
that coastal cutthroat trout are more
susceptible now to stochastic
disturbances and catastrophic natural
events because in historical times they
were more widespread and thus prior
populations would have more resilience
to these impacts.
Our Response: At the time of the 2002
withdrawal notice, we found no major
gaps in the range or local extirpations
within the DPS, and the best available
scientific and commercial information,
including any new information received
in response to the reopening of the
comment period, even when applied
just to the marine and estuarine areas of
the DPS, reaffirms this finding. As a
result, stochastic disturbances and
catastrophic natural events should
constitute no more of a threat to coastal
cutthroat trout now than in historical
times.
Comment 18 : One commenter cited a
number of sources of water pollution,
including industrial and sewage
effluents, pesticides, fertilizers, mining
wastes, metals and others, that coastal
cutthroat trout are exposed to in lower
rivers and estuaries, using data
generally gathered prior to the 2002
withdrawal notice. This commenter
then stated that the cumulative effects of
pollution are especially dangerous to
sea-run cutthroat trout as they spend a
great deal of their lives in these areas.
Our Response: As with other issues
raised in the comments received, most
of these were raised and considered in
VerDate Nov<24>2008
17:18 Feb 24, 2010
Jkt 220001
the 2002 withdrawal of the proposed
rule. We have reconsidered them here,
looked for any new information among
the best available scientific and
commercial information, including
information received in response to our
reopening of the comment period, and
considered whether this information
would lead us to a different conclusion
now, even when applied just to the
marine and estuarine areas of the DPS.
In doing so we find that these factors do
not constitute significant threats
because, while coastal cutthroat trout
may be exposed to them, there is
insufficient evidence to suggest that the
species responds in ways that would
support a finding of threatened or
endangered status in the marine and
estuarine areas within the DPS or the
DPS as a whole.
Comment 19: One commenter
requested that we consider the impacts
of climate change on coastal cutthroat
trout in the Southwest Washington/
Columbia River DPS in both marine and
freshwater habitats, but did not provide
any new information since the 2002
withdrawal notice regarding climate
change impacts.
Our Response: The 2002 withdrawal
of the proposed rule (67 FR 44934; July
5, 2002) addressed climate change, and
we have extensively reconsidered this
issue in this finding (see ‘‘Climate
Change’’ discussion, above, under Factor
E) in light of the best available scientific
and commercial information. We have
also considered whether any new
information, when considered in
conjunction with the data considered in
the 2002 withdrawal notice, would lead
us to a different conclusion now, even
when applied just to the marine and
estuarine areas of the DPS. As detailed
in our threats analysis under Factor E,
in doing so we find that current climate
change risk does not constitute a
significant threat to coastal cutthroat
trout.
Comment 20: One commenter noted
that sea-run cutthroat trout make
extensive use of estuarine habitat and
have likely been negatively impacted by
current and historical habitat
degradation and loss.
Our Response: We acknowledge that
estuaries of Willapa Bay, Grays Harbor,
and the Columbia River have been
significantly modified from historical
condition, and that these habitats are
often occupied by the anadromous
cutthroat trout life-history form. While
we acknowledge that degradation and
habitat loss in estuaries has likely had
some level of impact on anadromous
cutthroat trout, there is no information
available directly correlating the loss
and degradation of habitat to a
PO 00000
Frm 00095
Fmt 4702
Sfmt 4702
8643
significant population decline. For
example, the commenter cited new
information on habitat degradation and
loss of shallow-water habitats in the
Columbia River estuary and resulting
impacts to detritus- based food webs
that support Pacific salmon (Bottom et
al. 2006, p. 524), thereby suggesting that
these same impacts are affecting
anadromous cutthroat trout. Despite the
documentation of these changes in the
food web of the Columbia River estuary,
the authors did not provide empirical
evidence of a linkage between the loss
of a detritus-based food web and the
status of Pacific salmon in the Columbia
Basin, much less any link to
anadromous coastal cutthroat trout.
Comment 21: One commenter
described various impacts of dams and
barriers on anadromous cutthroat trout
ranging from complete blockage to
habitat, loss of access to spawning areas,
passage mortality and injury through
entrainment at dams, gas supersaturation below dams, and inadequate
or poor passage at culverts.
Our Response: Much of the
information that comprised this
comment was derived from the
withdrawal of the proposed rule (67 FR
44934; July 5, 2002), or from Moynan
(2002, entire), which is an internal
Service document associated with our
administrative record of the withdrawal
of the proposed rule. Although we
previously considered this information
in support of our withdrawal of the
proposed rule, we have reconsidered
this information in light of our analysis
on anadromous cutthroat trout.
Although we acknowledge that dams
and barriers have likely contributed to
a decline in anadromous cutthroat, there
is evidence that anadromous cutthroat
continue to persist throughout the DPS,
except for above barriers, and there is no
evidence that the loss of this life-history
form is likely in the foreseeable future.
In addition, there have been a number
of passage improvements in recent years
that have restored significant amounts
of habitat for anadromous coastal
cutthroat trout. For example, in 2007,
Marmot dam was removed on the Sandy
River, thereby removing a potential
passage impediment and possible
source of entrainment mortality that had
been in place for 90 years, and the Little
Sandy River Dam is also scheduled for
removal in the near future. In addition,
comments submitted by the State of
Washington noted that new Forest and
Fish Rules have provided benefits to
cutthroat trout by removing hundreds of
barriers on commercial forest lands,
doubling the available cutthroat habitat
with unobstructed access.
E:\FR\FM\25FEP1.SGM
25FEP1
8644
Federal Register / Vol. 75, No. 37 / Thursday, February 25, 2010 / Proposed Rules
sroberts on DSKD5P82C1PROD with PROPOSALS
Comment 22: One commenter stated
that there are many projects planned for
the lower Columbia River that will
impact coastal cutthroat trout, including
the planned Bradwood Landing
Liquified Natural Gas Project. In regards
to the Bradwood Landing Project, the
commenter noted that a biological
assessment developed by NorthernStar
Energy, the entity proposing the project,
concluded the proposed action ‘‘may
affect, and is likely to adversely affect’’
a number of stocks of federally listed
salmon and steelhead. The commenter
stated that coastal cutthroat trout are
associated with and have a similar life
history to salmon and steelhead, and
thus it can be inferred that they too will
be adversely affected by the project.
Our Response: In our five-factor
analysis we considered the effects of
this and other potential liquefied
natural gas (LNG) projects in the
Columbia River. While we acknowledge
that individual cutthroat trout might be
impacted from these types of
developments, we note that the scope of
potential impacts is small relative to the
total area of available habitat in the
Columbia River and estuary. In
addition, regulatory mechanisms
required through the Federal Energy
Regulatory Commission (FERC), and
through State land uses regulations, are
expected to provide protective
mechanisms to minimize impacts of
construction and operation of LNG
facilities. Although a final consultation
has not been completed by NMFS and
FERC on the Bradwood Landing LNG
Project, NMFS has the authority under
section 7(a)(2) of the Act to require nondiscretionary actions on behalf of the
project proponent that may serve to
modify how the project is constructed
and operated to minimize impacts to
salmon and steelhead listed under the
Act.
Although the biological assessment
developed by NorthernStar Energy
determined the project ‘‘may affect, and
is likely to adversely affect’’ a number of
stocks of listed salmon and steelhead,
this determination is not a populationlevel finding. Rather, it is an
acknowledgment that individual fish
may be adversely impacted from the
action. In regards to potential impacts to
VerDate Nov<24>2008
17:18 Feb 24, 2010
Jkt 220001
anadromous cutthroat trout, we agree
that adverse effects to individual fish
are possible but there are no data to
support a conclusion that such impacts
would increase a population-level
extinction risk. The commenter’s
statement regarding NMFS’s assertion
that ‘‘massive numbers of fish’’ will be
entrained in both process water and
ballast water withdrawals from the
Bradwood Landing LNG Project is
unsupported.
Comment 23: One commenter noted
that hybridization between cutthroat
trout and rainbow trout is widespread
and that hybridization may reduce
productivity of coastal cutthroat
populations. The commenter also noted
that cutthroat trout hatchery programs
and hatchery programs for salmon and
steelhead also have the potential to
negatively impact coastal cutthroat
trout.
Our Response: We agree that
hybridization with native rainbow trout
and hatchery rainbow trout is known to
occur, but there is no evidence that
hybridization has contributed to a
decline of anadromous coastal cutthroat
trout in the DPS. As we noted in our
withdrawal of the proposed rule (67 FR
44934; July 5, 2002), although the data
on hybridization between coastal
cutthroat trout and rainbow trout/
steelhead trout are limited, indications
are that hybridization does occur at low
levels where these two species coexist.
Much scientific uncertainty currently
surrounds the causes of hybridization
and its evolutionary consequences. In
view of the limited nature of
hybridization in the DPS and the natural
co-occurrence of these species,
hybridization between cutthroat trout
and rainbow/steelhead trout is not
currently considered a significant threat
to anadromous cutthroat trout in the
DPS. Low levels of hybridization may
represent natural interactions between
rainbow/steelhead trout and coastal
cutthroat trout. Populations with high
levels of hybridization are few and
isolated.
Likewise, we acknowledge the
potential impacts of reduced fitness that
could result from wild cutthroat
reproducing with hatchery coastal
cutthroat trout, but have no evidence
PO 00000
Frm 00096
Fmt 4702
Sfmt 9990
that this is occurring in the DPS. As
noted in the withdrawal of the proposed
action, coastal cutthroat trout
production has been reduced to a single
hatchery (Cowlitz River Hatchery), and
there is no information at this time to
indicate the limited ongoing coastal
cutthroat trout hatchery releases are
having a negative impact on wild
cutthroat trout in the DPS.
Hatchery programs for salmon and
steelhead, particularly coho and
steelhead, have the potential to impact
coastal cutthroat trout through
competition. However, information
demonstrating effects from releases of
coho and steelhead in the DPS is limited
and the extent to which hatchery
management affects the DPS of coastal
cutthroat as a whole is unknown. We
have no new evidence beyond that
previously considered in our 2002
withdrawal of the proposed rule that
hatchery releases of salmon and
steelhead in the DPS are producing
competition above natural levels or
represent a significant risk to the DPS.
Thus, our conclusion that competition
with hatchery fish does not pose a
significant threat to coastal cutthroat
trout remains the same (67 FR 44934;
July 5, 2002).
References Cited
A complete list of all references we
cited in this document is available on
the Internet at https://
www.regulations.gov or by contacting
the Oregon Fish and Wildlife Office (see
FOR FURTHER INFORMATION CONTACT).
Author
The primary authors of this notice are
the staff members of the Oregon Fish
and Wildlife Office, U.S. Fish and
Wildlife Service, 2600 SE 98th Avenue,
Suite 100, Portland, OR 97266.
Authority
The authority for this action is the
Endangered Species Act of 1973, as
amended (16 U.S.C. 1531 et seq.).
Dated: February 5, 2010.
Sam D. Hamilton,
Director, Fish and Wildlife Service.
[FR Doc. 2010–3803 Filed 2–24–10; 8:45 am]
BILLING CODE 4310–55–S
E:\FR\FM\25FEP1.SGM
25FEP1
Agencies
[Federal Register Volume 75, Number 37 (Thursday, February 25, 2010)]
[Proposed Rules]
[Pages 8621-8644]
From the Federal Register Online via the Government Printing Office [www.gpo.gov]
[FR Doc No: 2010-3803]
-----------------------------------------------------------------------
DEPARTMENT OF THE INTERIOR
Fish and Wildlife Service
50 CFR Part 17
[Docket No. FWS-R1-ES-2008-0128]
[MO 92210-0-0009-B4]
RIN 1018-AW72
Endangered and Threatened Wildlife and Plants; Withdrawal of
Proposed Rule To List the Southwestern Washington/Columbia River
Distinct Population Segment of Coastal Cutthroat Trout (Oncorhynchus
clarki clarki) as Threatened
AGENCY: Fish and Wildlife Service, Interior.
ACTION: Proposed rule; withdrawal.
-----------------------------------------------------------------------
SUMMARY: We, the U.S. Fish and Wildlife Service (Service), have
determined that the proposed listing of the Southwestern Washington/
Columbia River Distinct Population Segment (DPS) of coastal cutthroat
trout as a threatened species under the Endangered Species Act of 1973,
as amended (Act), is not warranted. We therefore withdraw our proposed
rule (64 FR 16397; April 5, 1999) to list the DPS under the Act.
Although we had earlier concluded that this DPS did not warrant listing
under the Act, as a result of litigation we have reconsidered whether
the marine and estuarine areas of the DPS may warrant listing if they
constitute a significant portion of the range of the DPS. Based upon a
thorough review of the best available scientific and commercial data,
we have determined that the threats to coastal cutthroat trout in the
marine and estuarine areas of its range within the DPS, as analyzed
under the five listing factors described in section 4(a)(1) of the Act,
are not likely to endanger the species now or in the foreseeable future
throughout this portion of its range. We, therefore, again withdraw our
proposed rule, as we have determined that the coastal cutthroat trout
is not likely to become endangered now or in the foreseeable future
throughout all or a significant portion of its range within the
Southwestern Washington/Columbia River DPS.
ADDRESSES: This withdrawal and supporting documentation are available
on the Internet at https://www.regulations.gov; search for Docket Number
[FWS-R1-ES-2008-0128]. Supporting documentation for this determination
is also available for inspection, by appointment, during normal
business hours at the U.S. Fish and Wildlife Service, Oregon Fish and
Wildlife Office, 2600 SE. 98th Avenue, Suite 100, Portland, OR 97266;
telephone 503-231-6179; facsimile 503-231-6195.
FOR FURTHER INFORMATION CONTACT: Paul Henson, Ph.D., State Supervisor,
U.S. Fish and Wildlife Service, Oregon Fish and Wildlife Office (see
ADDRESSES, above). Persons who use a telecommunications device for the
deaf (TDD) may call the Federal Information Relay Service (FIRS) at
800-877-8339.
SUPPLEMENTARY INFORMATION:
Background
On July 5, 2002, we published a notice of our withdrawal of the
proposed rule to list the Southwestern Washington/Columbia River
distinct population segment (DPS) of the coastal cutthroat trout
(Oncorhynchus clarki clarki) as threatened under the Endangered Species
Act of 1973, as amended (Act) (67 FR 44934; July 5, 2002). As a result
of litigation, we are required to reconsider our withdrawal of the
proposed rule with specific regard to the question of whether marine
and estuarine areas may constitute a significant portion of the range
of the Southwestern Washington/Columbia River DPS of coastal cutthroat
trout.
On March 24, 2009, we published a notice of reopening of a comment
period on the proposed rule (74 FR 12297). In that notice, we alerted
the public, other concerned governmental agencies, the scientific
community, industry, and any other interested party of our request for
information, data, or comments on the marine and estuarine areas of the
Southwestern Washington/Columbia River DPS of coastal cutthroat trout,
with particular regard to whether these areas constitute a significant
portion of the range of the DPS under the Act, and if so, whether the
subspecies is threatened or endangered in those areas.
The comment period closed on April 23, 2009, and we received four
comment letters. After analyzing the information received, information
in our files, and all other available information, we analyzed the
threats to coastal cutthroat trout in the marine and estuarine portion
of the DPS to determine whether coastal cutthroat trout are threatened
or endangered in that area and, if so, whether the area constitutes a
significant portion of the range of the DPS. Although the Court did not
ask us to revisit status, trends, and threats to anadromous cutthroat
trout or other life-history forms outside of marine and estuarine
areas, we have also considered any new information available for these
areas that would suggest any significant change in status, trend, or
threats for the
[[Page 8622]]
remainder of the DPS. This withdrawal of the proposed rule is the
result of our determination that coastal cutthroat trout in the marine
and estuarine areas of the DPS do not warrant listing as either
threatened or endangered.
Previous Federal Actions
The Federal Register documents related to this current withdrawal
action are listed in table 1 and explained further in text following
the table.
Table 1--Federal Register publications concerning the proposed listing
of the southwestern Washington/Columbia River distinct population
segment of coastal cutthroat trout (Oncorhynchus clarki clarki).
------------------------------------------------------------------------
Date of Federal Register Federal Register
Publication Citation Action
------------------------------------------------------------------------
April 5, 1999 64 FR 16397 FWS and NMFS jointly
issue a proposed
rule to list the
southwestern
Washington/Columbia
River distinct
population segment
of coastal cutthroat
trout as threatened
and opened a public
comment period until
July 6, 1999
------------------------------------------------------------------------
April 14, 2000 65 FR 20123 Announced 6-month
extension for
publishing the final
determination on the
April 5, 1999,
proposed rule from
the normal 12-month
timeframe required
by the Act
(extension was from
April 5, 2000, to
October 5, 2000)
------------------------------------------------------------------------
April 21, 2000 65 FR 21376 Announced transfer of
regulatory
jurisdiction for
coastal cutthroat
trout from joint FWS
and NMFS management
to FWS exclusively
------------------------------------------------------------------------
June 2, 2000 65 FR 35315 Reopened the comment
period on the April
5, 1999, proposed
rule until July 23,
2000, and announced
a public hearing on
June 20, 2000
------------------------------------------------------------------------
July 14, 2000 65 FR 43730 Clarified the take
prohibitions that
would go into effect
if the April 5,
1999, proposed rule
was finalized
------------------------------------------------------------------------
September 6, 2000 65 FR 53974 Reopened the comment
period on the July
14, 2000, take
clarification
document until
September 29, 2000,
and announced a
public hearing on
September 21, 2000
------------------------------------------------------------------------
November 23, 2001 66 FR 58706 Reopened the comment
period on the April
5, 1999, proposed
rule to list until
December 24, 2001
------------------------------------------------------------------------
July 5, 2002 67 FR 44934 Withdrew the April 5,
1999, proposed rule
to list
------------------------------------------------------------------------
March 24, 2009 74 FR 12297 Reconsidered the July
5, 2002, withdrawal
and reopened the
comment period on
the April 5, 1999,
proposed rule to
list until April 23,
2009
------------------------------------------------------------------------
As indicated in table 1, the National Marine Fisheries Service
(NMFS) and the Service jointly published a proposed rule to list the
Southwestern Washington/Columbia River ESU (later DPS) of coastal
cutthroat trout as a threatened population under the distinct
vertebrate population segment provision of the Act on April 5, 1999 (64
FR 16397). In that proposed rule, we noted the uncertainty regarding
which agency, the NMFS or the Service, had jurisdiction over the
coastal cutthroat trout, and we committed to notify the public once the
issue had been resolved. Subsequently, the time to make a final
determination on the proposed rule was extended for an additional 6
months, from April 5, 2000, to October 5, 2000, due to substantial
scientific disagreement about the status of the population; this action
further opened an additional 30-day comment period (65 FR 20123; April
14, 2000).
On April 21, 2000, the NMFS and the Service published a notice of
the Service's assumption of sole jurisdiction for coastal cutthroat
trout under the Act (65 FR 21376). On June 2, 2000, we again reopened
the comment period on the proposed rule and announced a public hearing
to be held in Ilwaco, Washington, on June 20, 2000, to allow all
interested parties to submit oral or written comments on the proposal
(65 FR 35315). On July 14, 2000, we published a notice to clarify the
take prohibitions for the Southwestern Washington/Columbia River DPS of
coastal cutthroat trout that would apply if the proposed listing were
to be finalized, and provided a 30-day public comment period on the
list of activities that would, and would not, likely constitute a
violation of section 9 of the Act (65 FR 43730). The comment period on
the clarification of take prohibitions was reopened on September 6,
2000 (65 FR 53974), and a hearing was held September 21, 2000, in
Aberdeen, Washington, based on a request during the initial public
comment period. In addition, the comment period on the proposed rule to
list the Southwestern Washington/Columbia River DPS of coastal
cutthroat trout was again reopened for an additional 30 days on
November 23, 2001 (66 FR 58706).
On July 5, 2002, we published a notice of withdrawal of the
proposed rule to list the Southwestern Washington/Columbia River DPS of
the coastal cutthroat trout as threatened (67 FR 44934; July 5, 2002).
The notice set forth the following bases for our determination that the
DPS did not meet the listing criteria as a threatened species: (1) new
data indicating that coastal cutthroat trout are more abundant in
southwest Washington than was previously thought, and that population
sizes were comparable to those of healthy populations in other areas;
(2) new information and analyses calling into question prior
interpretation of the size of the anadromous portion of the population
in the Columbia River, and indicating higher numbers than previously
described; (3) new data and analyses no longer showing declining adult
populations in the Grays Harbor tributaries; (4) new analyses calling
into question the past interpretation of trend data, and, therefore,
the magnitude of
[[Page 8623]]
the trend in the anadromous portion of the population in the Columbia
River; (5) new information describing the production of anadromous
progeny by non-anadromous and above-barrier cutthroat trout; and, (6)
two large-scale Habitat Conservation Plans (HCPs) and significant
changes in Washington Forest Practices Regulations, substantially
reducing threats to aquatic and riparian habitat on forest lands in
Washington. The withdrawal notice concluded that, based on reduced
threats and new information and understanding regarding the status of
the DPS, the Southwestern Washington/Columbia River DPS of coastal
cutthroat trout was not in danger of becoming endangered in the
foreseeable future, and, therefore, did not meet the definition of a
threatened species.
On February 3, 2005, the Center for Biological Diversity, Oregon
Natural Resources Council, Pacific Rivers Council, and WaterWatch filed
a legal challenge to the Service's withdrawal of the proposed listing
in the U.S. District Court for the District of Oregon (Center for
Biological Diversity, et al. v. U.S. Fish and Wildlife Service, Case
No. 05-165-KI). The Court ruled that the Service's decision to withdraw
the proposed rule complied with the Act and was not arbitrary and
capricious, and dismissed the action on November 16, 2005. Plaintiffs
appealed. On April 18, 2008, the U.S. Court of Appeals for the Ninth
Circuit affirmed the district court's decision in part and reversed the
decision in part. The Ninth Circuit found no error in the Service's
determination that the DPS as a whole did not merit listing, but held
that the Service had failed to consider whether the marine and
estuarine portions of the DPS constitute a significant portion of the
range of the coastal cutthroat trout within that DPS under the Act
(Center for Biological Diversity, et al. v. U.S. Fish and Wildlife
Service, 274 Fed. Appx. 542 (9\th\ Cir. 2008)). The Ninth Circuit
reversed the district court's decision and remanded the matter to the
district court.
On July 1, 2008, the U.S. District Court for the District of Oregon
issued an amended order remanding the listing decision to the Service
for further consideration in light of the opinion of the Ninth Circuit.
On March 24, 2009, we reopened a comment period on the proposed rule
(74 FR 12297), soliciting information on the question of whether the
estuary and other marine areas constitute a significant portion of the
range of the Southwestern Washington/Columbia River DPS of the coastal
cutthroat trout. The comment period closed on April 23, 2009.
Species Information
The following descriptions of the subspecies coastal cutthroat
trout (Oncorhynchus clarki clarki), its habitat, and life history, are
excerpted from our July 5, 2002, withdrawal of the proposed rule to
list the Southwestern Washington/Columbia River DPS of the coastal
cutthroat trout as threatened (hereafter ``withdrawal notice'') (67 FR
44934; July 5, 2002). We incorporate all of the information in the
withdrawal notice by reference. Where new information has become
available, we have updated these descriptions to ensure we are using
the best available scientific and commercial information. Where certain
information is critical to the understanding of our reasoning, we have
included it here. We have focused on cutthroat exhibiting anadromous
life-history strategies as these are the only individuals that use the
marine and estuarine areas under consideration here. Please see the
withdrawal notice (67 FR 44934; July 5, 2002) for additional
information.
The coastal cutthroat trout is 1 of 10 formally described
subspecies of cutthroat trout (Behnke 1992) and is a member of the
family Salmonidae (collectively known as salmonids). The coastal
cutthroat trout is distributed along the Pacific Coast of North America
from Prince William Sound in Alaska to the Eel River in California
(Behnke 1992, p. 65; Trotter 2008, p. 62) and inland from the Coast
Range of Alaska to roughly the crest of the Cascades of Washington and
Oregon (Trotter 2008, p. 62).
The Southwestern Washington/Columbia River DPS of coastal cutthroat
trout includes the Columbia River and its tributaries from the mouth to
the Klickitat River on the Washington side of the river and Fifteenmile
Creek on the Oregon side; the Willamette River and its tributaries from
its confluence with the Columbia upstream to Willamette Falls; Willapa
Bay and its tributaries; and Grays Harbor and its tributaries.
The portion of the range of the DPS being considered here includes
three estuaries and areas of nearshore marine ocean habitat off the
coasts of these estuaries. In the Columbia River, we have defined the
estuary as extending to approximately river mile (rmi) 28 (river
kilometer (rkm) 45) where the upstream extent of saltwater intrusion
occurs. The Columbia River estuary, from the mouth to the extent of
saltwater intrusion, covers approximately 148 square miles (sq mi)
(about 383 square kilometers (sq km)). In Grays Harbor and Willapa Bay
estuaries, the extent of saltwater intrusion is less distinguishable
from the extent of tidal influence, largely due to the less linear
shape of the water body. As a result, we define the estuary as
extending approximately as far upstream as the extent of saltwater-
tolerant shoreline vegetation along each of the respective tributaries.
Defined this way, Grays Harbor estuary covers approximately 91 sq mi
(about 236 sq km), and Willapa Bay estuary covers approximately 129 sq
mi (about 334 sq km).
The marine area included is far more difficult to identify, since
anadromous coastal cutthroat trout from within this DPS could
potentially intermingle with coastal cutthroat trout from Olympic
Peninsula populations to the north, and the Oregon coast populations to
the south (Johnson et al. 1999, pp. 126-130). We define the nearshore
marine area by considering the marine areas known or likely to be used
by Columbia River anadromous coastal cutthroat trout. To the south of
the mouth of the Columbia River, an acoustic-tagged coastal cutthroat
trout from a study by Zydlewski et al. (2008, p. 34) was detected by an
unrelated acoustic tracking study off the mouth of Nehalam Bay,
approximately 38 miles (mi) (about 61 kilometers (km)) south of the
Columbia River mouth. We can therefore reasonably assume that coastal
cutthroat trout from Grays Harbor estuary in Washington might swim
about the same distance north of the mouth of its bay, or approximately
to the mouth of the Queets River. According to Trotter (2008, p. 71),
coastal cutthroat trout have been collected as far out into the
Columbia River plume as 41 mi (about 66 km) from the mouth. The
``plume'' refers to the area where river water extends into and mixes
with the waters of the ocean at the mouth of the river.
The marine areas included in this analysis, therefore, include
approximately 4,952 sq mi (about 12,826 sq km) of ocean ranging from
the mouth of the Nehalam River in Oregon, out to a point approximately
30 mi (about 48 km) from shore, then to a point approximately 41 mi
(about 66 km) west of the Columbia River mouth, then a point
approximately 30 mi (about 48 km) west of the mouth of the Queets
River, in Washington. The Columbia River plume exhibits highly variable
flow and location, depending on river flow, wind patterns, El
Nixño oscillations, and other oceanographic or climatic factors
(Hickey et al. 2005, p. 1632; Thomas and Weatherbee 2006, p. 169). The
area described above is heavily influenced by plume conditions, and
thus might provide suitable habitat for anadromous coastal cutthroat
trout
[[Page 8624]]
that may access the ocean from the three estuaries mentioned. Actual
distribution of coastal cutthroat trout in the marine areas may be
highly variable at any given time, and, as mentioned above, coastal
cutthroat trout from the Southwestern Washington/Columbia River DPS may
mingle with coastal cutthroat trout from other populations in this
area.
Coastal cutthroat trout spend more time in the freshwater
environment and make more extensive use of this habitat, particularly
small streams, than do most other Pacific salmonids. The life history
of coastal cutthroat trout may be one of the most complex of the
Pacific salmonids (Johnson et al. 1999, p. 120). Coastal cutthroat
trout exhibit a variety of life-history strategies across their range
(Northcote 1997, p. 24; Johnson et al. 1999, pp. 44-45) that includes
three basic variations: resident or primarily nonmigratory; freshwater
migrants; and marine migrants. Residents may stay within the same
stream segment their entire life. Freshwater migrants may make
migrations from small tributaries to larger tributaries or rivers, or
may migrate from tributary streams to lakes or reservoirs. Marine
migrations (anadromy) are generally thought to be limited to nearshore
marine areas; individuals may not venture out of the estuary in some
cases (ODFW 2008, p. 8; Krentz 2007, pp. 71-75). There are numerous
exceptions to these generalized behaviors. In areas above long-standing
barriers, coastal cutthroat trout are generally limited to resident or
freshwater migratory life-history strategies, though some individuals
may pass the barrier and end up in the ocean but be barred from
returning by the barrier. In areas accessible to the ocean, all three
life-history strategies (resident, freshwater migratory, and
anadromous) are likely to be expressed in the same area.
Coastal cutthroat trout appear to exhibit diverse and very flexible
life-history strategies. The significance of the various life-history
strategies, the extent to which each strategy is controlled by genetic
versus environmental factors, and the extent to which individuals
expressing these various strategies are isolated from other life-
history forms is largely unknown. There is some evidence that
individuals may express multiple life-history behaviors in their
lifetimes (Johnson et al. 1999, pp. 43-44); in other words, apparently
an individual fish at various times in its life may switch between
these life-history forms, some years acting as a freshwater resident or
migrant, and some years acting as a marine migrant (see the ``Anadromy
and Life History Diversity'' section below for more information). For
convenience we refer to individuals that migrate to marine waters as
anadromous, or as the anadromous life form (also known as ``sea-run''
cutthroat trout). In doing so, we do not intend to imply that they
represent a separate population from freshwater forms. We are treating
all forms as part of a single population in this analysis, due to their
flexibility in life-history expression and genetic information showing
more differentiation between river or stream systems than between
individuals expressing various life histories in a single system, as
described below.
Coastal cutthroat trout are repeat spawners. Some individuals have
been documented to spawn each year for at least 5 years (Giger 1972, p.
33), others may not spawn every year, and some do not return to
seawater after spawning, remaining in fresh water for at least a year,
demonstrating the flexibility of individual life history strategies.
Eggs begin to hatch within 6 to 7 weeks of spawning and fry emerge
between March and June, with peak emergence in mid-April. At emergence,
fry appear to seek refugia near channel margins and backwater habitats,
although they may use fast water habitats (riffles and glides) when
exposed to competitive interactions with other native salmonids
(Johnson et al. 1999, pp. 51-52).
Migratory coastal cutthroat trout juveniles generally remain in
upper tributaries until they are 1 or 2 years of age. Like other
anadromous salmonids, coastal cutthroat trout on marine-directed
migrations undergo physiological changes to adapt to salt water; these
changes are called ``smoltification,'' and individuals that have
undergone this process are referred to as ``smolts.'' Smoltification of
coastal cutthroat trout has been reported to occur from 1 to 6 years of
age, but is most common at age 2 (Trotter 2008, p. 71). Migration of
juvenile cutthroat from tributaries of the lower Columbia River occurs
most months of the year, but peak movement occurs from March through
June (Johnson et al. 2008, pp. 7-9; ODFW 2008, p. 7).
Anadromous coastal cutthroat trout that enter nearshore marine
waters reportedly move moderate distances along the shoreline.
Anadromous cutthroat trout along the Oregon coast may swim or be
transported long distances with the prevailing currents during the
summer; individual marked fish have been reported to move from 45 to
180 mi (72 to 290 km) off the Oregon Coast (Pearcy 1997, p. 30). It is
unclear how far offshore coastal cutthroat trout migrate. Cutthroat
trout have been routinely caught up to 4 mi (6 km off the mouth of the
Nestucca River (Sumner 1953, 1972). Coastal cutthroat trout have also
been captured between 6 to 41 mi (10 and 66 km) offshore of the
Columbia River (Trotter 2008, p. 71), though it is unclear whether they
were carried by the plume of the Columbia River or moved offshore in
search of prey. Resident (non-migratory) fish appear to mature earlier
(2 to 3 years), are shorter-lived than the migratory form, and are
smaller and less fecund (Trotter 2008, p. 85). Sexual maturity rarely
occurs before age four in anadromous coastal cutthroat trout (Johnson
et al. 1999, p. 51). Growth rates increase during the initial period of
ocean residence, but decrease following the first spawning due to
energy expenditures from migration and spawning (Giger 1972, pp. 29-
31). Behnke (1992, p. 70) reports the maximum age of sea-run cutthroat
to be approximately 10 years.
The timing of fish returns to estuary and freshwater habitat varies
considerably across the range and within river basins (Trotter 2008, p.
73; Behnke 1992, p. 70). For example, return migrations of anadromous
coastal cutthroat trout in the Columbia River system usually begin as
early as late June and continue through October, with peaks in late
September and October. Anadromous coastal cutthroat trout spawning
typically starts in December and continues through June, with peak
spawning in February.
Significant progress had been made in understanding the biology of
anadromous cutthroat trout in the Columbia River since 2002, when we
published our initial withdrawal notice (67 FR 44934; July 5, 2002). We
received new information from a suite of recent companion studies
conducted on coastal cutthroat trout from tributaries on the Washington
side of the lower Columbia River. Johnson et al. (2008, entire)
examined the timing and prevalence of juvenile movement out of
tributaries and timing of adult returns. Zydlewski et al. (2008,
entire) examined movement patterns and extent of use of the mainstem
and estuary by coastal cutthroat trout entering the Columbia River from
four tributaries known to support anadromous life forms. Finally,
Hudson et al. (2008, entire) examined movement of adult coastal
cutthroat in the lower Columbia River mainstem and estuary. These
studies, combined with similar research conducted by the Oregon
Department of Fish and Wildlife (ODFW 2008, entire) on several
tributaries on the Oregon side of the lower Columbia River, contribute
significantly to our understanding of
[[Page 8625]]
coastal cutthroat trout. We summarize the findings from these studies
below.
Johnson et al. (2008, entire) monitored cutthroat trout from three
tributaries of the lower Columbia River: Abernathy Creek, rmi 54.0 (rkm
87), Chinook River, rmi 3.7 (rkm 6), and Gee Creek, rmi 87.0 (rkm 140).
A total of 4,923 cutthroat were tagged with passive integrated
transponders (``PIT tagged'') over a 4-year period and subsequently
monitored by antennas placed near the confluence of the streams with
the Columbia River. Detections of tagged cutthroat followed a seasonal
pattern of movement consistent among years with most emigration
(downstream migration) occurring between March and May. Although some
individuals in this study did not move out of the tributary in which
they were tagged, and others were documented moving upstream once they
entered the Columbia River, the majority of emigrating fish were
assumed to migrate downstream to the Columbia River estuary, plume, and
marine environments (i.e., exhibit anadromous behavior).
The number of tagged fish detected emigrating to the Columbia River
varied considerably between streams, but within streams the proportion
of detected migrants versus the total number tagged was generally
consistent among years. In Abernathy Creek, the proportion of detected
migrants (percentage of tagged fish emigrating versus total number
tagged) averaged 9.0 percent over 4 years; in Chinook River, the
proportion averaged 45.2 percent; and in Gee Creek, the average was
12.4 percent. Outmigrating cutthroat trout were generally age 1 or 2.
Adults returned between October and December. Cutthroat trout returned
from all reaches sampled during initial tagging, suggesting there was
no distinct spatial separation between resident and migratory
cutthroat.
Adult returns to Abernathy Creek totaled 15 individual tagged fish
(2.5 percent of the total number of tagged fish detected emigrating).
Subsequently, 8 of those 15 exhibited a second migration to the
Columbia River, one of which subsequently returned for a third spawning
migration. Adult returns to Chinook River totaled 43 tagged individuals
(7.4 percent of the total number of tagged fish detected emigrating).
Subsequently, 16 exhibited a second migration to the Columbia River, 10
of which returned. Of those 10 fish, 4 exhibited a third migration back
to the Columbia River of which 1 individual returned for a fourth
spawning season. Of the 132 fish PIT-tagged from Gee Creek, 17
emigrated to the Columbia River and none were documented returning in
subsequent years.
The authors suggested the higher adult return rates and the higher
likelihood of multiple migrations in the Chinook River as compared to
Abernathy Creek could be due to (1) migrants from the Chinook River
being larger relative to those emigrating from Abernathy Creek, which
may confer a competitive advantage and predator avoidance, and (2) less
loss of Chinook River fish because its confluence with the Columbia
River is in the estuary at the mouth of the Columbia River, resulting
in a short corridor in which migrants are less subject to anthropogenic
and natural threats. The information from this study suggests a large
degree of variability among streams in regards to the proportion of the
population that exhibits anadromous behavior (i.e., emigrating annually
to the Columbia River).
Zydlewski et al. (2008, entire) studied cutthroat trout from four
tributaries of the lower Columbia River using radio and acoustic
telemetry. Individual fish were tracked as they migrated down the
Columbia River, through the estuary, and into the ocean. In 2002,
cutthroat trout leaving Germany, Abernathy, and Mill creeks took a
median of 6.6 days to reach the mouth of the Columbia River (i.e.,
where the Columbia River meets the Pacific Ocean). Many individuals in
this study traveled the distance in 1 to 2 days consistent with the
speeds of other species of anadromous salmonids in the Columbia River.
The authors of this study suggested that rapid and directed downstream
movement seaward may be the most advantageous migratory strategy in
this and other large river systems. The observed directed seaward
movement documented in this study differs from observations in other
estuaries where cutthroat trout make greater use of the estuary (Krentz
2007, entire). The findings of Zydlewski et al. (2008, entire) are
generally consistent with migration patterns of coastal cutthroat
smolts from several tributaries on the Oregon side of the lower
Columbia River by the ODFW (2008, entire). Together these data suggest
less use of the Columbia River estuary by anadromous cutthroat trout on
their first seaward migration than previously thought. Zydlewski et al.
(2008, p. 35) speculated this somewhat uniform migratory pattern may be
a recent condition based on a loss of life-history diversity due to
estuary habitat degradation and altered hydrograph, although this
speculation was not supported by any data.
Hudson et al. (2008, entire) investigated adult coastal cutthroat
trout behavior in the lower Columbia River mainstem and estuary using
radio telemetry. Post-spawning adult cutthroat trout were captured and
tagged in multiple tributaries on the Washington side of the lower
Columbia River. Of the 44 fish radio-tagged over 2 years, 30 left
tributary habitat between February and May and utilized the lower
mainstem Columbia River and estuary. Radio-tracking showed these fish
utilize a variety of habitats in the mainstem Columbia River and
estuary. In this study the suspected or confirmed mortality rate for
tagged, post-spawning anadromous cutthroat trout that moved from
spawning streams to the Columbia River and estuary was 59.1 percent.
In summary, these recent studies documented the prevalence of
juvenile movements out of tributaries and migration patterns of
anadromous cutthroat trout in the lower Columbia River. Cutthroat trout
on their first anadromous migration utilized the estuary to a lesser
degree than previously thought, although returning adults and those on
second or third migrations were documented utilizing the estuary
extensively. Emigration rates from natal tributaries to the Columbia
River varied among tributaries with rates ranging from 3.5 percent to
45 percent, and adult returns vary from 0.0 percent to 7.4 percent.
Although timing of peak outmigrations and return migrations were
documented, these studies suggest cutthroat trout can be found in the
Columbia River estuary year-round.
Anadromy and Life History Diversity
The presence of an anadromous life-history strategy could be
valuable to the DPS for genetic mixing in the long-term and for
potential recolonization after large catastrophic events, assuming some
level of straying and mixing of breeding cutthroat. Genetic exchange
can be important in evolutionary time scales to maintain diversity
within populations, though complete genetic mixing requires that only a
few individuals interbreed successfully over generation-scale
timeframes. The Pacific Northwest is subject to periodic catastrophic
events such as volcanic eruptions and stand replacement fires that can
seriously depress, and even extirpate, local populations. These types
of events occur on very long time scales and at watershed or sub-basin
scales; the risk of full river basin impacts is unlikely. Anadromous
cutthroat represent one possible source of individuals for
recolonization, another being resident or freshwater migratory
[[Page 8626]]
cutthroat trout above or outside the area of the catastrophic event.
However, the ability of anadromous cutthroat trout to recolonize is
limited by barriers. Since the fish cannot make it past large natural
barriers, there is no possibility of providing rescue above such
barriers. All of these functions can be accomplished with relatively
small proportions of the population expressing an anadromous life-
history strategy.
The original proposal to list the Southwestern Washington/Columbia
River DPS of the coastal cutthroat trout stated that ``[a] significant
risk factor for coastal cutthroat trout in this [DPS] was a reduction
of life-history diversity'' based on serious declines in anadromous
life-history forms and near extirpation in at least two rivers on the
Oregon side of the basin (64 FR 16407; April 5, 1999). The proposed
rule acknowledged that freshwater forms remained well distributed and
in relatively high abundance (64 FR 16407; April 5, 1999). The proposed
rule indicated that habitat degradation in stream reaches accessible to
anadromous cutthroat trout, and poor ocean and estuarine conditions,
likely had combined to severely deplete the anadromous life-history
form throughout the lower Columbia River Basin. Finally, the proposed
rule further stated that ``Reduced abundance in anadromous fish will
tend to restrict connectivity of populations in different watersheds,
which can increase genetic and demographic risks. ... The significance
of this reduction in life history diversity to the [sic] both the
integrity and the likelihood of this [DPS's] long-term persistence is a
major concern to NMFS.'' (64 FR 16407; April 5, 1999).
The ODFW and the Washington Department of Fish and Wildlife (WDFW)
presented preliminary evidence to the NMFS Status Review team that
freshwater cutthroat trout could produce anadromous migrants, which
could mitigate risks to the anadromous portion of the population. The
proposed rule did note that the presence of well-distributed freshwater
forms in relatively high abundance, coupled with the possibility that
freshwater forms could produce anadromous progeny ``could act to
mitigate risk to anadromous forms of coastal cutthroat trout,'' though
the observation that anadromous coastal cutthroat trout population
sizes remained consistently low remained a cause for concern at that
time (64 FR 16407; April 5, 1999).
The extent to which each life-history expression is partitioned or
isolated among and within populations is largely unknown; however,
there is evidence that individuals may express multiple life-history
behaviors over time (Johnson et al. 1999, p. 43). Coastal cutthroat
trout believed to be freshwater forms one year may migrate to the sea
another year; some individuals may not make their initial migration to
sea until age six (Trotter 2008, p. 71). Some sea-run cutthroat trout
may not enter saltwater every year after their initial seaward
migration (Tomasson 1978). Existing studies show that, although both
allele frequencies and morphology may differ some between populations
above and below barriers, individuals exhibiting different life-history
strategies within a single drainage are generally more closely related
to each other than are individuals exhibiting similar life-history
strategies from different drainages (Johnson et al. 1999, p. 75; Ardren
et al. (in press)). In other words, a resident fish and an anadromous
fish from the same drainage would be more closely related to one
another than either would be to another fish with the same life-history
expression in a different drainage. These results indicate that
migratory and nonmigratory portions of the population of cutthroat
trout likely represent a single evolutionary lineage in which the
various life-history characteristics have arisen repeatedly in
different geographic regions (Johnson et al. 1999, p. 75).
For other salmonids with multiple life-history forms, Jonsson and
Jonsson (1993, p. 356) suggested that in a single mating, parents may
produce offspring with different migratory strategies, though this has
not been confirmed experimentally for coastal cutthroat trout (Johnson
et al. 1999, p. 40). Studies of brown trout have demonstrated that non-
anadromous adults can produce anadromous offspring, though at lower
levels than anadromous adults. Both the ODFW (1998, p. 4; 2008, entire)
and Anderson (2008, p. 12) presented information showing evidence of
production of anadromous progeny by freshwater resident coastal
cutthroat trout. Many coastal cutthroat populations are isolated above
natural barriers. Studies have shown low levels of downstream migration
over these natural barriers, indicating that these isolated populations
likely are contributing demographically and genetically to populations
below them (Griswold 1996, p. 40; Johnson et al. 1999, p. 75).
There is increasing evidence that coastal cutthroat trout isolated
for relatively long periods of time above impassable dams retain the
capacity to produce marine migrants (anadromous fish). The WDFW (2001)
reported that between 476 and 1,756 smolts were produced from the
freshwater form of coastal cutthroat trout above Cowlitz Falls Dam on
the Cowlitz River in 1997 and 1998. A downstream migrant trap at
Mayfield Dam recorded between 60 and 812 migrants per year from 1978 to
1999. There was a single release of hatchery-derived anadromous
cutthroat trout above Mayfield Dam in 1981, but all cutthroat trout
currently above the dam are considered to be freshwater forms (WDFW
2001b, p. 7). Mayfield Dam was built in 1962, blocking upstream
migration. WDFW has marked coastal cutthroat trout smolts produced by
upstream resident freshwater fish at Cowlitz Falls, which lies above
Mayfield Dam. Two adults returned from smolts tagged in 1997, one of
which was sacrificed and microchemistry results confirmed it had
migrated to salt water and returned. Eight fish from smolts tagged
returned in 1998; thus, while this portion of the DPS may contain
residualized anadromous cutthroat trout trapped behind the dam, it has
continued to produce downstream migrants for over 40 years (more than
10 generations). These results are consistent with the hypothesis that
resident fish in anadromous fish zones are capable of producing
migratory juveniles (i.e., smolts) and sea-run adults.
Information submitted by the ODFW (2008, p. 1) documents the
outmigration of cutthroat trout smolts to the lower Columbia River
estuary that are offspring of resident cutthroat trout isolated above a
man-made barrier in Big Creek that has been in place since 1941.
Despite the fact that the barrier prevented upstream passage of
anadromous cutthroat for more than 65 years (until 2004), anadromy has
continued to persist in this basin. The level of outmigration (about 5
percent emigration of fish tagged), although at a considerably lower
level than in adjacent Bear Creek, which has no such barrier to
anadromous returns (about 30 percent emigration of fish tagged), still
represents a substantial demographic and genetic input to the
downstream population. These reports suggest resident cutthroat trout
make potentially important contributions to the anadromous portion of
the population, despite extreme selective pressure against anadromy (no
anadromous cutthroat had returned to spawn above the barrier for many
generations).
As mentioned earlier, a few studies show that, although both allele
frequencies and morphology may differ between populations above and
below barriers, fish with differing life-history
[[Page 8627]]
forms are generally more closely related within a drainage than are
populations from different drainages (Johnson et al. 1999, p. 75).
Ardren et al. (In Press) examined coastal cutthroat trout to test for
genetic separation of sympatric (co-occurring) life-history forms
within and between two Columbia River tributaries, Abernathy Creek and
the Chinook River. No distinct genetic separation was found between
sympatric migratory and resident cutthroat forms within each tributary,
and genetic differences were an order of magnitude higher between
tributary samples than between life forms within a tributary. These
results are consistent with a population that freely interbreeds within
each tributary producing progeny that have the genetic capacity to
express different life-history forms. Based on the results from this
study the authors suggest that sympatric migrant and resident forms of
coastal cutthroat trout in the lower Columbia River may be best
described as a continuum of life-history forms expressed from a single
population. This life history variation likely affords resilience to
environmental fluctuation as has been demonstrated with bull trout
where loss of life history forms results in higher extirpation
probabilities (Dunham and Rieman 1999, pp. 650-651). Considering lower
Columbia River cutthroat trout as a single population is consistent
with the views of McPhee et al. (2007, p. 7), who suggest that, due to
lack of reproductive isolation, it may not be appropriate to consider
sympatric resident and anadromous rainbow trout (Oncorhynchus mykiss)
as separate biological units, as they are currently managed.
Anadromous cutthroat trout, particularly in the lower Columbia
River estuary, are exposed to the full array of habitat loss or
degradation reported for the estuary. However, there are few data
describing how they respond to this exposure. The degree to which the
reduced numbers of the anadromous portion of the population of coastal
cutthroat trout represent a risk to the DPS as a whole depends, in
part, on the importance of this life-history strategy and the extent to
which the expression of life history strategies are genetically versus
environmentally controlled.
NMFS (Johnson et al. 1999, p. 201) acknowledged that, if freshwater
coastal cutthroat trout can produce smolts, this could mitigate the
risks to the anadromous portion of the population, though at the time
they lacked information on the length of isolation of populations above
Mayfield Dam to fully evaluate this phenomenon. They did note that,
even if smolts were being produced, the anadromous portion of the
population remains consistently low in many areas, which NMFS concluded
was cause for concern at that time. The fact that resident cutthroat
isolated by artificial barriers for over 40 years in the Cowlitz and
over 65 years in Big Creek in Oregon continue to produce smolts
suggests that even if the anadromous portion of the population
continues to experience low numbers and possible declines, smolts will
be produced that can supplement the anadromous portion of the
population and take advantage of any improvement in anadromous habitat
(e.g., ocean, estuary, mainstem rivers and tributaries). Further, the
reported rates of smolt to adult returns are consistent with literature
reports of return ratios among healthy populations of other Pacific
salmon species (Bradford 1995, p. 1332; Beckman et al. 1999, p. 1130),
suggesting that return rates of anadromous cutthroat are not unusually
low.
In addition, there is no evidence at this time that coastal
cutthroat trout pursuing the anadromous life-history strategy are
segregated from the remainder of the population. This further supports
the conclusion that anadromous and resident forms are not substantially
separate subpopulations. Therefore, based on the evidence that
freshwater and isolated portions of the population are capable of
producing anadromous migrants and demonstrate rates of return
consistent with literature reports of other Pacific salmon species, we
conclude that freshwater and isolated portions of the coastal cutthroat
trout population are mitigating risks to anadromous forms to some
degree. We believe that the ability for non-anadromous cutthroat trout
to produce anadromous progeny reduces the risk of loss of the
anadromous life-history strategy.
Population Size and Trends
In our 2002 withdrawal (67 FR 44934; July 5, 2002), we acknowledged
that little data existed to determine the actual population size of
cutthroat trout in the DPS due to the fact that most information was
collected incidental to monitoring of salmon and steelhead, counts were
generally conducted only in areas monitored for salmon and steelhead,
and abundance information originated from trapping facilities not
designed for capturing cutthroat trout, thereby limiting the value of
the datasets. Given the information available, and acknowledging the
limitations of the datasets analyzed, we concluded ``... while the
anadromous portion of the population of coastal cutthroat trout is
likely at lower-than-historical levels, there is little information
available to determine the actual size of runs or to indicate that
populations, or even the anadromous portion alone, are at extremely low
levels in most areas of the DPS.''
In assessing trends, we cited similar problems with the reliability
of the information based on the short-term nature and gaps in many of
the datasets, and biases due to unknown trapping efficiencies and other
confounding factors. In regard to trends in the southwest Washington
portion of the DPS, we stated in our 2002 withdrawal ``there was no
reliable evidence that the adult population in the Grays Harbor
tributaries is declining over the long term and some indication that
the adult population may be stable or increasing in at least some
areas'' and concluded by stating ``we no longer conclude that trends of
the adult anadromous portion of the population and outmigrating
juveniles in the southwest Washington portion of the DPS are all
declining markedly as described in the proposed rule (64 FR 16407) .''
(67 FR 44934; July 5, 2002).
We have little new data to assess status and trend of anadromous
cutthroat trout in the Grays Harbor and Willapa Bay portion of the DPS
beyond what we previously assessed. The only new information we have
comes from Anderson (2008, p. 16), who concluded the estimated
anadromous smolt production in Bingham Creek between 2002 and 2004
indicated production of coastal cutthroat trout was relatively stable,
though somewhat cyclical. This data was not analyzed using regression
analysis, and we are not able to determine the significance of this
trend or how well the data fit the trend line. In addition, the time
series of the study is too short to detect a trend with any statistical
confidence. However, this study does show that smolts continue to be
produced from the Bingham Creek system. We have no other information
since the withdrawal notice on adult or juvenile coastal cutthroat
trout in the Grays Harbor watershed, and have no new information from
the Willapa Bay watershed. Our evaluation of this information does not
alter our original conclusions regarding the status and trend of
anadromous cutthroat in these areas.
In our 2002 withdrawal notice, we stated ``[d]ata for the lower
Columbia River are limited and there are significant concerns about the
reliability of the results. There are indications of declines in the
anadromous component of the adult portion of the population in the
Columbia River, though the rate of the decline is uncertain due to
concerns
[[Page 8628]]
over the reliability of the analyses and potential biases in the data
sets. While the number of anadromous coastal cutthroat trout have
likely declined in the Columbia River, we do not have sufficient data
to determine a reliable rate of recent decline and, therefore, no
longer conclude that returns of anadromous cutthroat trout in almost
all lower Columbia River streams have declined markedly over the last
10 to 15 years as described in the proposed rule (64 FR 16407; April 5,
1999). Based on these data, we do not find that the population trends
indicate that coastal cutthroat trout are likely to be extirpated from
any significant portion of their range in the foreseeable future.'' (67
FR 44934; July 5, 2002). Our evaluation of what new information there
is does not alter our previous conclusion regarding the status and
trend of anadromous cutthroat in this area, as described above.
We have little new data to assess status and trend of anadromous
cutthroat trout in the Columbia River portion of the DPS. The
production of cutthroat trout smolts from Abernathy and Germany creeks
shows a slightly declining trend, with an increasing trend in Mill
Creek, for the years 2001-2007 (WDFW 2009, p. 2). The number of
returning natural-origin anadromous cutthroat trout to the Cowlitz
River Hatchery has averaged 107 over the last 7 years, and the trend is
positive (WDFW 2009, p. 2). Survival rates of hatchery-origin
anadromous cutthroat trout to the Cowlitz River Hatchery have been
consistent in recent years, averaging 4.2 percent 1.6
percent for the years 1998-2003 and 2005-2006; this range overlaps the
hatchery's goal of achieving an average 4.71 percent smolt-to-adult
survival (WDFW 2005, as cited in Anderson 2008, p. 13). No information
is available to assess population size of anadromous cutthroat trout in
the Columbia River, although several new studies cited above in the
Background section document the continued expression of anadromy by
cutthroat trout from tributaries of the Columbia River.
Thus, while the best available scientific and commercial
information do not allow us to determine overall status and trend for
anadromous coastal cutthroat trout in the DPS, the limited information
above documents the continued persistence of the anadromous life-
history form and suggests trends in streams that are monitored for
coastal cutthroat trout are variable. Although not reflective of a
trend in anadromous population size, new information on emigration of
cutthroat juveniles from lower Columbia River tributaries in both
Oregon and Washington indicates tributaries that are monitored for
cutthroat trout are still delivering anadromous smolts to the estuary
and that adults are returning at rates that are similar to those of
healthy salmon and steelhead populations (ODFW 2008, pp. 6-11; WDFW
2009, p. 2; Johnson et al. 2008, pp. 16-20; Bradford 1995, p. 1332;
Beckman et al. 1999, p. 1130). Although we acknowledge the anadromous
life-history form in the DPS is likely at lower levels than it may have
been in the past, our current assessment reaffirms the conclusions
drawn in our 2002 withdrawal notice (64 FR 16407; April 5, 1999),
regarding the unreliability of much of the available data for assessing
population status and trend. We do not have evidence that anadromous
coastal cutthroat trout are experiencing severe declines, or that the
life-history form is likely to be in danger of extinction now or within
the foreseeable future.
Significant Portion of the Range
As defined under the Act, an endangered species is any species
which is in danger of extinction throughout all or a significant
portion of its range (hereafter SPR), and a threatened species is any
species likely to become endangered within the foreseeable future
throughout all or a significant portion of its range. Due to a number
of legal challenges surrounding the meaning of the SPR phrase, on March
16, 2007, the Solicitor of the Department of the Interior issued a
formal opinion, ``The Meaning of `In Danger of Extinction Throughout
All or a Significant Portion of Its Range''' (U.S. DOI 2007). In the
opinion, the Solicitor concluded:
(1) The SPR phrase is a substantive standard for determining
whether a species is an endangered species--whenever the Secretary
concludes because of the statutory five factor analysis that a species
is ``in danger of extinction throughout ... a significant portion of
its range,'' it is to be listed and the protections of the Act applied
to the species in that portion of its range where it is specified as an
``endangered species'';
(2) The word ``range'' in the SPR phrase refers to the range in
which a species currently exists, not to the historical range of the
species where it once existed;
(3) The Secretary has broad discretion in defining what portion of
a range is ``significant,'' and may consider factors other than simply
the size of the range portion in defining what is ``significant''; and
(4) The Secretary's discretion in defining ``significant'' is not
unlimited; he/she may not, for example, define ``significant'' to
require that a species is endangered only if the threats faced by a
species in a portion of its range are so severe as to threaten the
viability of the species as a whole.
The Service has defined an SPR as a portion of the range of the
listed entity (whether a full species, subspecies, or DPS of a
vertebrate) that contributes meaningfully to the conservation of that
entity. We consider the significance of an SPR to be based on its
contribution to the conservation (resiliency, redundancy, and
representation) of the listable entity being considered. Resiliency of
a species allows for recovery from periodic disturbance, such as
ensuring that large populations persist in areas of high-quality
habitat. Redundancy of populations provides for the spread of risk
among populations through distribution, such that the species is
capable of withstanding catastrophic events. Representation ensures
that the species' adaptive capabilities are conserved, such as through
genetic variability or the conservation of unique morphological,
physiological, or behavioral characteristics.
Section 4 of the Act and its implementing regulations (50 CFR part
424) set forth the procedures for listing species, reclassifying
species, or removing species from listed status. ``Species'' is defined
by the Act as including any species or subspecies of fish or wildlife
or plants, and any distinct population segment (DPS) of vertebrate fish
or wildlife that interbreeds when mature (16 U.S.C. 1532(16)). The
first step in considering a listing action is to determine the listable
entity, whether it is a species, subspecies, or DPS. It is important to
note that a significant portion of the range is not a ``species,''
i.e., it is not a listable entity as defined in the Act; rather it is
the portion of a range of a listable entity where we may determine that
species to be threatened or endangered. Upon a determination that a
species is not endangered or threatened throughout all its range, we
then examine whether there are any significant portions of the range
where the species is threatened or endangered.
The range of a species can theoretically be divided into portions
in an infinite number of ways. However, to meet the intended purpose of
the Act, there is no point in analyzing portions of a species' range
that are not reasonably likely to be significant and threatened or
endangered. To identify only those portions that warrant further
[[Page 8629]]
consideration under the Act, we must determine whether there is
substantial information indicating that (i) the portions are
significant and (ii) the species is in danger of extinction there or is
likely to become so within the foreseeable future. To be considered a
significant portion of the range that may warrant the protections of
the Act, both questions must be answered in the affirmative; the order
in which they are answered is not of consequence, and both are equally
valid approaches to determining a significant portion of the range that
may warrant the protections of the Act.
In practice, a key part of our analysis is whether the threats are
geographically concentrated in some way. If the threats to the species
are essentially uniform throughout its range, and are not concentrated
in some portion such that the species may be in danger of extinction
there or likely to become so within the foreseeable future, no portion
is likely to warrant further consideration. Alternatively, if any
concentration of threats applies only to portions of the range that do
not contribute meaningfully to the conservation of the species, such
portions will not warrant further consideration. In cases where we do
not identify any portions that warrant further consideration for either
reason, we document that conclusion and no further analysis is
conducted beyond our analysis of whether a species is threatened or
endangered throughout its entire range.
Depending on the biology of the species, its range, and the threats
it faces, it may be more efficient to address the contribution to
conservation question first or the status question first. The first
alternative relies on an assessment of significance based on a
portion's contribution to the conservation (resiliency, redundancy,
representation) of the listable entity. If a portion of the range is
identified that is considered as making a meaningful contribution to
the conservation of the species, a five-factor threats assessment is
then conducted to determine if the species is threatened or endangered
in that portion. If we determine that a portion of the range does not
make a meaningful contribution to the conservation of the species, we
need not continue with our analysis to determine whether the species is
threatened or endangered there.
The second alternative is to first conduct a five-factor threats
assessment on the portion under consideration to determine whether the
species is threatened or endangered in this geographic area. If we
determine that the species is not threatened or endangered in that
portion of its range, we need not determine if that portion makes a
meaningful contribution to the conservation of the species. If,
however, we determine that the portion of the range under consideration
does make a meaningful contribution to the conservation of the species
and the species is threatened or endangered in that portion, we would
then propose to add that species to the appropriate list and specify
that significant portion of the range as threatened or endangered, as
provided under section 4(c)(1) of the Act.
In this case, the Court, based on information presented in the 2002
withdrawal of the proposed rule, has directed us to assess whether the
marine and estuarine areas of the Southwestern Washington/Columbia
River DPS represent a significant portion of the coastal cutthroat's
range. The portion of the species' range to be considered as a
potential SPR has, therefore, already been defined for the Service. In
order to address the Court's remand, we have elected to conduct a five-
factor threats assessment on the portion under consideration, the
marine and estuarine areas of the DPS, to determine whether the coastal
cutthroat trout is threatened or endangered in this geographic area.
According to the process described above, if we determine through
our five-factor threats assessment that coastal cutthroat trout are not
threatened or endangered in the marine and estuarine areas of the DPS,
the question of whether that portion may make a meaningful contribution
to the conservation of the species would not warrant further
consideration. If, on the other hand, we determine that co