Endangered and Threatened Wildlife and Plants; Designation of Revised Critical Habitat for Allium munzii (Munz's onion) and Atriplex coronata var. notatior (San Jacinto Valley crownscale), 23008-23057 [2012-8664]
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Federal Register / Vol. 77, No. 74 / Tuesday, April 17, 2012 / Proposed Rules
Fish and Wildlife Service
50 CFR Part 17
[Docket No. FWS–R8–ES–2012–0008;
4500030114]
RIN 1018–AX42
Endangered and Threatened Wildlife
and Plants; Designation of Revised
Critical Habitat for Allium munzii
(Munz’s onion) and Atriplex coronata
var. notatior (San Jacinto Valley
crownscale)
Fish and Wildlife Service,
Interior.
ACTION: Proposed rule.
AGENCY:
We, the U.S. Fish and
Wildlife Service (Service), propose to
revise critical habitat for Allium munzii
(Munz’s onion) and for Atriplex
coronata var. notatior (San Jacinto
Valley crownscale) under the
Endangered Species Act of 1973, as
amended (Act). In total, approximately
889 acres (360 hectares) are being
proposed for designation as critical
habitat for A. munzii and approximately
8,020 acres (3,246 hectares) for A. c. var.
notatior. All of the proposed revised
critical habitat is located in Riverside
County, California.
DATES: We will accept comments
received or postmarked on or before
June 18, 2012. Comments submitted
electronically using the Federal
eRulemaking Portal (see ADDRESSES
section, below) must be received by
11:59 p.m. Eastern Time on the closing
date. We must receive requests for
public hearings, in writing, at the
address shown in FOR FURTHER
INFORMATION CONTACT by June 1, 2012.
ADDRESSES: You may submit comments
by one of the following methods:
(1) Electronically: Go to the Federal
eRulemaking Portal: https://www.
regulations.gov. In the Search box, enter
Docket No. FWS–R8–2012–0008, which
is the docket number for this
rulemaking.
(2) By hard copy: Submit by U.S. mail
or hand-delivery to: Public Comments
Processing, Attn: FWS–R8–2012–0008;
Division of Policy and Directives
Management; U.S. Fish and Wildlife
Service; 4401 N. Fairfax Drive, MS
2042–PDM; Arlington, VA 22203.
We request that you send comments
only by the methods described above.
We will post all comments on https://
www.regulations.gov. This generally
means that we will post any personal
information you provide us (see the
Public Comments section below for
more information).
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SUMMARY:
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Jim
Bartel, Field Supervisor, U.S. Fish and
Wildlife Service, Carlsbad Fish and
Wildlife Office, 6010 Hidden Valley
Road, Suite 101, Carlsbad, CA 92011;
telephone 760–431–9440; facsimile
760–431–5901. If you use a
telecommunications device for the deaf
(TDD), call the Federal Information
Relay Service (FIRS) at 800–877–8339.
SUPPLEMENTARY INFORMATION:
FOR FURTHER INFORMATION CONTACT:
DEPARTMENT OF THE INTERIOR
Executive Summary
Why we need to publish a rule. This
is a proposed rule to revise the
designations of critical habitat for two
endangered plant taxa, Munz’s onion
(Allium munzii) and San Jacinto Valley
crownscale (Atriplex coronata var.
notatior). Under the Endangered Species
Act, any species that is determined to be
threatened or endangered shall, to the
maximum extent prudent and
determinable, have habitat designated
that is considered to be critical habitat.
Designations and revisions of critical
habitat can only be completed by
issuing a rule.
Critical habitat was designated for
Munz’s onion and San Jacinto Valley
crownscale in 2005. We agreed to
reconsider the critical habitat
designations in a settlement agreement
in response to a complaint filed in
court, and are submitting a proposed
revised critical habitat designation for
both plants.
We are proposing changes to the
designation of critical habitat for Munz’s
onion and San Jacinto Valley
crownscale.
• Our previous final critical habitat
designation for Munz’s onion in 2005
identified 176 acres (71 hectares) of U.S.
Forest Service lands as critical habitat
after excluding 1,068 acres (432
hectares) based upon Endangered
Species Act exclusions. This proposed
revised designation for Munz’s onion
includes five units in Riverside County,
California, totaling 889 acres (360
hectares). We are considering excluding
790 acres (320 hectares) of lands from
designation based on partnerships
created with the establishment of
permitted Habitat Conservation Plans or
other Management Plans.
• No critical habitat was designated
in the previous 2005 final designation
for San Jacinto Valley crownscale after
15,232 acres (6,164 hectares) were
excluded. This proposed revised
designation for San Jacinto Valley
crownscale includes three units in
Riverside County, California, totaling
8,020 acres (3,246 hectares). We are
considering excluding all 8,020 acres
(3,246 hectares) of lands from critical
habitat designation based on
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partnerships created with the
establishment of a permitted Habitat
Conservation Plan.
The basis for our action. Under the
Endangered Species Act, any species
that is determined to be threatened or
endangered shall, to the maximum
extent prudent and determinable, have
habitat designated that is considered to
be critical habitat. Section 4(b)(2) of the
Endangered Species Act states that the
Secretary shall designate and make
revisions to critical habitat on the basis
of the best available scientific data after
taking into consideration the economic
impact, national security impact, and
any other relevant impact of specifying
any particular area as critical habitat.
The Secretary may exclude an area from
critical habitat if he determines that the
benefits of such exclusion outweigh the
benefits of specifying such area as part
of the critical habitat, unless he
determines, based on the best scientific
data available, that the failure to
designate such area as critical habitat
will result in the extinction of the
species.
We are preparing an economic
analysis of the proposed revised
designations of critical habitat. In order
to consider economic impacts, we are
preparing a new analysis of the
economic impacts of the proposed
revised critical habitat designations and
related factors. We will announce the
availability of the draft economic
analysis as soon as it is completed, at
which time we will seek additional
public review and comment.
We will seek peer review. We are
seeking the expert opinions of
appropriate and independent specialists
regarding this proposed rule to ensure
that our critical habitat designations are
based on scientifically sound data,
assumptions, and analyses. We have
invited these peer reviewers to comment
during the proposed rule’s public
comment period on our specific
assumptions and conclusions in this
proposed rule to revise the designations
of critical habitat. We will consider all
comments and information received
during the comment period in our
preparation of the final determinations.
Accordingly, the final decisions may
differ from this proposal.
Public Comments
We intend that any final action
resulting from this proposed rule will be
based on the best scientific and
commercial data available and be as
accurate and as effective as possible.
Therefore, we request comments or
information from other concerned
government agencies, the scientific
community, industry, or any other
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Federal Register / Vol. 77, No. 74 / Tuesday, April 17, 2012 / Proposed Rules
interested party concerning this
proposed rule. We particularly seek
comments concerning:
(1) The reasons why we should or
should not designate habitat as ‘‘critical
habitat’’ under section 4 of the Act (16
U.S.C. 1531 et seq.), including whether
there are threats to the taxon (a group
of individuals recognized as a formal
unit at any taxonomic rank (for
example, a family, genus, species,
subspecies, or variety; Allium munzii is
a species, Atriplex coronata var.
notatior is a variety) from human
activity, which can be expected to
increase due to the designation, and
whether that increase in threat
outweighs the benefit of designation
such that the designation of critical
habitat may not be prudent.
(2) Specific information on:
(a) The amount and distribution of
Allium munzii and Atriplex coronata
var. notatior habitat,
(b) Which areas within the
geographical area occupied at the time
of listing contain the physical or
biological features essential to the
conservation of the taxa and should be
included in the designation and why,
(c) Special management
considerations or protection of essential
physical or biological features that may
be needed in critical habitat areas we
are proposing, including managing for
the potential effects of climate change,
and
(d) Which areas outside the
geographical area occupied at the time
of listing are essential for the
conservation of the taxa and why.
(3) Land use designations and current
or planned activities in the subject areas
and their possible impacts on proposed
critical habitat.
(4) Information on the projected and
reasonably likely impacts of climate
change on Allium munzii and Atriplex
coronata var. notatior and proposed
critical habitat.
(5) Comments or information that may
assist us in identifying or clarifying the
primary constituent elements (PCEs) for
the two taxa.
(6) How the proposed revised critical
habitat boundaries could be refined to
more accurately circumscribe the areas
meeting the definition of critical habitat.
(7) Any probable economic, national
security, or other relevant impacts of
designating any area that may be
included in the final designation; in
particular, any impacts on small
entities, families, or tribes, and the
benefits of including or excluding areas
that exhibit these impacts.
(8) Which specific lands covered by
the Western Riverside County Multiple
Species Habitat Conservation Plan
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(Western Riverside County MSHCP) or
other permitted HCPs and proposed for
designation as critical habitat should be
considered for exclusion under section
4(b)(2) of the Act and for those specific
areas, how benefits of exclusion from
the critical habitat designation would
outweigh the benefits of inclusion in the
designation. We are currently
considering to exclude, under section
4(b)(2) of the Act, all lands covered by
the Western Riverside County MSHCP
or other permitted HCPs and
Cooperative Agreements described in
this proposed rule (see Exclusions
Based on Other Relevant Impacts
section below).
(9) Whether we could improve or
modify our approach to designating
critical habitat in any way to provide for
greater public participation and
understanding, or to better
accommodate public concerns and
comments.
You may submit your comments and
materials concerning this proposed rule
by one of the methods listed in the
ADDRESSES section. We request that you
send comments only by the methods
described in the ADDRESSES section.
We will post your entire comment—
including your personal identifying
information—on https://www.
regulations.gov. You may request at the
top of your document that we withhold
personal information such as your street
address, phone number, or email
address from public review; however,
we cannot guarantee that we will be
able to do so.
Comments and materials we receive,
as well as supporting documentation we
used in preparing this proposed rule,
will be available for public inspection
on https://www.regulations.gov, or by
appointment, during normal business
hours, at the U.S. Fish and Wildlife
Service, Carlsbad Fish and Wildlife
Office (see FOR FURTHER INFORMATION
CONTACT).
Background
This is a proposed rule to revise the
designations of critical habitat for two
plant taxa, Allium munzii and Atriplex
coronata var. notatior. The document is
structured to address the taxa separately
under each of the sectional headings
that follow.
Allium munzii
It is our intent to discuss only those
topics directly relevant to the proposed
revised designation of critical habitat for
Allium munzii in this section of this
proposed rule. For more information on
A. munzii, please refer to the proposed
listing rule published in the Federal
Register on December 15, 1994 (59 FR
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23009
64812), and the final listing rule
published in the Federal Register on
October 13, 1998 (63 FR 54975).
Additional information on the biology
of the species may be found in the first
rule proposing critical habitat published
in the Federal Register on June 4, 2004
(69 FR 31569), the subsequent final
critical habitat rule published in the
Federal Register on June 7, 2005 (70 FR
33015), and the 5-year review for A.
munzii signed on June 17, 2009. These
documents are available on our Web site
at https://www.fws.gov/carlsbad/or
https://www.fws.gov/endangered/under
Allium munzii or Munz’s onion.
When we listed Allium munzii as
endangered in 1998, the genus Allium
was included in the large broadly
defined family Liliaceae (lily family).
The genus Allium is now segregated in
the family Alliaceae (onion family), and
is recognized as such in the recent
revision of the Jepson Manual of
Vascular Plants of California (McNeal
2012, pp. 1289–1292). Upon review of
available systematic and floristic
literature and consultation with species
experts, we are amending part 17,
subchapter B of chapter I, title 50 of the
Code of Federal Regulations to reflect
the transfer of Allium, including A.
munzii, from Liliaceae to Alliaceae. This
transfer does not alter the description,
distribution, or listing status of A.
munzii.
Description
Allium munzii belongs to the A.
fimbriatum complex, a group of seven
species found primarily in California
(McNeal 1992, p. 413). Allium munzii is
a bulb-forming perennial herb that
annually produces a single cylindrical
leaf prior to flowering and, depending
on rainfall and age of the plant, a
scapose inflorescence (a leafless flower
stalk that grows directly from the
ground) 0.5 to 1.2 feet (ft) (15 to 35
centimeters (cm)) tall. The inflorescence
is umbellate (each individual flower
stalk radiates from the same point of
attachment), and consists of 10 to 35
flowers. Each flower has six white or
white with red midvein perianth
segments (outer part of flower), 0.2 to
0.3 inch (in) (6 to 8 millimeters (mm))
long, which become red with age. The
ovary is crested with fine, irregularly
dentate processes and the fruit is a
three-lobed capsule (McNeal 1992, p.
413).
Biology and Life History
Native Allium taxa typically require 3
to 5 years after seeds germinate for
plants to reach maturity and produce
flowers (Schmidt 1980, p. 164). Allium
plants are adapted to survive
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unfavorable seasons underground, as are
all bulb-forming and corm-forming
¨
plants (geophytes) (Putz 1992, p. 1433).
Seedlings achieve the appropriate depth
in the soil by the action of specialized
roots that pull the young plants down
¨
through the soil (Putz 1992, p. 1433).
Allium munzii plants are dormant from
mid-summer through autumn. The
flowering period varies from year to
year, but is generally between March
and May (California Native Plant
Society (CNPS) 2001, p. 67). After
flowering and seed dispersal, the
aboveground portions of A. munzii
plants die back to the bulb. Following
seed germination, at least 3 years are
required for these bulb-forming plants to
produce flowers (Wall 2012, pers.
comm.).
Allium munzii is adapted to seasonal
(summer and fall) drought and variable
annual rainfall. McNeal (1992, p. 413)
observed that flowering in the A.
fimbriatum complex appears to be
correlated with rains in the late fall and
early winter. As a result, A. munzii may
occur in various states during a given
growing season, including: (1) As
dormant underground bulbs, (2) as
seedlings and other pre-reproductive
plants that only produce one leaf, (3) as
adults with only one leaf that do not
produce an inflorescence that year, (4)
as adults that produce one leaf and an
inflorescence, and (5) as seeds in a soil
seedbank. When rainfall is heavier, most
plants flower successfully (McNeal
1992, p. 413); A. munzii often does not
flower in very dry years (Boyd 1988, p.
3), though most plants will sprout
leaves and sometimes produce flower
buds. In addition to sexual reproduction
through seed production, A. munzii
plants can reproduce asexually through
vegetative division of the bulbs
(Ellstrand 1993, p. 5; Ellstrand 1999, p.
1). We have no definitive information
regarding pollinators of A. munzii, but
it is likely that a number of insect
species serve this function (Boyd 2007,
pers. comm.). Small beetles of the
family Anthicidae (ant-like flower
beetles) were found on about one-third
of the A. munzii inflorescences of a
population in Temescal Canyon (The
Environmental Trust 2002, p. 16);
however, their role as pollinators was
not confirmed.
Habitat and Soil Preferences
Allium munzii is a narrow endemic
plant discontinuously distributed along
the southern edge of the greater
Riverside-Perris area (Perris Basin) in
western Riverside County, between the
elevations of 1,200 to 2,700 ft (366 to
823 meters (m)) above mean sea level
(AMSL), from Temescal Canyon
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southeast to the foothills of the San
Jacinto Mountains (Boyd 1988, p. 2;
Roberts et al. 2004, pp. 10, 130). Climate
in this area is characterized by cool,
moist winters and hot, dry summers
(Boyd 1988, p. 4). Allium munzii is
found on level or slightly sloping areas
or on terrace escarpments (California
Natural Diversity Database (CNDDB)
2011a) and is strongly associated with
mesic (wet) clay soils in western
Riverside County (Boyd 1988, pp. 2, 4).
Allium munzii occupy microhabitat
sites created by the complex geology of
the Perris Basin; these sites receive or
retain more moisture than nearby or
surrounding sites due to exposure, slope
characteristics, hydrological
characteristics, or topographic features
(see, for example, the topography and
geology discussion in Boyd (1983, pp.
10, 13–14, 18)).
Many of the clay soil types where
Allium munzii occurs typically support
open native or nonnative grasslands.
Specific designations include southern
needlegrass grassland, mixed grassland,
open coastal sage scrub or Riversidean
sage scrub, or occasionally cismontane
juniper woodlands (CNPS 2001, p. 67).
The species is also considered a
component of a ‘‘clay soil flora’’ that
includes perennial herbs and a variety
of annuals (Boyd 1988, p. 4). Plants are
most frequently found in areas that are
minimally disturbed and in areas where
there is little competition and
overcrowding from nonnative plants. In
contrast, areas that consistently
experience ground disturbance activities
(such as disking for dryland farming) or
are heavily infested with invasive,
nonnative plants (particularly annual
grasses) generally result in a decline in
habitat quality and therefore declining
A. munzii populations (Roberts 1998,
pers. comm.; CNDDB 2011a).
Known soil associations with Allium
munzii include, but are not limited to:
Altamont, Auld, Bosanko, and
Porterville clays of sedimentary origin.
These clay soils are scattered in a band
several miles wide and extend south of
Corona, California, through Temescal
Canyon and along the Elsinore Fault
zone to the southwestern foothills of the
San Jacinto Mountains (Boyd 1988, p.
2). Some of these soils are small pockets
of clay soil (for example Gavilan Hills)
and are not identified on coarse-scale
soil maps (Boyd 2011a, pers. comm.).
Wet clay soils facilitate the formation of
soil channels for movement of young
¨
bulbs (Putz 1992, p. 1433), which is
necessary for establishment and
persistence of A. munzii plants. Allium
munzii is also found in rocky-sandy
loam soil within rocky outcrops (such as
North Domenigoni Hills) (CNDDB
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2011a, Element Occurrence (EO) 10).
These soils may be of sedimentary or
igneous origin with a clay subsoil (such
as Cajalco, Las Posas, or Vallecitos)
(Knecht 1971, pp. 2–3, 21, 42, 62–64).
Spatial Distribution, Historical Range,
and Population Size
As noted above, Allium munzii is a
narrow endemic species with a
naturally discontinuous distribution in
western Riverside County (Boyd 1988,
p. 2; Roberts et al. 2004, pp. 10, 130).
Its historical distribution may have been
within clay soils scattered throughout
the entire Perris basin in western
Riverside County, which exhibits a
complex physical geography
characterized by several distinct
geologic events and subsequent
erosional processes that have produced
numerous soil or sediment types on the
remaining land forms (Dudley 1936, pp.
358–360, 376). Allium munzii shares its
range and habitat with a portion of the
range of the similar-appearing A.
haematochiton (red-skinned onion). The
two species can occur within several
feet of each other, but they do not
interbreed (CDFG 1989, p. 2).
In general, the distribution of plant
taxa may be determined from a variety
of sources including preserved
herbarium specimens, survey reports,
and various databases. Survey records
typically contain information describing
locations and numbers of plants, which
can be called localities or groups of
individual plants (up to several
thousand in one location or only a few
plants), or can be described as the actual
number of individual plants. The
precision of the location of survey sites
varies from general area descriptions to
road perimeters to more recent Global
Positioning System (GPS) technology.
The CNDDB, maintained by the
California Department of Fish and Game
(CDFG), is an ongoing effort to include
herbarium records and survey reports
for separate Element Occurrences (EOs)
of all of the taxa tracked by the database.
To constitute a separate EO, the site
must be at least one-quarter mile from
any other such site. Sequential surveys
are accumulated in the EO report for the
site. Because contribution to the
database is not mandatory, some
herbarium specimens and survey
reports are not yet included in the
database. In this proposed rule, our use
of the term occurrence, often in relation
to a critical habitat unit, may indicate an
area that includes one or more point
localities and EOs.
Although 6 of the 18 CNDDB-defined
EOs have been detected since listing,
the species’ geographic range (greater
Perris Basin) has remained essentially
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the same since listing. We identified 13
populations of Allium munzii in our
listing rule (63 FR 54975; October 13,
1998) that were primarily based on sites
identified as CNDDB EOs and cited in
the rule (EOs 2, 3, 5, 7–16). Since then,
six new EOs have been included in the
CNDDB database (CNDDB 2011a, EOs
17, 18, 20, 21, 22, and 23), and during
our 2009 5-year review, we located
another record (1994) that was unknown
at the time of listing and that is not yet
described in the CNDDB database
(Service 2009, p. 38; proposed EO 24).
At the time of our 2009 5-year review,
we assessed the status of six EOs as
follows: two CNDDB-defined EOs (EOs
1 and 8) are likely extirpated (locally
extinct), three (EOs 20, 21, and 22) are
vague locations or historical and of
currently unknown condition, and one
(EO 19) was likely based on a
misidentified specimen and deleted by
CNDDB (Service 2009, p. 9). In addition,
the CNDDB has now combined EO 8
with EO 3 (CNDDB 2011a, EO3). We
therefore concluded in our 5-year
review that there were 18 extant (still in
existence) EOs (EOs 2–7, 9–18, 23, and
proposed EO 24) for A. munzii, all
essentially within the same geographic
range known at the time of listing.
Because of the species’ habitat
requirements, we do not anticipate this
geographic range will change
significantly in the future, even if
additional locations of plants are
discovered.
The number of individual plants of
Allium munzii detected in any one area
differs from year to year and is not an
accurate reflection of the actual number
of individuals present. This is primarily
due to the variety of life-history phases
represented in a given area (see
description in the Biology and Life
History section above). Some surveyors
may only sample flowering individuals
while others may be able to sample
plants with only the vegetative single
leaf present. Because of the difficulties
of obtaining reliable survey results and
the fact that the number of standing
individuals is dependent upon adequate
rainfall, any estimation of individuals at
a given location may vary by several
orders of magnitude in any given year.
In the 1998 final listing rule we
estimated that there were 20,000 to
70,000 individuals of Allium munzii (63
FR 54975; October 13, 1998). The largest
recorded location of plants was at
Harford Springs County Park and
adjacent private lands (EO 2), with over
50,000 individuals observed in 1995
(Ellstrand 1996, p. 4). In our 5-year
review, we found that, prior to listing,
10 CNDDB-defined EOs have supported
1,000 or more individuals in at least one
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year (Service 2009, Appendix 1, p. 33),
while others support fewer individual
plants (i.e., 500 or fewer plants).
Atriplex coronata var. notatior
It is our intent to discuss only those
topics directly relevant to the proposed
revised designation of critical habitat for
Atriplex coronata var. notatior in this
section of this proposed rule. For more
information on A. c. var. notatior, please
refer to the proposed listing rule
published in the Federal Register on
December 15, 1994 (59 FR 64812) and
the final listing rule published in the
Federal Register on October 13, 1998
(63 FR 54975). Additional information
on the biology of this taxon may be
found in the rule proposing critical
habitat published in the Federal
Register on October 6, 2004 (69 FR
59844), the subsequent final critical
habitat designation published in the
Federal Register on October 13, 2005
(70 FR 59952), and the 5-year review for
A. coronata var. notatior signed on
March 31, 2008. These documents are
available on our Web site at https://
www.fws.gov/carlsbad/ or
https://www.fws.gov/endangered/ under
Atriplex coronata var. notatior or San
Jacinto Valley crownscale.
Description
Atriplex coronata var. notatior is a
bushy, erect, annual plant that has
unisexual flowers on each plant. It is a
member of the Chenopodiaceae
(goosefoot family) (Munz 1974, p. 351).
Plants are from 4 to 12 in (10 to 30.5 cm)
high and generally appear gray and
scaly during the growing season,
becoming glabrous and straw-colored as
they mature (Taylor and Wilken 1993, p.
501). The grayish leaves are sessile
(stalkless and attached directly at the
base), alternate, 0.3 to 0.8 in (8 to 20
mm) long, and elliptic to ovatetriangular in outline. The flowers occur
in mixed clusters (Munz 1974, p. 353;
Taylor and Wilken 1993, p. 501). The
female flowers are obscure and develop
spherical bracts in the fruiting phase.
These bracts have dense tubercles
(projections) that are roughly equal in
number to the marginal teeth on the
bracts (Munz 1974, p. 353; Taylor and
Wilken 1993, p. 501). Atriplex coronata
var. notatior can be distinguished from
the more northern A. c. var. coronata by
its erect stature, the spherical shape of
the bracts together in fruiting stage, and
the more numerous tubercles and
marginal teeth on the bracts. The ranges
of the two taxa do not overlap. Atriplex
coronata var. notatior may co-occur
with one or more of six native and one
introduced Atriplex taxa within its
range (Bramlet 1993b, p. 7–8) and can
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be distinguished from these taxa by a
combination of characteristics,
including life history, shape of the leaf,
and size and form of the bract (Munz
1974, pp. 354–355; Taylor and Wilken
1993, p. 501).
Biology and Life History
The persistence of Atriplex coronata
var. notatior depends upon a hydrologic
regime that includes seasonal and
sporadic ponding or flooding in
combination with slow drainage in
alkaline soils and habitats. The duration
and extent of ponding or flooding can be
extremely variable from one year to the
next depending on rainfall and local
runoff conditions. Seasonal flooding is a
necessary environmental process for A.
c. var. notatior because it precludes
invasion from upland plant species,
restores disturbed alkali habitats, and
helps to disperse seed. These elements
form a dynamic physical and biological
matrix that allows A. c. var. notatior to
colonize favorable sites and retreat from
less favorable sites in response to
disturbance and variations in annual
rainfall.
Atriplex coronata var. notatior is
reported to be a prolific seed producer
(Ogden Environmental and Energy
Services Corporation (OEESC) 1993, p.
27). Seed viability is believed to be at
least 5 years (Bramlet 2004, pers.
comm.). The number of viable seeds lost
to seed predators or through dispersal to
unsuitable habitats is unknown.
Atriplex coronata var. notatior produces
fruits capable of floating that may be
dispersed during seasonal flooding
(Sanders 2004, pers. comm.),
specifically by slow-moving water flows
during winter and spring rainfall events.
Seeds generally germinate in the spring
as flows recede, flower in April and
May, and set fruit by May or June
(Bramlet 1992, pers. comm.). The
flowering period may extend to August
in years when the water recedes late in
the spring season (Munz 1974, p. 355;
CNPS 2001, p. 93). The number of A. c.
var. notatior plants in a population
varies in response to rainfall, extent of
winter flooding, and temperature
(Roberts 1993, p. 3). These factors also
influence the distribution of plants from
one year to the next (Bramlet 1996, p.
3). Hydrology, flooding, and
precipitation all play a role in the
germination, flowering, fruiting, and
seed dispersal of A. c. var. notatior.
Habitat and Soil Preferences
Atriplex coronata var. notatior is
reliant on fixed landscape features that
include: (1) Appropriate hydrology that
allows for flooding and moist soil
conditions during the winter and spring
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months, and (2) alkali soils that drain
slowly following the winter and spring
rains. The ponding of water (but not
prolonged inundation) that A. c. var.
notatior needs for growth and
reproduction requires these hydrologic
conditions and underlying soils.
Atriplex coronata var. notatior is
found in alkali sink habitat, including
alkali grassland and scrub (Bramlet
1996, p. 10). This includes the San
Jacinto River and Mystic Lake
floodplains, which represent dominant
features of the dynamic San Jacinto
River Watershed (Tetra Tech and
WRIME 2007, p. 26), and smaller
floodplains where the taxon resides
such as Upper Salt Creek and Alberhill
Creek. The San Jacinto River system is
ephemeral, characterized by low flows
except during and following rain events,
whereas flow in the headwater
tributaries of the watershed is perennial
(Tetra Tech and WRIME 2007, p. 26).
Mystic Lake is a natural sink in the San
Jacinto Valley; runoff flows into the lake
from the valley and, during large flow
events, from the upper San Jacinto River
(Tetra Tech and WRIME 2007, p. 28).
The floodplain of the San Jacinto River
occupied by A. c. var. notatior contains
native vegetative communities
including alkali sage scrub and
Riversidean sage scrub.
The Upper Salt Creek locations of
Atriplex coronata var. notatior are
contained in a natural depression of the
old Salt Creek tributary within the Salt
Creek watershed. Habitats occupied by
A. c. var. notatior in this floodplain
include alkaline vernal pools, alkaline
grassland, and alkali sink scrub habitats
(Regional Environmental Consultants
(RECON) 1995 pp. 15, 17; CNDDB
2011b). Major flood control channels,
local roads and road ditches, and
agricultural drainage ditches currently
disrupt historical drainage patterns in
Upper Salt Creek, reducing the degree
and duration of ponding during the wet
season (RECON 1995, p. 18).
Atriplex coronata var. notatior has
also been observed in the floodplain of
Alberhill Creek, which is a part of the
larger Temescal Wash region of western
Riverside County. This area drains the
Gavilan Hills region and the
northeastern slope of the Santa Ana
Mountains (Boyd 1983, p. 13). The
floodplain floods periodically,
including seasonal overflow from Lake
Elsinore; this produces scouring and
ponding in the alkali playa habitat
occupied by A. c. var. notatior.
Within these three floodplains,
Atriplex coronata var. notatior is
restricted to highly alkaline, silty-clay
soils in association with the Willows
soil series and to a lesser extent, the
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Domino, Traver, Waukena, and Chino
soils series (Knecht 1971, p. 23, Bramlet
1993a, p. 4). Atriplex coronata var.
notatior is adapted to grow in slowdraining alkaline-saline clay soils,
which are usually found in floodplains
or areas of seasonal ponding (Mitchell
1990, p. 1; Tierra Madre Consultants
1990, p. 2) with low permeability and
low nutrient availability. In dry periods,
these saline soils exhibit a white
powdery surface (effloresce) of salts on
their surface due to the evaporation of
water (Mitchell 1990, p. 1). Within these
soil types, A. c. var. notatior occupies
seasonal and ephemeral wetlands,
including floodplains and vernal pools
that are seasonally inundated, and
within areas dominated by alkali playas,
alkali scrub, and alkali grassland
(Bramlet 1992, pers. comm.); plants are
generally found at the upper margin or
on mounds within these wetlands
(Bramlet 2004, pers. comm.). These
habitats are dependent upon adjacent
transitional wetlands, marginal
wetlands, and upland areas within the
watershed (59 FR 64821; December 15,
1994).
Spatial Distribution, Historical Range,
and Population Size
At the time of listing, Atriplex
coronata var. notatior was reported to
be limited to the San Jacinto, Perris,
Menifee, and Elsinore Valleys in
western Riverside County. The listing
rule identified 11 groupings of
individual plants associated with the
San Jacinto River and Old Salt Creek
tributary drainages with one additional
small population (185 plants) found to
the southwest near Lake Elsinore
(Alberhill Creek) (63 FR 54976; October
13, 1998). In our 5-year review, using
data from range-wide surveys of the
taxon completed from 1996 to 2001, we
determined that A. c. var. notatior
occupied the same general geographic
range described at the time of its listing
in 1998 (Service 2008, p. 5). Based on
these survey data and the limited
comprehensive surveys conducted since
2001, we currently believe that A. c. var.
notatior continues to occupy the
geographical areas described in our
previous final critical habitat rule as
occurrence complexes (70 FR 59952;
October 13, 2005). These areas are
defined by hydrologic processes (such
as seasonal flooding) and alkali soil
associations and include:
(1) The floodplain of the San Jacinto
River at the San Jacinto Wildlife Area,
including Mystic Lake;
(2) The floodplain of the San Jacinto
River between the Ramona Expressway
and Railroad Canyon Reservoir;
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(3) The Upper Salt Creek Vernal Pool
Complex in the western Hemet area; and
(4) The floodplain of Alberhill Creek
north of Lake Elsinore (CNDDB 2011b).
The alkaline-saline soils associated
with the taxon, primarily the TraverDomino-Willows Association (Knecht
1971, p. 23), form a U-shaped band
around the Lakeview Mountains within
basins and valley floors of the greater
Perris Valley basin (Tierra Madre
Consultants 1990, p. 3) and encompass
the San Jacinto River and Old Salt Creek
drainages.
Atriplex coronata var. notatior is
subject to significant natural
fluctuations in numbers of observed
individuals in any given year, which
varies in response to annual rainfall,
extent and distribution of winter
flooding, and temperature (Roberts
1993, p. 3; Bramlet and White 2004,
Table 2). Differences in survey
methodologies and proportion of range
surveyed may also contribute to
differences in annual counts of
individuals. In addition, a viable seed
bank may exist in the soil at a site for
several years (Bramlet 2004, pers.
comm.) even if plants are removed or
fail to germinate for a season or if the
site is disturbed (OEESC 1993, p. 27).
A status review and threat assessment
for Atriplex coronata var. notatior,
completed in October 1993 (prior to its
listing in 1998), indicated that
approximately 78,000 individuals were
distributed throughout the
‘‘populations’’ defined by the CNDDB
EOs (Roberts 1993, p. 3). At the time of
listing, we estimated about 27,000 A. c.
var. notatior individuals occupied about
145 acres (ac) (59 hectares (ha)) of
habitat (63 FR 54976; October 13, 1998).
We used population and habitat acreage
estimates from Bramlet and White
(2004, Table 2) in our final critical
habitat rule (70 FR 59955; October 13,
2005); however, these were combined
data from the 1990s for the four
geographical areas listed above. In our
2008 5-year review, we indicated a
rangewide population estimate of
106,000 individuals of Atriplex
coronata var. notatior based on
estimates from surveys conducted in the
spring of 2000 (Glenn Lukos Associates,
Inc. 2000, p. 15). Approximately 84,000
of these individuals were found on
236.5 ac (95.7 ha) along the San Jacinto
River between the Ramona Expressway
and the mouth of Railroad Canyon for
a total of 61 localities (Glenn Lukos
Associates, Inc. 2000, p. 16). This study
found that approximately 58,000 of the
estimated 83,741 individual plants (or
69 percent) were located within farmed
or otherwise altered areas impacted by
regular disking and, in some areas, by
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additional soil amendments. This report
also noted that approximately 7,470
individuals were located within the San
Jacinto Wildlife Area to the north
(Glenn Lukos Associates Inc. 2000, p.
15).
Additional recent surveys of locations
or localities (groups of individual
plants) of Atriplex coronata var. notatior
have been completed in portions of the
middle and lower San Jacinto River
floodplain as well as the Mystic Lake
area in 2005, 2008, and 2009 (Rancho
Santa Ana Botanic Garden 2006, 2010;
White 2009, pers. comm.). Individual
numbers of plants ranged from 21 to 220
per site. The Western Riverside Regional
Conservation Agency (RCA) has also
conducted limited surveys in a portion
of the San Jacinto Wildlife Area since
2006 under the Western Riverside
County MSHCP Rare Plant Survey
program, finding fewer than 100
individuals for all 13 surveyed sites
(Malisch, 2010, pers. comm.).
Surveys for sensitive plant species
were also conducted within the Upper
Salt Creek area in 2005 and 2006 for a
proposed highway realignment project
(CH2M Hill 2010). These surveys
documented over 100,000 individual
Atriplex coronata var. notatior plants
within 555 localities in alkali grassland,
alkali playa, and vernal pool habitats
(CH2M Hill 2010, pp. 5–69, Appendix F
(p. 5), and Figure 5.3–11). The largest
number of locations of plants (90
percent) and the largest number of
individual plants (over 100,000 plants)
were all found in one general region of
the Upper Salt Creek area (north of the
San Jacinto Branch Line, south of
Devonshire Avenue, east of California
Avenue, and west of Warren Road)
(CH2M Hill 2010, p. 5–69).
The results of these recent surveys
(2005 through 2009), including some
conducted during a wet year, indicate a
more significant population of plants
within the Upper Salt Creek area than
was previously believed for the Upper
Salt Creek location. These surveys do
not represent a significant change in the
distribution of Atriplex coronata var.
notatior since the plant was listed. They
do provide more precise locations for A.
c. var. notatior within these two
floodplains, and therefore an updated
assessment of the distribution of the
plant within the geographical area
occupied at the time of listing.
Atriplex coronata var. notatior is also
found in the Alberhill Creek area. In
1997, 185 plants were observed on
Willows soils in this floodplain within
wetland habitat along Nichols Road,
near the mouth of Walker Canyon
(CNDDB 2011b, EO16). A survey in
2005 recorded 10 plants south of
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Nichols Road in nonnative grassland
and alkali marsh habitat on Willows
soil, within one-quarter mile (365 m) of
the 1997 location (AMEC Earth and
Environmental Inc., 2006b, p. 29).
Previous Federal Actions—Allium
munzii
Please see the final listing rule for
Allium munzii for a description of
previous Federal actions through
October 13, 1998 (63 FR 54975). At the
time of listing, we concluded that
designation of critical habitat for A.
munzii was not prudent because such
designation would not benefit the
species. On June 4, 2004, we published
a proposed rule to designate 227 ac (92
ha) of critical habitat for A. munzii on
Federal land (Cleveland National Forest)
in western Riverside County, California
(69 FR 31569). On June 7, 2005, we
published a final rule designating 176 ac
(71 ha) of the proposed land as critical
habitat for A. munzii (70 FR 33015).
On March 22, 2006, we announced
the initiation of the 5-year review for
Allium munzii and opening of a 60-day
public comment period to receive
information (71 FR 14538). The A.
munzii 5-year review was signed on
June 17, 2009, and found that no change
was warranted to the endangered status
of A. munzii.
On October 2, 2008, a complaint was
filed against the Department of the
Interior (DOI) and the Service by the
Center for Biological Diversity (CBD v.
Kempthorne, No. 08–CV–01348 (S.D.
Cal.)) challenging our final critical
habitat designation for Allium munzii.
In an order dated March 24, 2009, the
U.S. District Court for the Central
District of California, Eastern Division,
adopted a Stipulated Settlement
Agreement that was entered into by all
parties. The agreement stipulates that
the Service will reconsider critical
habitat designations for both A. munzii
and Atriplex coronata var. notatior, and
shall submit to the Federal Register
proposed revised critical habitat
determinations for both plants by
October 7, 2011. An extension for the
completion of the new proposed
determinations was granted on
September 14, 2011; the new
submission date to the Federal Register
is April 6, 2012. Until the effective date
of the final determinations (to be
submitted to the Federal Register on or
before April 6, 2013), the existing final
critical habitat designations for A.
munzii and A. c. var. notatior remain in
place. We are proposing revised critical
habitat designations for both A. munzii
and A. c. var. notatior in this combined
proposed rule.
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Previous Federal Actions—Atriplex
coronata var. notatior
Please see the final listing rule for
Atriplex coronata var. notatior for a
description of previous Federal actions
through October 13, 1998 (63 FR 54975),
including proposed critical habitat in
1994 (59 FR 64812; December 15, 1994).
At the time of the final listing rule in
1998, the Service withdrew the
proposed critical habitat designation
based on the taxon’s continued decline
and determined that designation of
critical habitat was not prudent,
indicating that no benefit over that
provided by listing would result from
such designation (63 FR 54991; October
13, 1998).
On October 6, 2004, we published a
proposed rule to designate critical
habitat for Atriplex coronata var.
notatior and identified 15,232 ac (6,164
ha) of habitat that met the definition of
critical habitat (69 FR 59844). However,
we concluded in the 2004 proposed rule
under section 4(b)(2) of the Act that the
benefits of excluding lands covered by
the Western Riverside County MSHCP
outweighed the benefits of including
them as critical habitat and no lands
were proposed for designation as critical
habitat in the proposed rule. On October
13, 2005, we published a final critical
habitat determination for A. c. var.
notatior (70 FR 59952); there was no
change from the proposed rule. We
concluded that all 15,232 ac (6,136 ha)
of habitat meeting the definition of
critical habitat were located either
within our estimate of the areas to be
conserved and managed by the
approved Western Riverside County
MSHCP on existing Public/Quasi-Public
Lands, or within areas where the
MSHCP would ensure that future
projects would not adversely alter
essential hydrological processes and
therefore all areas were excluded from
critical habitat under section 4(b)(2) of
the Act.
On March 22, 2006, we announced
the initiation of the 5-year review for
Atriplex coronata var. notatior and the
opening of a 60-day public comment
period to receive information (71 FR
14538). The 5-year review was signed
on March 31, 2008, and found that no
change was warranted to the
endangered status of A. c. var. notatior.
On October 2, 2008, a complaint was
filed against the DOI and the Service by
the Center for Biological Diversity (CBD
v. Kempthorne, No. 08–CV–01348 (S.D.
Cal.)) challenging our final critical
habitat determinations for Allium
munzii and Atriplex coronata var.
notatior (see Previous Federal Actions—
Allium Munzii section above for a
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detailed account of this lawsuit and
settlement agreement). We are
proposing revised critical habitat
designations for both A. munzii and A.
c. var. notatior in this proposed rule.
Critical Habitat
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Background
Critical habitat is defined in section 3
of the Act as:
(1) The specific areas within the
geographical area occupied by the
species, at the time it is listed in
accordance with the Act, on which are
found those physical or biological
features that are
(a) Essential to the conservation of the
species and
(b) Which may require special
management considerations or
protection; and
(2) Specific areas outside the
geographical area occupied by the
species at the time it is listed, upon a
determination that such areas are
essential for the conservation of the
species.
Conservation, as defined under
section 3 of the Act, means to use and
the use of all methods and procedures
necessary to bring an endangered or
threatened species to the point at which
the measures provided pursuant to the
Act are no longer necessary. Such
methods and procedures include, but
are not limited to, all activities
associated with scientific resource
management such as research, census,
law enforcement, habitat acquisition
and maintenance, propagation, live
trapping, and transplantation, and, in
the extraordinary case where population
pressures within a given ecosystem
cannot be otherwise relieved, may
include regulated taking.
Critical habitat receives protection
under section 7 of the Act through the
requirement that Federal agencies
ensure, in consultation with the Service,
that any action they authorize, fund, or
carry out is not likely to result in the
destruction or adverse modification of
critical habitat. The designation of
critical habitat does not affect land
ownership or establish a refuge,
wilderness, reserve, preserve, or other
conservation area. Such designation
does not allow the government or public
to access private lands. Such
designation does not require
implementation of restoration, recovery,
or enhancement measures by nonFederal landowners. Where a landowner
seeks or requests Federal agency
funding or authorization for an action
that may affect a listed species or
critical habitat, the consultation
requirements of section 7(a)(2) would
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apply, but even in the event of a
destruction or adverse modification
finding, the obligation of the Federal
action agency and the landowner is not
to restore or recover the species, but to
implement reasonable and prudent
alternatives to avoid destruction or
adverse modification of critical habitat.
Under section 3(5)(A)(i) of the Act,
specific areas within the geographical
area occupied by the species at the time
it was listed are included in a critical
habitat designation if they contain the
physical or biological features (1) which
are essential to the conservation of the
species and (2) which may require
special management considerations or
protection. For these areas, critical
habitat designations identify, to the
extent known using the best scientific
and commercial data available, those
physical or biological features that are
essential to the conservation of the
species (such as space, food, cover, and
protected habitat). In identifying those
physical or biological features within an
area, we focus on the principal
biological or physical constituent
elements (PCEs) (such as roost sites,
nesting grounds, seasonal wetlands,
water quality, tide, and soil type) that
are essential to the conservation of the
species.
Under section 3(5)(A)(ii) of the Act,
specific areas outside the geographical
area occupied by the species at the time
it is listed are included in a critical
habitat designation upon a
determination that such areas are
essential for the conservation of the
species. For example, an area currently
occupied by the species but that was not
occupied at the time of listing may be
essential for the conservation of the
species and may be included in the
critical habitat designation. We
designate critical habitat in areas
outside the geographical area occupied
by a species only when a designation
limited to its range would be inadequate
to ensure the conservation of the
species.
Section 4 of the Act requires that we
designate critical habitat on the basis of
the best scientific data available.
Further, our Policy on Information
Standards under the Endangered
Species Act (published in the Federal
Register on July 1, 1994 (59 FR 34271)),
the Information Quality Act (section 515
of the Treasury and General
Government Appropriations Act for
Fiscal Year 2001 (Pub. L. 106–554; H.R.
5658)), and our associated Information
Quality Guidelines, provide criteria,
establish procedures, and provide
guidance to ensure that our decisions
are based on the best scientific data
available. They require our biologists, to
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the extent consistent with the Act and
with the use of the best scientific data
available, to use primary and original
sources of information as the basis for
recommendations to designate critical
habitat.
When we are determining which areas
should be designated as critical habitat,
our primary source of information is
generally the information developed
during the listing process for the
species. Additional information sources
may include the recovery plan for the
species, articles in peer-reviewed
journals, conservation plans developed
by States and counties, scientific status
surveys and studies, biological
assessments, other unpublished
materials, or experts’ opinions or
personal knowledge.
Habitat is dynamic, and species may
move from one area to another over
time. We recognize that critical habitat
designated at a particular point in time
may not include all of the habitat areas
that we may later determine are
necessary for the recovery of the
species. For these reasons, a critical
habitat designation does not signal that
habitat outside the designated area is
unimportant or may not be needed for
recovery of the species. Areas that are
important to the conservation of the
species, both inside and outside the
critical habitat designation, will
continue to be subject to: (1)
Conservation actions implemented
under section 7(a)(1) of the Act, (2)
regulatory protections afforded by the
requirement in section 7(a)(2) of the Act
for Federal agencies to ensure their
actions are not likely to jeopardize the
continued existence of any endangered
or threatened species, and (3) the
prohibitions of section 9 of the Act if
actions occurring in these areas may
affect the species. Federally funded or
permitted projects affecting listed
species outside their designated critical
habitat areas may still result in jeopardy
findings in some cases. These
protections and conservation tools will
continue to contribute to recovery of
these taxa. Similarly, critical habitat
designations made on the basis of the
best available information at the time of
designation will not control the
direction and substance of future
recovery plans, HCPs, or other species
conservation planning efforts if new
information available at the time of
these planning efforts calls for a
different outcome.
In particular, we recognize that
climate change may cause changes in
the arrangement of occupied habitat and
will be a particular challenge for
biodiversity because the interaction of
additional stressors associated with
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climate change and current stressors
may push species beyond their ability to
survive (Lovejoy 2005, pp. 325–326).
The synergistic implications of climate
change and habitat fragmentation are
the most threatening facet of climate
change for biodiversity (Hannah and
Lovejoy 2005, p. 4). Climate models are
being generated to examine what will
happen in localized regions such as
southern California, and many scientists
believe warmer, wetter winters and
warmer, drier summers will occur
within the next century as well as an
increase in extreme temperature events
(e.g., Field et al. 1999, pp. 2–3, 20;
Christensen et al. 2007, p. 891). Climaterelated changes in California have been
documented (Croke et al. 1998, pp.
2128, 2130; Breashears et al. 2005, p.
15144; McMullen and Jabbour 2009, p.
41; Dominguez et al. 2010, p. 500), and
predictions for California indicate
prolonged drought and other climaterelated changes into the future (Field et
al. 1999, pp. 8–10; Lenihan et al. 2003,
p. 1667; Hayhoe et al. 2004, p. 12422;
Breashears et al. 2005, p. 15144; Seager
et al. 2007, p. 1181; IPCC 2007, p. 9).
Regional climate change models
project that the southwestern California
ecoregion occupied by Allium munzii
and Atriplex coronata var. notatior
could experience a mean annual
temperature increase of 1.7 to 2.2
°Celsius (C) (3.06 to 3.96 °Fahrenheit
(F)) by 2070 (Point Reyes Bird
Observatory (PRBO) Conservation
Science 2011, p. 40). These models also
project vegetation changes for
southwestern California. For example,
the area of chaparral or coastal scrub is
projected to decrease by 38 to 44
percent by 2070, while grassland, which
currently occupies 3 percent of this
region, is projected to increase by 345 to
390 percent (PRBO Conservation
Science 2011, p. 42). A recent study on
the effects of climate change to
grassland assemblages in California, as
measured by trait differences between
native and nonnative plant taxa,
predicted an increase in dominance of
nonnative taxa in grass assemblages
with an increase in temperature (Sandel
and Dangremond 2011, p. 11).
The information currently available
on the effects of global climate change
and increasing temperatures does not
adequately predict the location and
magnitude of climate change effects to
Allium munzii and Atriplex coronata
var. notatior; therefore, we are unable to
determine if any additional areas may
be appropriate to include in this
proposed revised critical habitat
designation to address the effects of
climate change. We specifically request
information from the public on the
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Allium munzii
We derive the specific physical or
biological features for Allium munzii
from characteristics of the species’
habitat, ecology, and life history as
described in the Background section of
this proposed rule, the previous critical
habitat rule (70 FR 33015; June 7, 2005),
the proposed listing rule (59 FR 64812:
December 15, 1994), and the final listing
rule (63 FR 54975; October 13, 1998).
We have based our determination of the
physical or biological features for A.
munzii on the following:
Allium munzii is also found within
other soil types. These include soil
series of sedimentary or igneous origin
within a clay subsoil, or rocky-sandy
loam soils that fall between the finertextured sandy clay loam and the
coarser-textured loamy sands and have
sufficient silt or clay components to
provide coherence (stickiness) to the
soil (Brown 2003, p. 3). Clay soils must
be deep enough (at least 3 in (7.6 cm))
and remain wet long enough to expand
during the rainy season in order to pull
the seedling bulb down into the soil so
the plant will survive until spring
(Wallace 2011, pers. comm.). Allium
munzii most frequently appears within
intact habitats in which the soils and
subsoils have been minimally altered or
unaltered by ground-disturbing
activities (such as disking, grading,
excavating, or recontouring) and in
more open areas where there is little
competition and overcrowding from
nonnative plants.
Allium munzii is commonly restricted
to locally wetter sites (Boyd 1988, p. 2)
on level or slightly sloping (10–20
degrees) areas at elevations from 1,200
ft (366 m) AMSL (Skunk Hollow) to
2,700 ft (823 m) AMSL (Estelle
Mountain) (Boyd 1988, p. 4). It is found
on both south- and north-facing slopes
(L&L Environmental Inc. 2003, p. 26;
CNDDB 2011a). The native perennial
and annual grassland communities,
open coastal sage or Riversidean sage
scrub, and occasionally cismontane
juniper woodlands found on clay soils
in Riverside County provide supporting
habitat for A. munzii. Coupled with
aspect and elevation, these plant
communities in western Riverside
County provide space for individual and
population growth for A. munzii and are
identified as a physical or biological
feature for this species.
Space for Individual and Population
Growth and for Normal Behavior
Allium munzii is a narrow endemic
plant that is generally associated with
mesic clay soils in western Riverside
County, California, along the southern
edge of the Perris Basin. Because of the
physical geology in this part of the
County, clay soils are scattered in a
band, several miles wide, extending 40
miles (mi) (64 kilometers (km)) from
Gavilan Hills to west of Temescal
Canyon and Lake Elsinore at the eastern
foothills of the Santa Ana Mountains,
and along the Elsinore Fault Zone to the
southwestern foothills of the San Jacinto
Mountains near Lake Skinner and
Diamond Valley Lake. These clay soils
often exist as areas of smaller discrete
pockets (clay lenses) that are often not
identified on coarse-scale soil maps.
Food, Water, Air, Light, Minerals, or
Other Nutritional or Physiological
Requirements
Clay soil associations for Allium
munzii include, but are not limited to:
Altamont, Auld, Bosanko, and
Porterville clays (70 FR 33022; June 7,
2005) or soil series of sedimentary or
igneous origin (rocky-sandy loam) with
a clay subsoil (such as Cajalco, Las
Posas, and Vallecitos). Two populations
of A. munzii are associated with these
rocky or sandy loam soils on igneous
rocky outcrops (Greene 1999, pers.
comm.; CNDDB 2011a, EO 23). Most
populations are associated with clay
soils, which have a sticky adobe
consistency when wet and large cracks
when dry, and with rounded cobbles
and boulders embedded within the soil
(Boyd 1988, p. 4). Clay soils have
currently predicted effects of climate
change on A. munzii and A. c. var.
notatior and their habitats (see Public
Comments section above).
Physical or Biological Features
In accordance with sections 3(5)(A)(i)
and 4(b)(1)(A) of the Act and regulations
at 50 CFR 424.12, in determining which
areas within the geographical area
occupied at the time of listing to
propose as revised critical habitat, we
consider those physical or biological
features that are essential to the
conservation of the species and which
may require special management
considerations or protection. These
include, but are not limited to:
(1) Space for individual and
population growth and for normal
behavior;
(2) Food, water, air, light, minerals, or
other nutritional or physiological
requirements;
(3) Cover or shelter;
(4) Sites for breeding, reproduction, or
rearing (or development) of offspring;
and
(5) Habitats that are protected from
disturbance or are representative of the
historical, geographical, and ecological
distributions of a species.
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unique physical and chemical
properties such as fine grain size, small
pore space, and an expansive nature
that often result in a hardpan layer that
inhibits percolation and root
penetration (Donahue et al. 1977, p. 50).
Clay soils are also rich in mineral
nutrients such as calcium, magnesium,
and potassium that are held tightly as
positively charged ions (cations) and are
absorbed by plant roots through cation
exchange (Donahue et al. 1977, pp. 10,
50, 106, 113, 121).
Allium munzii is adapted to seasonal
(summer and fall) drought and variable
annual rainfall. Within areas of suitable
clay soils or areas of smaller discrete
pockets of clay within other soil types,
microhabitats that receive or retain more
moisture than surrounding areas (due to
factors such as exposure, slope, and
subsurface geology) are very important
in determining where A. munzii is
found (Boyd 2011b, pers. comm.) and
are identified as physical or biological
features for this species.
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Sites for Reproduction
Sites for Allium munzii reproduction
are coincident with those for individual
and population growth. Allium munzii
is generally restricted to clay soils but
is also found on rocky loam soils (such
as North Domenigoni Hills). The sites of
these soils in western Riverside County
are identified as a physical or biological
feature for this species.
We have little information on
pollinators or their habitat requirements
for this taxon other than anecdotal
observations of beetles on Allium
munzii inflorescences in one population
at Temescal Canyon (The
Environmental Trust 2002, p. 16). Wind
dispersal is the likely mechanism for
seed distribution; however, no estimates
of dispersal distances are available.
Habitats Protected From Disturbance or
Representative of the Historical,
Geographical, and Ecological
Distributions of the Species
Allium munzii is found in association
with several plant communities,
including southern needlegrass
grassland, mixed grassland, open coastal
sage scrub and Riversidean sage scrub,
or occasionally cismontane juniper
woodlands (CNPS 2001, p. 67). A
characteristic clay soil flora, comprised
of herbaceous annuals and perennials, is
often associated with the small pockets
of clay soils (see Habitat and Soil
Preferences section above for Allium
munzii) in southwestern Riverside
County occupied by A. munzii (Boyd
1988, p. 4). In some instances, the
observed differences in plant
communities that occupy clay versus
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nonclay soils can be very different as is
the case for the terraces in Temescal
Canyon (Boyd 1988, p. 4). At other
locations, such as Alberhill Mountain
and the Gavilan Hills region, the
grasslands form a mosaic with the
surrounding scrub-type vegetation
(Boyd 1988, p. 4); A. munzii is often
found in open areas within these
grassland communities.
Allium munzii is also associated with
nonnative plants, primarily invasive
annuals (CDFG 1989, p. 2). However,
nonnative plants have been identified as
a threat to several populations of A.
munzii (CNDDB 2011a, EOs 5, 6, 7, 10,
12, and 16). Activities that promote the
spread of invasive weedy grasses, such
as disking and grading, can suppress the
inflorescence of A. munzii (Boyd 1988,
p. 3). These activities can also kill
plants and destroy hydrological
characteristics of the site.
Native and, in some areas, nonnative
plant communities found along the
southern edge of the greater RiversidePerris area are identified as a physical
or biological feature for this taxon.
Atriplex coronata var. notatior
We derive the specific physical or
biological features for Atriplex coronata
var. notatior from studies of this taxon’s
habitat, ecology, and life history as
described in the Background section of
this proposed rule, the previous critical
habitat rule (70 FR 59952; October 13,
2005), and the final listing rule (63 FR
54975; October 13, 1998). We have
based our determination of the physical
or biological features for A. c. var.
notatior on the following:
Space for Individual and Population
Growth and for Normal Behavior
Atriplex coronata var. notatior
occupies seasonal wetlands, including
vernal pools and floodplains that
receive seasonal inundation (Bramlet
1993a, p. 1). The taxon occurs within
alkali playas, alkali scrub, alkali vernal
pools, and alkali grasslands, where
these habitats occur in association with
slow-draining alkaline soils, particularly
the Willows soil series, and to a lesser
extent, the Domino, Traver, Waukena,
and Chino soil series (Knecht 1971, p.
23 and accompanying map; Bramlet
1992 pers. comm.; Bramlet 1993a, p. 1;).
Atriplex coronata var. notatior is
therefore found adjacent to and
dependent on floodplains, transitional
wetlands, marginal wetlands, and scrub
habitat within the watershed (59 FR
64812; December 15, 1994, p. 64821).
The four general geographical areas
where Atriplex coronata var. notatior is
known to occur are no longer pristine
and have been particularly impacted by
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agricultural activities (Service 2008, p.
8). Dryland or irrigated farming
activities in the San Jacinto River and
Old Salt Creek floodplains have been
occurring over the past 100 years. Most
populations of plants within these
locations are on privately owned
undeveloped land that is disked
frequently or has undergone intensive
manure dumping (Roberts 1993, pp. 2–
3; Roberts and McMillan 1997, pp. 1–5;
Roberts 2004, pers. comm.; CNDDB
2011b). Habitats that support A. c. var.
notatior can recover from disturbance
from disking or dryland farming if left
fallow and undisturbed (Roberts 1993,
pp. 2–3). In the past, disking was
intermittent, allowing for recovery
periods for A. c. var. notatior (Roberts
1999, pers. comm.). Additionally,
Atriplex coronata var. notatior can
persist in the seed bank within lands
that experience short-term disturbances
and can germinate with the return of
proper conditions (Roberts 1993, pp. 2–
3). Thus, in those areas where elements
of annual communities persist,
disturbed annual grassland and alkali
playa habitats can recover with the
return of hydrological conditions to
support A. c. var. notatior and therefore
provide the physical or biological
features for the taxon. However, once
the seed bank is removed through
activities such as laser leveling for
agriculture development or significant
alternation of soil chemistry, plants are
unlikely to reestablish without
extensive soil restoration (Bramlet 2010,
pers. comm.). We have determined that
alkali vernal pools and floodplains that
receive seasonal inundation, including
alkali playas, alkali scrub, alkali vernal
pools, and alkali grasslands habitats, are
a physical or biological feature for A. c.
var. notatior.
Food, Water, Air, Light, Minerals, or
Other Nutritional or Physiological
Requirements
Atriplex coronata var. notatior
requires a hydrologic regime that
includes seasonal and large-scale
flooding in combination with alkaline
soils that exhibit low permeability and
low nutrient availability. The plants
occur along floodplains defined by
seasonal ponding or flooding in the San
Jacinto River and Upper Salt Creek
drainages and within the Alberhill
Creek floodplain in soils where mineral
nutrients are tightly bound to silt and
clay particles (Roberts 2004, pers.
comm.). Depending on the amount of
precipitation, the duration and extent of
flooding or inundation can be extremely
variable year to year. Seasonal flooding
(typically over the winter and early
spring) is an important process that
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creates suitable alkali habitat for A. c.
var. notatior, stimulates germination,
prevents invasion from flood-intolerant
plant species, restores disturbed areas,
and helps disperse seed (Roberts 2004,
pers. comm.). Additionally, large-scale
flooding events, such as 10-, 50-, or 100year floods, can restore or reset alkali
habitat that has been colonized by
upland species or disturbed by
agricultural activities (Bramlet 1992,
pers. comm.). The frequency, duration,
and extent of seasonal ponding or
flooding creates a dynamic matrix of
habitat that allows A. c. var. notatior to
colonize favorable sites and retreat from
less favorable sites in response to
disturbance and variations in annual
rainfall. Irreversible actions (such as
paving, redirection of sheet flow, or
year-round flooding) that alter the
hydrology of the seasonal wetlands and
upland watersheds, or infringe upon the
wetlands, may threaten the survival of
A. c. var. notatior.
The presence of Atriplex coronata var.
notatior in floodplains depends on
seasonal or large-scale flooding within
valley drainages, as well as precipitation
and runoff from the surrounding
hillsides. The watershed and the upland
areas that provide water to these
floodplains are important for retaining
the flooding regime. While some runoff
originates from undeveloped hillsides,
much of the watershed where A. c. var.
notatior occurs has been developed, and
the flows traveling to the ponded
habitats can include urban runoff
(RECON 1995, pp. 18, 21). Unless
captured and routed to storm water
detention (desilting) basins, this runoff
can transport a variety of pollutants that
can be detrimental to native plant
communities, particularly the unique
soil and vegetation characteristics of
vernal pool and alkali playa habitats
and the species that occupy them (Clark
et al. 1998, p. 251; Cahill et al. 2001, p.
820; Battaglin et al. 2009, p. 303).
Therefore, a hydrologic regime that
includes seasonal and large-scale
flooding in combination with slow
drainage in alkaline soils with low
nutrient loads is identified as a physical
or biological feature for this taxon.
Sites for Reproduction
Flooding or ponding of water during
the rainy season, as indicated above, is
important for the reproduction,
germination, and seed dispersal of
Atriplex coronata var. notatior. Two
types of flood events are important for
A. c. var. notatior, and they occur at two
distinct scales: local, seasonal flooding
and large-scale flooding (Roberts 2004,
pers. comm.). Seasonal flooding
determines the area of germination and
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affects local distribution of individual
plants, while large-scale flooding
(generally 20- to 50-year events)
disrupts entire habitats with slowmoving water that can be present for
weeks or months and rework the
structure of the vegetative communities
(Roberts 2004, pers. comm.). Together,
these natural processes prevent invasion
from upland vegetation, restore
disturbed alkali habitats, and help
distribute seed throughout the habitat.
Natural alkali playa flood events
therefore promote the colonization of A.
c. var. notatior colonization within
favorable sites, as well as the retreat
from less favorable sites, in response to
disturbance and variations in annual
rainfall, thus creating conditions in
which population abundance shifts
annually through a mosaic of habitat
and flooding (Bramlet 1996, p. 2–3).
Relatedly, A. c. var. notatior is known
to produce floating seeds that are likely
dispersed during seasonal flooding by
slow-moving flows within the
floodplains and vernal pools where the
plant occurs (Sanders 2004, pers.
comm.). Therefore, flooding provides
the conditions that stimulate the
germination of A. c. var. notatior and
controls the distribution of plants in the
surrounding semi-arid environment
both year-to-year and over decades.
These natural floodplain processes are
integral to the life history of A. c. var.
notatior and are considered to be a
physical or biological feature necessary
to maintain a healthy population.
Primary Constituent Elements
Under the Act and its implementing
regulations, we are required to identify
the physical or biological features
essential to the conservation of Allium
munzii and Atriplex coronata var.
notatior within the geographical area
occupied at the time of listing, focusing
on the features’ primary constituent
elements (PCEs). We consider PCEs to
be the elements of physical or biological
features that provide for a species’ lifehistory processes and, under the
appropriate conditions, are essential to
the conservation of the species.
Allium munzii
Based on our current knowledge of
the physical or biological features and
habitat characteristics required to
sustain the species’ life-history
processes, we determine that the PCEs
specific to Allium munzii are:
(1) Clay soil series of sedimentary
origin (for example, Altamont, Auld,
Bosanko, Porterville), clay lenses
(pockets of clay soils) of those series
that may be found as unmapped
inclusions in other soil series, or soil
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23017
series of sedimentary or igneous origin
with a clay subsoil (for example,
Cajalco, Las Posas, Vallecitos):
(a) Found on level or slightly sloping
landscapes or terrace escarpments;
(b) Generally between the elevations
of 1,200 to 2,700 ft (366 to 823 m) above
mean sea level;
(c) Within intact natural surface and
subsurface structures that have been
minimally altered or unaltered by
ground-disturbing activities (for
example, disked, graded, excavated, or
recontoured);
(d) Within microhabitats that receive
or retain more moisture than
surrounding areas, due in part to factors
such as exposure, slope, and subsurface
geology; and
(e) Part of open native or nonnative
grassland plant communities and clay
soil flora, including southern
needlegrass grassland, mixed grassland,
and open coastal sage scrub or
occasionally in cismontane juniper
woodlands; or
(2) Outcrops of igneous rocks
(pyroxenite) on rocky-sandy loam or
clay soils within Riversidean sage scrub,
generally between the elevations of
1,200 to 2,700 ft (366 to 823 m) above
mean sea level.
With this proposed revised
designation of critical habitat, we intend
to identify the physical or biological
features essential to the conservation of
the species. All units and subunits
proposed to be designated as critical
habitat are currently occupied by
Allium munzii and are within the
geographical areas occupied at the time
of listing.
Atriplex coronata var. notatior
Based on our current knowledge of
the physical or biological features and
habitat characteristics required to
sustain the taxon’s life-history
processes, we determine that the PCEs
specific to Atriplex coronata var.
notatior are:
(1) Wetland habitat including
floodplains and vernal pools:
(a) Associated with native vegetation
communities, including alkali playa,
alkali scrub, and alkali grasslands; and
(b) Characterized by seasonal
inundation or localized flooding,
including infrequent large-scale flood
events with low nutrient loads; and
(2) Slow-draining alkali soils
including the Willows, Domino, Traver,
Waukena, and Chino soil series with:
(a) Low permeability;
(b) Low nutrient availability; and
(c) Seasonal ponding and evaporation.
With this proposed revised
designation of critical habitat, we intend
to identify the physical or biological
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features essential to the conservation of
the species. All units and subunits
proposed to be designated as critical
habitat are currently occupied by
Atriplex coronata var. notatior and are
within the geographical areas occupied
at the time of listing.
Special Management Considerations or
Protection
When designating critical habitat, we
assess whether the specific areas within
the geographical area occupied by the
species at the time of listing contain
physical or biological features which are
essential to the conservation of the
species and which may require special
management considerations or
protection. In all units or subunits,
special management considerations or
protection of the essential features may
be required to provide for the growth,
reproduction, and sustained function of
the habitat on which Allium munzii and
Atriplex coronata var. notatior depend.
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Allium munzii
A detailed discussion of threats to
Allium munzii and its habitat can be
found in the final listing rule (63 FR
54975; October 13, 1998), the previous
proposed and final critical habitat
designations (69 FR 31569, June 4, 2004;
70 FR 33015, June 7, 2005), and the A.
munzii 5-year review signed on June 17,
2009 (Service 2009). Actions and
development that alter habitat suitable
for the species or affect the natural
hydrologic processes upon which the
species depends could threaten the
species.
The physical or biological features
essential to the conservation of Allium
munzii all face ongoing threats that may
require special management
considerations or protection. Threats
that may require special management
considerations or protection of the
physical or biological features include:
(1) Loss or degradation of native plant
communities, such as grassland, open
coastal sage scrub, and cismontane
juniper woodlands, due to urban
development, agricultural activities, and
clay mining (PCEs 1 and 2);
(2) Disturbance of clay or other
occupied soils by activities such as offroad vehicles (ORV) and fire
management (PCEs 1 and 2);
(3) Invasion of nonnative plant
species (PCEs 1 and 2); and
(4) Long-term threats including
climatic variations such as extended
periods of drought (PCE 1) (63 FR
54982–54986, October 13, 1998; 69 FR
31571, June 4, 2004; 70 FR 33023,
October 13, 2005; Service 2009, pp. 10–
22).
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Further discussion of specific threats
facing individual proposed revised
critical habitat units or subunits for
Allium munzii is provided in the unit
descriptions under the Proposed
Revised Critical Habitat Designation
section below. In these proposed revised
critical habitat units, special
management considerations or
protection may be needed to ensure the
long-term existence of clay and alluvial
soil integrity within habitats that
support the physical or biological
features essential to the conservation of
A. munzii.
Special management considerations
or protection for areas occupied by
Allium munzii include:
(1) Protection of habitat from urban
development or destruction to maintain
integrity of clay soils;
(2) Reduction of land conversion to
agricultural uses and reduction of
disking or dryland farming to maintain
native habitats;
(3) Management and control of
invasive nonnative plants to provide
open areas for growth and reproduction;
and
(4) Land acquisition or conservation
easements for occurrences not already
conserved to protect those populations
within occupied habitats.
(3) Competition from nonnative plants
(PCE 1); and
(4) Long-term threats including water
pollution, climatic variations, and
changes in soil chemistry and nutrient
availability (PCE 1) (63 FR 54983,
October 13, 1998; 69 FR 59847, October
6, 2004; 70 FR 59966, October 13, 2005;
Service 2008, pp. 8–17).
Further discussion of specific threats
facing individual units is provided in
the unit descriptions under the
Proposed Revised Critical Habitat
Designation section below. Special
management considerations or
protection for Atriplex coronata var.
notatior include:
(1) Protection of habitat, including
underlying soils and chemistry, from
development or destruction;
(2) Protection of floodplain processes
to maintain natural, seasonal flooding
regimes;
(3) Reduction of land conversion to
agricultural uses and reduction of
disking and dryland farming to maintain
native habitats;
(4) Land acquisition or conservation
easements for occurrences not already
conserved to protect those populations
within occupied habitats; and
(5) Implementation of manure and
sludge dumping ordinances to maintain
soil chemistry.
Atriplex coronata var. notatior
Criteria Used To Identify Critical
Habitat
As required by section 4(b)(2) of the
Act, we use the best scientific data
available to designate critical habitat.
We review available information
pertaining to the habitat requirement of
the species. In accordance with the Act
and its implementing regulation at 50
CFR 424.12(e), we consider whether
designating additional areas—outside
those currently occupied as well as
those occupied at the time of listing—
are necessary to ensure the conservation
of the species. We are not currently
proposing to designate any areas outside
the geographical areas currently
occupied by Allium munzii or Atriplex
coronata var. notatior because we
consider those areas to be of sufficient
quality, extent, and distribution to
provide for the conservation of these
taxa. We believe that the present quality
habitat has, by survey, the demonstrated
capacity to support self-sustaining
occurrences of these taxa and that these
areas containing the physical or
biological features essential to the
conservation of the species are
dispersed in its range in a manner that
provides for the survival and recovery of
these taxa. We are proposing to
designate as critical habitat some
specific areas within the geographical
A detailed discussion of threats to
Atriplex coronata var. notatior and its
habitat can be found in the final listing
rule (63 FR 54975; October 13, 1998),
the previous proposed and final critical
habitat designations (69 FR 59844,
October 6, 2004; 70 FR 59952, October
13, 2005), and the A. c. var. notatior 5year review signed on March 31, 2008
(Service 2008). Actions and
development that alter habitat suitable
for A. c. var. notatior or affect the
natural hydrologic processes upon
which it depends could threaten the
taxon. The physical or biological
features essential to the conservation of
A. c. var. notatior may require special
management considerations or
protection to reduce or eliminate the
following threats:
(1) Loss of alkali vernal plain habitat
(i.e., alkali playa, alkali scrub, alkali
vernal pool, alkali annual grassland)
and fragmentation as a result of
activities such as urban development,
manure dumping, animal grazing,
agricultural activities, ORV activity,
weed abatement, and channelization
(PCEs 1 and 2);
(2) Indirect loss of habitat from the
alteration of hydrology and floodplain
dynamics (diversions, channelization,
excessive flooding) (PCEs 1 and 2);
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range currently occupied by A. munzii,
but that were not known to be occupied
at the time of listing. However, based on
the best available scientific information,
the life history of the plant (see
Background section), and the limited
survey efforts prior to listing, we believe
that these specific areas are within the
geographical area occupied by the
species at the time of listing.
We reviewed the final critical habitat
designations for Allium munzii and
Atriplex coronata var. notatior (70 FR
33015, June 7, 2005; 70 FR 59952,
October 13, 2005, respectively),
information from State, Federal, and
local government agencies, and from
academia and private organizations that
have collected scientific data on the
species. We also used the information
provided in the 5-year reviews for A.
munzii and A. c. var. notatior (Service
2008; Service 2009). Other information
we used for this proposed rule includes:
CNDDB (CNDDB 2011a; CNDDB 2011b);
reports submitted during consultations
under section 7 of the Act; analyses for
individual and regional HCPs where A.
munzii and A. c. var. notatior are
covered species; data collected from
reports submitted by researchers
holding recovery permits under section
10(a)(1)(A) of the Act; information
received from local species experts;
published and unpublished papers,
reports, academic theses, or surveys;
Geographic Information System (GIS)
data (such as species population and
location data, soil data, land use,
topography, aerial imagery, and
ownership maps); and correspondence
with the Service from recognized
experts. We analyzed this information to
determine the specific areas within the
geographical area occupied by the taxa
at the time of listing that contain the
physical or biological features essential
to the conservation of A. munzii and A.
c. var. notatior.
Allium munzii
Allium munzii occurs in relatively
small population sizes, has a narrow
geographic range (western Riverside
County), and exhibits high habitat
specificity, all of which make it
vulnerable to land use changes.
According to the Western Riverside
County MSHCP, A. munzii is
considered a narrow endemic plant
species, a plant species that is highly
restricted by its habitat affinities,
edaphic requirements, or other
ecological factors (Dudek and Associates
2003, pp. Def/Acr-ix and 6–28). Based
on examination of soil maps for western
Riverside County, Boyd (1988, p. 2)
concluded that much of the scattered
clay soil areas in the Perris Basin were
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heavily disturbed and estimated up to
an 80 to 90 percent loss of potential A.
munzii habitat in 1988.
We conducted a spatial analysis using
a GIS-based approach to determine the
percent of mapped clay soils (Altamont,
Auld, Bosanko, Porterville) that were
converted or lost to agricultural or urban
land uses in the Perris Basin (based on
2007 land use GIS data). This is a
conservative approach given that
smaller pockets of clay soils are not
shown on coarse-scale soil maps and
may have been lost since the completion
of the Riverside County soil map in
1971. We estimated that approximately
32 percent of these clay soils remain
within suitable Allium munzii habitats
(or a 67 percent loss) due to urban and
agricultural development on plant
communities associated with A. munzii,
and includes both known and unknown
locations of A. munzii populations.
Based on the narrow endemism of this
species, its reliance on clay soil types
that are limited in geographic range in
western Riverside County, and our
estimated loss of 67 percent of these
soils to urban or agricultural
development, we believe that all of the
units and subunits (as defined below
and in the Summary of Changes from
Previously Designated Critical Habitat
section of this proposed rule) represent
the present geographical area containing
the physical or biological features
essential to the conservation of this
species which may require special
management considerations or
protection. This designation includes 17
of the CNDDB’s EOs described in the
Background section above.
We are proposing to designate as
critical habitat specific areas within the
geographical area occupied by Allium
munzii at the time of listing in 1998.
These specific areas include some areas
within the present range of the species
that had not yet been identified as
occupied at the time of listing. We have
determined that these areas are within
the geographical area occupied by A.
munzii at the time of listing based on
the species life history and habitat
requirements (see Background section
above) and the following: (1) Locations
of plants reported or detected since
listing in 1998 are in close proximity
(less than 1 mi (1.5 km)) to previously
known locations and, (2) of the 10 new
CNDDB-defined EOs reported since
early 1980s surveys by Boyd (1988), 6
are within previous known occupied
geographic regions of the greater Perris
Basin (Temescal Canyon-Gavilan Hills/
Plateau, Murrieta-Hot Springs areas) and
the other 4 locations were found after
surveys in the early 1990s within the
Elsinore Peak (Santa Ana Mountains)
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and Domenigoni Hills regions.
Additionally, we believe this currently
occupied habitat was occupied at the
time of listing given the species’
naturally discontinuous distribution
and occupation of microhabitats; the
difficulty of accurately surveying for
individual plants given the dormant
(underground) phase of its life cycle
prior to detection; and its restriction to
small areas of clay soils in western
Riverside County within the designated
units and subunits.
For defining critical habitat units, we
looked at elevation (1,200 to 2,700 ft
(366 to 823 m) AMSL), soil types
(primarily clay soils), spatial
distribution of 17 CNDDB-defined EOs
from CNDDB (CNDDB 2011a), 1 location
identified by Ellstrand not included in
the CNDDB database (Ellstrand 1993,
1994) (proposed EO 24, as mentioned in
the Spatial Distribution, Historical
Range, and Population Size section for
Allium munzii), rare plant monitoring
survey results from Western Riverside
County Regional Conservation
Authority (RCA) (Western Riverside
County RCA 2006, 2007, 2008, 2009,
2010, and 2011), and other surveys.
To identify several unit and subunit
boundaries for this proposed revised
critical habitat, we consulted a species
expert with considerable field
experience in surveying for Allium
munzii. Given the difficulty in
observing individual plants due to the
timing of inflorescence, stage of growth,
and large areal extent (as discussed in
the Background section), Boyd (2011b,
pers. comm.) recommended expanding
the area surrounding an observation of
a location of plants (either a group or
just a few individuals) to capture
additional individual plants that might
not have been observed. Based on
extensive field experience
(approximately 30 years) with A.
munzii, Boyd (2011b, pers. comm.)
recommended including a 100-m (328ft) roughly circular area (or 50-m (164ft) radius) to define the unit or subunit
boundaries. Because A. munzii is
strongly associated with clay soils
(which are often found as pockets of
small scattered (but discrete) clay lenses
that are typically too small to be
identified on coarse-soil soil maps (see
the Habitat and Soil Preferences section
for A. munzii above)), we used Boyd’s
recommendation of expanding the
boundaries of observed plant locations
to capture unobserved individuals in
defining critical habitat units and
subunits. Specifically, we used the Soil
Conservation Service (now Natural
Resources Conservation Service) soil
mapping unit (2.47 ac or 1 ha) to refine
Boyd’s recommended radius of 164 to
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183 ft (50 to 56 m). The 183-ft (56-m)
radial distance translates into a 2.43-ac
(0.98-ha) area, which is approximately
equal to the soil mapping unit of 2.47
ac (1 ha). This methodology accounts for
both potentially unobserved plants
associated with CNDDB-defined EOs in
areas of clay or rocky-sandy loam soils
as well as encompassing the unmapped
pockets of clay soil. In conjunction with
the reported EOs, survey reports, and
aerial photographs, this approach
represents the best available information
regarding areas currently occupied by A.
munzii and that contain the physical or
biological features essential to the
conservation of the species and
therefore accurately defines the unit and
subunit polygons.
The following sources were used to
define microhabitats (i.e., depressional
areas that retain moisture) for Allium
munzii, which included using
underlying geology, slope, and aspect of
hillsides within open areas of native
and nonnative plant communities:
(1) For evaluating microtopography,
including slope, aspect, and elevation,
we used: (a) Digital elevation model
(DEM) data from U.S. Geological
Survey’s (USGS) EROS Data Center, and
(b) USGS 1:24,000 digital raster graphics
(USGS topographic maps).
(2) For evaluating vegetative
communities, spatial arrangement of
these communities, and presence of
disturbance or development, we used:
(1) U.S. Department of Agriculture
(USDA) National Agriculture Imagery
Program (NAIP) aerial photography for
2010, and (b) ArcGIS online I3 Imagery
Prime World 2D), validating
conclusions made from examining these
two satellite imagery data layers using
high resolution Google Earth imagery.
(3) For subsurface geology, we used
the USGS GIS layer of the Preliminary
Digital Geologic Map of the Santa Ana,
1:100,000 quadrangle (USGS 2004).
We acknowledge that the extent of the
geographic areas surveyed and the
survey methodologies may differ within
and among the recorded plant locations
from year to year (see discussion
regarding the detectability of this
species in the Background section
above). Based on our GIS analysis, the
5 units, further divided into 13
subunits, we propose as critical habitat
are as follows: (1) Gavilan Hills (6
subunits), (2) Temescal Valley (4
subunits), (3) Elsinore Peak, (4) South
Perris-Bachelor Mountain (3 subunits),
and (5) North Domenigoni Hills. All
units and subunits are within the
present geographical range of the
species and are currently occupied.
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Atriplex coronata var. notatior
Atriplex coronata var. notatior is
endemic to the San Jacinto, Perris,
Menifee, and Elsinore Valleys of
western lowland Riverside County, and
is restricted to highly alkaline, silty-clay
soils (59 FR 64813; December 15, 1994).
At the time of listing, 12 populations of
A. c. var. notatior were known
(corresponding to the CNDDB EOs at the
time), 11 of which were associated with
two general locations (the San Jacinto
and Old Salt Creek floodplains). We
have grouped the 12 CNDDB EOs and
results from other surveys into four
general locations (described below) and
developed boundaries for three critical
habitat units based on the geographic
locations of observed plants.
All of the units (as defined below and
in the Summary of Changes from
Previously Designated Critical Habitat
section) are within the geographical area
occupied by Atriplex coronata var.
notatior at the time of listing. These
units contain the physical or biological
features that are essential to the
conservation of this taxon and may
require special management
considerations or protection.
Atriplex coronata var. notatior is
known from four general locations in
western Riverside County, as previously
identified in the 2004 proposed critical
habitat rule (69 FR 59844; October 6,
2004). All three units proposed as
critical habitat encompass these four
areas and are within the geographical
area occupied by the taxon at the time
of listing. This range includes records of
15 EOs now recorded in the CNDDB
database (CNDDB 2011b) and other
survey data. To define critical habitat
units, we examined the following
information:
(1) Slow-draining alkali soils
(Willows, Domino, Traver, Waukena,
and Chino soil series) with low
permeability.
(2) Seasonal and large-scale flood
events (or ponded water) and
subsequent scouring to create bare soils,
as illustrated in historical aerial
photographs.
(3) Spatial distribution of the EOs
recorded in the CNDDB database
(CNDDB 2011b), and
(4) Plant monitoring survey results
from Western Riverside County RCA
(2007, 2008, 2009, 2010, and 2011) and
other surveys.
We recognize that the geographic
extent surveyed and survey
methodologies may differ within and
among the locations of individual or
groups of plants from year to year (see
discussion regarding the detectability of
this species in Background section
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above). Based on this analysis we
defined the following three units: (1)
Floodplain of the San Jacinto River from
the San Jacinto Wildlife Area (including
Mystic Lake) to Railroad Canyon
Reservoir, (2) Upper Salt Creek, and (3)
Alberhill Creek. All units are within the
present geographical range of the taxon
and are currently occupied.
Other Factors Involved With Delineating
Critical Habitat
When determining proposed revised
critical habitat boundaries, we made
every effort to avoid including
developed areas such as lands covered
by buildings, pavement, and other
structures because these lands lack
physical or biological features necessary
for Allium munzii and Atriplex coronata
var. notatior. The scale of the maps we
prepared under the parameters for
publication within the Code of Federal
Regulations may not reflect the
exclusion of such developed lands. Any
such lands inadvertently left inside
critical habitat boundaries shown on the
maps of this proposed rule have been
excluded by text in the proposed rule
and are not proposed for designation as
critical habitat. Therefore, if the critical
habitat is finalized as proposed, a
Federal action involving these lands
would not trigger section 7 consultation
with respect to critical habitat and the
requirement of no adverse modification
unless the specific action may affect the
adjacent critical habitat.
We are proposing for designation of
critical habitat lands that we have
determined are within the geographical
areas occupied by these taxa at the time
of listing and contain sufficient
elements of physical or biological
features to support life-history processes
essential for the conservation of the
taxa. For Allium munzii, our proposed
revision includes extant locations of
plants not known at the time of listing,
but that are within the geographical area
occupied at the time of listing. All units
contain the physical or biological
features that are essential to the
conservation of these taxa and may
require special management
considerations or protection.
Summary of Changes From Previously
Designated Critical Habitat
Allium munzii
The areas identified in this proposed
rule constitute a proposed revision to
the critical habitat rule for Allium
munzii published on June 7, 2005 (70
FR 33015) based on the following
principles:
(1) We refined our method identifying
the locations of Allium munzii and the
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PCEs within those locations to more
accurately reflect the physical or
biological features that are essential to
the conservation of A. munzii. We
consolidated the PCEs to identify the
primary element and then listed the
related supporting components of that
element. Specifically, we reviewed the
CNDDB EO reports and other survey
reports to define PCEs that reflect the
physical and ecological characteristics
found within the range of the CNDDBdefined EOs. This resulted in removing
the previous PCE listed as alluvial soil
series and reclassifying the locations of
plants (with one exception) into their
appropriate clay soil associations.
(2) We improved our mapping
methodology to more accurately define
the critical habitat boundaries and to
better represent those areas that possess
the physical or biological features
essential to the conservation of Allium
munzii using soils, elevation, and
spatial configuration known from the
most recent occurrence information. In
this rule, we have grouped locations of
A. munzii plants into critical habitat
units and subunits and labeled each
grouping as an occurrence; this is
different than the term ‘‘Element
Occurrence’’ used by CNDDB. As noted
earlier, not all survey reports are
included in the CNDDB database,
particularly recent surveys, nor are the
boundaries defined by CNDDB precise
in location (some were recorded prior to
Global Positioning System (GPS)
technology or with older and less
accurate GPS units); thus, for the
purposes of defining units and subunits
in this proposed rule, the polygons and
point locations defined by CNDDB may
not encompass all of the physical or
biological features essential to the
conservation of the species.
The areas identified in this proposed
rule constitute a proposed revision to
the critical habitat units designated for
Allium munzii published on June 7,
2005 (70 FR 33015). The differences in
these areas resulted from using the
following methods:
(1) We combined the EO data
recorded in the CNDDB database
(CNDDB 2011a) with 2005 to 2011
survey results from the Western
Riverside County Resource
Conservation Agency (RCA) (Western
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Riverside County RCA 2005, 2008) and
Rancho Santa Ana Botanical Garden
(Boyd 2011c, pers. comm.). Using the
183-ft (56-m) radius discussed above,
we delineated units and subunits.
(2) We combined one or both of the
CNDDB EO spatial datasets with GISbased maps of Porterville clay soils or
other clay soil types to create the units
and subunits using the 183-ft (56-m)
boundary, and we incorporated recent
survey data.
(3) For a few of the smaller subunits
defined by point locations of small
numbers of individual plants, we used
CNDDB’s previously defined 262-ft (80m) radius polygon to determine the
subunit boundary (CNDDB 2011a).
(4) We also identified several areas we
are considering for exclusion from the
final revised critical habitat designation
under section 4(b)(2) of the Act.
Exclusions in our upcoming final rule
may differ from the exclusions we made
in the 2005 final critical habitat
designation.
Atriplex coronata var. notatior
The areas identified in this proposed
rule constitute a proposed revision to
the critical habitat designated for
Atriplex coronata var. notatior
published on October 13, 2005 (70 FR
59952). The differences are as follows:
(1) We refined the PCEs to more
accurately describe the physical or
biological features essential to the
conservation of Atriplex coronata var.
notatior. We consolidated the PCEs to
identify the primary element and
relevant factors to that element based on
review of the CNDDB database and
recorded EOs.
(2) We improved our mapping
methodology to more accurately define
the critical habitat boundaries and to
better represent those areas that possess
the physical or biological features
essential to the conservation of Atriplex
coronata var. notatior using soils,
elevation, and spatial configuration
based on updated plant location
information. We delineated boundaries
using an intersection of seasonal
ponding or flooding (and resulting bare
soils), as observed in historical and
recent aerial photographs (Riverside
County Flood Control District photos
from 1962, 1974, 1978, 1980, and 2010),
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with A. coronata var. notatior soil
preferences (soil maps from Knecht
1971). In doing so, we also removed
areas of urban or otherwise developed
lands in all these areas. In addition,
areas identified as ‘‘Right-of-Way’’ in
the most current parcel database
available from the Riverside County
Assessor’s Office were classified as
either local land or State land
depending on whether they were
located adjacent to local roadways or
Federal highways under State control.
(3) We identified several areas we are
considering for exclusion from the final
revised critical habitat designation
under section 4(b)(2) of the Act.
Exclusions in our upcoming final
revised critical habitat designation may
differ from the exclusions we made in
the 2005 final critical habitat
designation.
(4) We revised the previous critical
habitat units based on surveyed
locations (or localities) of Atriplex
coronata var. notatior as described
above. As discussed above, we have
grouped locations of A. coronata var.
notatior plants into four general
geographical areas and delineated these
as our three critical habitat units. This
delineation includes the EOs defined by
CNDDB and locations of individual
plants reported from other surveys.
Proposed Revised Critical Habitat
Designation
Allium munzii
We are proposing approximately 889
ac (360 ha) in 5 units containing 13
subunits as critical habitat for Allium
munzii. The areas we describe below
constitute our current best assessment of
areas that meet the definition of critical
habitat for A. munzii. The units and
subunits we propose as critical habitat
are: (1) Gavilan Hills (Unit 1; 6
subunits), (2) Temescal Valley (Unit 2;
4 subunits), (3) Elsinore Peak (Unit 3),
(4) South Perris and Bachelor Mountain
(Unit 4; 3 subunits), and (5) North
Domenigoni Hills (Unit 5). The
approximate area of proposed revised
critical habitat and land ownership
within the units and subunits is shown
in Table 1 below.
BILLING CODE 4310–55–P
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BILLING CODE 4310–55–C
Unit 1: Gavilan Hills
Unit 1 consists of 114.7 ac (46.4 ha).
The Gavilan Hills Unit is located at the
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northeast of the Santa Ana Mountains in
western Riverside County. This unit
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includes six occupied subunits within
upland areas west of State Highway 74,
south of Cajalco Road, and northeast of
Interstate 15, all of which are within the
geographical area occupied at the time
of listing and which contain the
physical or biological features essential
to the conservation of the species. The
Gavilan Hills region is geologically and
topographically diverse with many soil
types. Clay soil series occupied by
Allium munzii in the Gavilan Hills Unit
include Bosanko, Altamont, and
Porterville; however, small pockets of
clay (less than 2.47 ac (1 ha)) are often
not indicated on soil maps (Boyd 1983,
p. 19). The elevational range of the five
subunits is 1,547 ft (472 m) to 2,632 ft
(802 m) AMSL. Vegetation of the
Gavilan Hills region is a complex
association of scrub, woodland, and
grass communities, including annual
grasslands characterized by invasive
nonnative plants in those areas where
native communities have been heavily
disturbed (Boyd 1983, pp. 32–33).
Threats identified for the Gavilan Hills
Unit include invasive nonnative plants,
road construction and urban
development, grazing, ORV activity,
illegal dumping, and mowing for fire
abatement. Therefore, the features
essential to the conservation of the
species in this unit may require special
management considerations or
protection to minimize impacts
resulting from these threats (see Special
Management Considerations or
Protection section above).
Within the Gavilan Hills Unit, we are
considering excluding all subunits
within the planning area of the Western
Riverside County MSHCP and the Lake
Mathews MSHCP under section 4(b)(2)
of the Act (see Exclusions section).
Subunit 1A: Estelle Mountain
The Estelle Mountain subunit (2.8 ac
(1.1 ha)) is located within native and
nonnative grassland habitat within the
Lake Mathews/Estelle Mountain Reserve
(2.3 ac (0.9 ha)) and on private land
(0.48 ac (0.2 ha)). The Lake Mathews
Multiple Species Habitat Conservation
Plan/Natural Communities Conservation
Plan (Lake Mathews MSHCP) assisted in
establishing this multi-jurisdictional
reserve encompassing over 12,000 ac
(4,856 ha) and managed for multiple
species use, including Allium munzii, in
western Riverside County. The
combined reserve is composed of a
Multiple Species Reserve that consists
of the existing State Ecological Reserve
and the Lake Mathews HCP Mitigation
Bank, Lake Mathews/Estelle Mountain
Core Stephens’ Kangaroo Rat Reserve,
the Estelle Mountain Ecological Reserve
owned by CDFG, and land owned by the
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Bureau of Land Management (BLM)
located within the Riverside County
Habitat Conservation Agency’s
Stephens’ Kangaroo Rat Core Reserve.
Collectively, these lands comprise the
existing Lake Mathews/Estelle
Mountain Existing Core ‘‘C’’ area of the
Western Riverside County MSHCP
(Service 2004, p. 65). Management of
the reserve focuses largely on the
Stephens’ kangaroo rat (Dipodomys
stephensi) and coastal California
gnatcatcher (Polioptila californica
californica). The reserve is not open to
the public for recreational use, but is
subject to grazing, illegal dumping, and
ORVs.
This subunit contains clay soils (not
illustrated on coarse-scale soils map) on
cobble deposits in a small drainage,
which creates the space and
microhabitat (PCE 1) that meets the
habitat needs for Allium munzii and
comprises the physical or biological
features essential to the conservation of
the species.
Subunit 1B: Dawson Canyon
The Dawson Canyon subunit (4.8 ac
(1.9 ha)) is located on private land to the
east of Estelle Mountain. This
occurrence, with a significant number of
plants (more than 1,000) seen in 1986,
has been described as scattered stands
of Allium munzii within grassy flats and
slopes containing clay soils on cobble
deposits (CNDDB 2011a, EO 5). This
subunit contains clay soils, sloping
topography, and subsurface geology
(PCE 1) that provide substrate and
conditions suitable for the persistence of
A. munzii and comprise the physical or
biological features essential to the
conservation of the species. This
subunit is subject to threats related to
road development and invasive,
nonnative plants (CNDDB 2011a).
Subunit 1C: Gavilan Plateau
The Gavilan Plateau subunit (42.2 ac
(17 ha)), bisected by a road, is located
within Harford Springs County Park
(north of Ida-Leona Road) and on
private land (south of Ida-Leona Road)
in grassy openings on clay soils.
Populations of Allium munzii exceeded
5,000 plants at both locations in the
early 1990s (CNDDB 2011a, EO 2). The
private land portion of this subunit has
been disked in the past and is
threatened by urban development
(CNDDB 2011a). Several locations of A.
munzii, with small numbers of
individual plants, were found on clay
soils within the County Park in surveys
conducted by Western Riverside County
RCA in 2005 and 2008 (Drennen 2011,
pers. comm.). The southern portion of
this subunit has not been surveyed since
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1998 (CNDDB 2011a). Mineral-rich clay
soils within grassland and other native
vegetative communities (PCE 1) in this
subunit provide the physical or
biological features that are essential to
the conservation of this species.
Subunit 1D: Ida-Leona
The Ida-Leona subunit (4.5 acres (1.8
ha)) is located about 0.5 mi (0.8 km) east
of the Ida-Leona mine on land occupied
by a private residence. In 1999, one year
after listing, a total of 12 plants were
recorded from 2 locations at an
elevation of 2,223 ft (677 m) within a
coastal sage scrub-nonnative grass plant
association (Greene 1999, pers. comm.).
Although this subunit was not known to
be occupied at the time of listing in
1998, we believe it was occupied in
1998 because, as discussed in
Background section, it takes at least 3
years after seed germination for this
bulb-forming plant to produce flowers
(Wall 2012, pers. comm.). This location
was surveyed specifically for A. munzii
by a qualified botanist in April 1999,
less than 1 year after listing; 12
flowering plants were found in 2
locations (Greene 1999, pers. comm.);
thus, based on its biology (growth
timeframe) as described above, plants
would have been present in 1998.
Additionally, as discussed in the
Background section, Allium munzii is
often difficult to observe in the field
(e.g., plants are dormant from midsummer through autumn) and is easily
overlooked without site-specific surveys
during ideal conditions for its life
history.
The populations of A. munzii at this
location are on the north-facing slope of
a hillside, range in elevation between
1,200 to 2,700 ft (366 to 823 m) AMSL,
and in a small drainage (mesic
microhabitat) within native (sage scrub)
and nonnative (grasses) habitat. The
surveyed population was reported to be
approximately 600 ft (183 m) from the
nearest residence. Although the owners
at the time of the survey indicated that
they did not intend to develop the
drainage where the species was located
(Greene 1999, pers. comm.), potential
threats for this subunit include
nonnative grasses and mowing for fire
abatement. The location is mapped as
Lodo rocky loam, a weathered, mediumtextured soil, at 8 to 25 percent slope,
consisting of a relatively even mixture
of sand, silt, and clay, with rock
outcrops (PCE 2) (Knecht 1971, p. 43).
This subunit contains the physical or
biological features essential to the
conservation of this species including
substrate components and conditions
suitable for growth.
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Subunit 1E: Northeast Alberhill
The Northeast Alberhill subunit (58
ac (23.5 ha)) is found on open grassland,
upslope of previously proposed
developments and clay mining
operations (CNDDB 2011a, EO 16).
Several colonies were mapped in
surveys in 1993 and 2003, with about
3,000 plants observed in 2003 (CNDDB
2011a EO 16). This occurrence was
surveyed again in April 2011 and 25–
100 plants were found; however, the
population may have been larger than
reported as the buds were difficult to
detect due to the early timing of the
survey (Drennen 2011, pers. comm.).
Potential threats to this subunit include
nonnative grasses and road construction
(CNDDB 2011a EO 16). The physical
components of this location (i.e.,
elevation range 1,706 ft to 2,325 ft (520
to 709 m) AMSL, sloping hillside)
within spaces of open grassland
(microhabitat) on clay soils (PCE 1)
provide the physical or biological
features essential to the conservation of
Allium munzii.
Subunit 1F: North Peak
The North Peak subunit (2.4 ac (1.0
ha)) is located at the southern end of the
Gavilan Hills unit within the North Peak
Conservation Bank. Several thousand
Allium munzii plants were found in
coastal sage scrub habitat in 1993
(CNDDB 2011a, EO 15). In 1995, an
estimated 6,800 plants were located at
the base of a north-facing slope above a
drainage area (Michael Brandman
Associates 1995, p. 3). A survey
conducted in the spring of 2008
recorded an estimated 400 plants
growing on a north-facing slope, just
upslope (approximately 328 ft (100 m))
from the drainage area (Drennen 2011,
pers. comm.). These physical or
biological features, space and substrate
for growth and local microhabitat (slope
and location within a drainage area)
(PCE 2), provide habitat features
essential to the conservation of A.
munzii. Nonnative grasses are
considered a threat to A. munzii at this
location; individual plants in this
subunit were found to be more
abundant in areas with less nonnative
grasses (Drennen 2011, pers. comm.).
tkelley on DSK3SPTVN1PROD with PROPOSALS3
Unit 2: Temescal Valley
Unit 2 consists of 481 ac (195 ha)
located within the geographical area
occupied at the time of listing and all
subunits contain the features essential
to the conservation of the species. The
Temescal Valley Unit is located along
Interstate 15 at the base of the Gavilan
Hills in western Riverside County. The
Temescal Valley unit contains the
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Temescal Wash, which drains the
Gavilan Hills region and the
northeastern slope of the Santa Ana
Mountains (Boyd 1983, p. 13). This unit
contains unique physical geographic
features, including escarpments
(canyons), found along the Temescal
Wash. These escarpments are formed
through erosional processes and the
progressive elevation of the Santa Ana
Mountains; thus, they represent one of
several distinct land forms within the
Perris Basin, which has a complex
geological history (reviewed by Dudley
1936). The so-called Alberhill clays
where Allium munzii is found in the
Temescal Valley Unit are considered
one of the earliest sediments in the
Perris Basin and are found on sloping
surfaces of an ancient valley wall
(Dudley 1936, p. 377). Threats identified
for the Temescal Valley Unit include
nonnative plants, urban development
and related infrastructure, and grazing.
Therefore, the features essential to the
conservation of the species in this unit
may require special management
considerations or protection to
minimize impacts resulting from these
threats (see Special Management
Considerations or Protection section
above).
Within the Temescal Valley Unit, we
are considering excluding all subunits
contained within the Western Riverside
County MSHCP planning area under
section 4(b)(2) of the Act (see Exclusions
section).
Subunit 2A: Sycamore Creek
The Sycamore Creek Subunit (also
known as Indian Truck Trail, north and
south) is 12.3 ac (5 ha) in area, and was
historically associated with Allium
munzii populations located on a terrace
escarpment, within grassland habitat on
clay soil overlying cobbles (Boyd 1988,
p. 4; CNDDB 2011a, EO 3). This location
is believed to have contained the type
locality collected by Munz in 1922
(CNDDB 2011a).
This subunit previously contained
CNDDB EO 8, which was extirpated
when Allium munzii bulbs were
removed from areas proposed for
development of a residential complex
(Sycamore Creek Project), and is now
combined with EO 3 (CNDDB 2011a). A
portion of the original population of A.
munzii was preserved onsite and was
placed within a conservation easement;
additional clay soils were relocated to
this easement area and another planning
area for the purpose of restoring A.
munzii habitat within Riversidean sage
scrub habitat (Service 2001a, p. 10;
Helix Environmental Planning 2010, p.
2). Allium munzii bulbs removed from
areas proposed for development were
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later transplanted to three areas that are
contained within this subunit.
Transplantations were conducted in
2004, 2008, and 2009 with over 525
bulbs installed in the conservation areas
(Helix Environmental Planning 2010,
pp. 3–5). In November 2010, 310
additional bulbs were installed in four
new plots bringing the transplant total
to 820 bulbs for this site (Helix
Environmental Planning 2010, pp. 5,
13). In the spring of 2011, 678 plants (83
percent) produced leaves, 533 (65
percent) produced flowers, and 205 (25
percent) produced seeds (Helix
Environmental Planning 2011, p. 13).
The Army Corps of Engineers Clean
Water Act section 404 permit conditions
and conservation measures established
in the Service’s biological opinion for
the Sycamore Creek Project (Service
2001a, p. 10) also require maintenance
and monitoring of the transplant areas
and restoration of Riversidean sage
scrub habitat supporting A. munzii;
these are included as part of the Habitat
Mitigation and Monitoring Plan for the
Sycamore Creek Specific Plan (The
Planning Associates 2002). Nonnative
plants represent a threat at this subunit.
In 2011, invasive plant control
(weeding, spot spraying) was conducted
as part of required maintenance
activities (Helix Environmental
Planning 2011, p. 10). The subsurface
geology, clay soils, and native habitat
(PCE 1) within the onsite conservation
areas comprise the physical or
biological features essential to the
conservation of A. munzii.
Subunit 2B: De Palma Road
The De Palma Road subunit (12.8 ac
(5.2 ha)) is located about 1 mi (1.6 km)
southeast of the Sycamore Creek subunit
along Temescal Wash. This occurrence
of Allium munzii is found on Altamont
clay soils with 15 to 25 percent slopes
within nonnative grasses and sage scrub
vegetation (Dudek 2011, p. 2). Grazing,
displacement by nonnative invasive
plants, and development pressures have
been previously described (CNDDB
2011a, EO 7) as threats to this
population given its close proximity to
Interstate 15. As a result of proposed
grading improvements to De Palma
Road and a proposed Saddleback Estates
residential development, a salvage and
relocation operation was implemented
in December 2007 for locations of A.
munzii to be impacted by the grading
footprint of the project (Dudek 2011, p.
v). The proposed conservation area
(containing three separate preserves)
was designed to encompass most of the
existing A. munzii plants, while
individual plants outside the preserve
areas were translocated onto a portion of
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the preserve not known to support this
taxon (Dudek 2011, p. 2). Subsequent to
translocation, a maintenance and
monitoring program was initiated. The
2010 survey found a total of 1,195
flowering individuals within the
translocation area, and maintenance
activities were conducted including
weed and rodent control (Dudek 2011,
pp. v–vi). A conservation easement was
to be placed over the proposed preserve
areas; however, the proposed
development did not go forward and
Riverside County is currently managing
the area until the disposition of the
parcel is finalized.
This subunit includes Altamont clay
soils within the terrace escarpments on
the west side of Temescal Wash. This
physiographic setting containing the
substrate components (Altamont clay
soils) and suitable conditions
(vegetation and microhabitat) (PCE 1)
for the growth of Allium munzii
provides the physical or biological
features essential to the conservation of
this species.
Subunit 2C: Alberhill Mountain
The Alberhill Mountain subunit is
300.5 ac (121.6 ha) of private land.
Allium munzii occurs on clay soils in
coastal sage scrub vegetation on the
south slope directly adjacent to open pit
clay mines (CNDDB 2011a, EO 6).
Extensive mining of clay in the early
1980s resulted in the loss of two
locations of plants (CNDDB 2011a), and
Boyd (Boyd 1988, p. 2) speculated that
the plant population in this area was
once much larger. Surveys conducted by
Western Riverside County RCA in 2008
recorded 9 localities ranging from 10 to
150 plants (Drennen 2011, pers. comm.).
Threats to this subunit include a
planned electrical subtransmission line
and related infrastructure (power poles,
equipment, construction impacts) (State
of California Public Utilities
Commission 2010). Potential impacts
will vary depending on the exact route
selected (AMEC Earth and
Environmental Inc. 2006a, p. 2).
This subunit contains Altamont clay
soils (PCE 1) necessary for the growth of
Allium munzii. The minerals and
unique properties of this clay soil
provide the physical or biological
features essential to the conservation of
the species.
Although this subunit was not known
to be occupied at the time of listing in
1998, we believe it was occupied in
1998 because, as discussed in
Background section, it takes at least 3
years after seed germination for this
bulb-forming plant to produce flowers
(Wall 2012, pers. comm.). This location
was surveyed specifically for A. munzii
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by a qualified botanist in April 1999,
less than 1 year after listing; 12
flowering plants were found in 2
locations (Greene 1999, pers. comm.);
thus, based on its biology (growth
timeframe) as described above, plants
would have been present in 1998.
Additionally, as discussed in the
Background section, Allium munzii is
often difficult to observe in the field
(e.g., plants are dormant from midsummer through autumn) and is easily
overlooked without site-specific surveys
during ideal conditions for its life
history.
Subunit 2D: Alberhill Creek
The Alberhill Creek (Alberhill Marsh)
subunit (155.3 ac (62.8 ha)) is located on
private land in a grassland (native and
nonnative) community on a low hill
adjacent to a channel of the Temescal
Wash (CNDDB 2011a, EO 18). The
CNDDB EO was discovered on clay soils
in 2000; however, we believe it was
occupied at the time of listing given: (1)
The proximity and identical clay soil
association with the larger Subunit 2C,
which is located less than 1 mi (1.6 km)
to the northwest, and (2) as discussed in
the Background section, this bulbforming plant requires at least 3 years to
produce flowers from seed. Thus, for
flowering plants to be observed 2 years
after listing, we believe that plants in
the form of bulbs were present in this
subunit at the time of listing. In
addition, all of the lands within this
subunit are located on the clay soils to
which this species is restricted in
western Riverside County. As described
above (Subunit 2C), a segment of an
electrical subtransmission line is
proposed for this location. Other threats
to this subunit have not been
documented, but its proximity to
Interstate 15 and associated
development indicates some degree of
threat from urbanization and nonnative
grasses.
Subunit 2D is part of the same terrace
formation as the Alberhill Mountain
subunit, and contains the mineral-rich
clay soils, subsurface geology and
surface hydrology, and topography
components (PCE 1) that provide the
physical or biological features essential
to the conservation of this species.
Unit 3: Elsinore Peak
Unit 3 consists of 98.4 ac (39.8 ha).
This unit location is unchanged from
our previous proposed critical habitat
rule (69 FR 31569; June 4, 2004) and
was occupied at the time of listing;
however, we have redefined the
boundary of this unit to better match the
underlying clay soils and plant
populations observed since the final
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rule (70 FR 33015; June 7, 2005). About
two-thirds (63.1 ac (25.5 ha)) of the
Elsinore Peak unit is contained within
the Cleveland National Forest, and 35.3
ac (14.3 ha) is under State of California
(State Lands Commission) ownership
within the Western Riverside County
MSHCP Conservation Area. The unit
was surveyed by Western Riverside RCA
in 2005 and 2008 (Drennen 2011, pers.
comm.) and more comprehensively by
Boyd in 2010 (Boyd 2011c, pers.
comm.).
The Elsinore Peak unit represents the
southwesternmost extent of the range of
Allium munzii. Many of the occurrences
found on the Cleveland National Forest
within this unit are considered to be the
least disturbed and the highest recorded
elevation (3,300 to 3,500 ft (1 to 1.07
km)) for this species (Boyd and Mistretta
1991, p. 3). The plant populations
within this unit are also unusual in that
they are found on cobble deposits with
thinner Bosanko clay soils (PCE 2)
(Boyd and Mistretta 1991, p. 3). In 1991,
Boyd and Mistretta (1991, p. 2) reported
three stands of A. munzii at Elsinore
Peak of more than 1,000 individual
plants, with the largest an estimated
5,000 plants. Nine localities were
observed in a 2008 survey, with
populations ranging from 5 to 100
plants (Drennen 2011, pers. comm.). A
2010 survey at Elsinore Peak was
conducted by Boyd with approximately
23 general point localities recorded on
both U.S. Forest Service (USFS) and
State lands (Boyd 2011c, pers. comm.).
The subsurface and surface elements
that define this subunit, including clay
soils, sloping hillsides, and
microhabitats, provide the physical or
biological features essential to the
conservation of A. munzii.
Several threats to Allium munzii
populations within this unit were
identified at the time of listing,
including road grading, ORV activity,
and nonnative annual grasses;
recreational activity and invasive
species were identified as the two main
threats to occurrences on USFS land in
the 2005 Final Environmental Impact
Statement prepared for the Cleveland
National Forest Land Management Plan
(USFS 2005, p. 160). A species
management guide for A. munzii was
prepared in 1992 that identified a
number of management actions to help
alleviate these threats, including
construction of fencing and barriers to
protect populations from ORV activity
(Winter 1992, p. 10). Fencing, including
a gate, was installed to protect plant
populations, and boulders were placed
along the roadway leading to Elsinore
Peak to restrict ORV activity and other
traffic (hikers and mountain bikers) in
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sensitive areas. This has reduced the
level of impact from these threats to the
population of A. munzii plants located
on USFS land in this unit (Thomas
2011, pers. comm.).
tkelley on DSK3SPTVN1PROD with PROPOSALS3
Unit 4: South Perris and Bachelor
Mountain
Unit 4 consists of 186.8 ac (75.6 ha)
and is defined by occurrences of Allium
munzii found in the southern end of the
Perris Basin, including Bachelor
Mountain north of Lake Skinner. We are
proposing three subunits within this
unit based on their general proximity to
one another in southwestern Riverside
County. All subunits within this unit
are within the geographical area
occupied at the time of listing and
occupy clay soils at elevations ranging
from 1,420 to 2,300 ft (432 to 701 m)
AMSL (Ellstrand 1996, p. 4; CNDDB
2011a, EOs 4, 11, 12, and 14) and
contain the physical or biological
features that are essential to the
conservation of the species and may
require special management
considerations or protection to
minimize impacts from threats
described below for each subunit.
We are considering excluding
subunits of the South Perris and
Bachelor Mountain Unit that are within
the planning areas of the Western
Riverside County MSHCP, the Rancho
Bella Vista HCP, or the Southwestern
Riverside County Multi-species Reserve
from the final designation of Allium
munzii critical habitat under section
4(b)(2) of the Act (see Exclusions
section).
Subunit 4A: Scott Road
The Scott Road subunit (32.6 ac (13.2
ha)) is in the Paloma Valley of the South
Perris Basin, between Sun City and
Murrieta, east of Interstate 215 at an
elevation of about 1,500 ft (457 m)
AMSL. The habitat for this occurrence
was described in 1992 as a low knoll in
rocky clay soil within native grassland
and patches of coastal sage scrub
(CNDDB 2011a, EO 14). This occurrence
(also called McElhinney-Stimmel) was
surveyed in 2008 and 2011 by Western
Riverside RCA with five localities
reported in 2008 and one in 2011
(Drennen 2011, pers. comm.). In 2008,
Allium munzii was observed growing in
openings of dense stands of invasive
grass (Avena sp.) alongside native
grassland and coastal sage scrub
(Drennen 2011, pers. comm.). Nonnative
plants are considered a potential threat
to this subunit. This subunit contains
the physical or biological features
essential to the conservation of A.
munzii including clay soils and open
patches of native habitat at the
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appropriate elevation range (PCE 1) that
provide substrate and conditions
suitable for growth of this species.
The subunit is currently located
partially on land purchased by the
Western Riverside County RCA as a
result of a conservation measure for a
subdivision development (Service 2002,
p. 2) and partially within an off-site
preservation area resulting from a gas
pipeline project (Service 2001b, p. 35).
Subunit 4B: Skunk Hollow
The Skunk Hollow Subunit is 74.8 ac
(30.3 ha) and is located east of Murrieta
Hot Springs at the southern end of the
Perris Basin, just south of Tucalota
Creek. This occurrence is located on
north-facing slopes with clay soils,
within grassy openings in coastal sage
scrub (CNDDB 2011a, EO 4) at
approximately 1,420 ft (433 m) AMSL
(PCE 1). These substrate conditions,
suitable for growth and development,
comprise the physical or biological
features essential to the conservation of
this species.
A 1995 survey recorded a population
of about 250 plants prior to the
construction of an adjacent residential
development (McCollum Associates et
al. 1995, p. 21). The area occupied by
Allium munzii is currently conserved,
with long-term management provided
under the Rancho Bella Vista HCP
within a conservation area (Service
2000, pp. 4, 36).
Subunit 4C: Bachelor Mountain
The Bachelor Mountain subunit (79.3
ac (32.1 ha)) consists of three
occurrences (EOs 11, 12, and proposed
EO 24) of Allium munzii located north
of Lake Skinner, which includes two
occurrences known at the time of listing
and one occurrence not known at listing
(and not yet assigned an EO number by
CNDDB) but described in surveys
conducted prior to listing that were not
known to the Service at the time of
listing (69 plants in 1994 and 835 plants
in 1995) (Ellstrand 1994, pp. 3–4;
Ellstrand 1996, pp. 3–4). Therefore, all
of Subunit 4C is within the geographical
area occupied at the time of listing. The
three occurrences are located on clay
soils ranging in elevation from 1,476 to
2292 ft (450 to 699 m) AMSL, on sloping
hills that, collectively, represent one of
several distinct physio-geographic
features found in the Perris Basin.
Surveys in the southern part of this
subunit were conducted in 2008 and
2010. Plants were found primarily on
north-facing slopes in both native and
nonnative grassland communities
(Drennen 2011, pers. comm.). Threats to
this subunit include thatch build-up
from herbaceous plants including Avena
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spp. and Brassica spp. (CNDDB 2011a
EO 11). The substrate components and
mineral-rich soils, conditions suitable
for the growth of A. munzii (PCE 1),
comprise the physical or biological
features essential to the conservation of
this species.
All three of the CNDDB EOs located
within this subunit are within the
Southwestern Riverside County
Multiple Species Reserve (Reserve), a
Public/Quasi Public land designation of
the Western Riverside County MSHCP,
managed by Riverside County Parks.
The Reserve encompasses coastal sage
scrub, chaparral, grassland, oak
woodland, and riparian forest vegetative
communities between Lake Skinner and
Diamond Valley Lake (Monroe et al.
1992, p. ES–5).
Unit 5: North Domenigoni Hills
Unit 5 consists of 8.2 ac (3.3 ha) and
is occupied by Allium munzii north of
Diamond Valley Lake, in the
southeastern corner of the Perris Basin.
This population is located on rocky
loam soils on the northeast-facing slope
of a large prominent peak (2,160 ft (658
m)) of igneous rocks (CNDDB 2011a, EO
10). Previously described threats for this
unit (CNDDB 2011a) include mining
activities (the 1991 mapped populations
were located adjacent to an old quarry).
The most recent survey result for this
occurrence is from 2008, which
described the populations of A. munzii
as ‘‘locally uncommon’’ in openings of
coastal sage scrub (Drennan 2011, pers.
comm.). The underlying geology, soils,
and elevation (PCE 2) provide elements
suitable for the growth of A. munzii and
physical or biological features essential
to the conservation of this species.
These features may require special
management considerations or
protection to minimize impacts
resulting from potential threats such as
invasive nonnative species.
The North Domenigoni Hills Unit
occurs within the planning area of the
Southwestern Riverside County Multispecies Reserve and is managed by
Riverside County Parks. We are
considering excluding this unit under
section 4(b)(2) of the Act (see Exclusions
section).
Atriplex coronata var. notatior
We are proposing three units as
critical habitat for Atriplex coronata var.
notatior. The areas we describe below
constitute our current best assessment of
areas that meet the definition of critical
habitat for A. c. var. notatior. The units
we propose as critical habitat are: (1)
San Jacinto River (Unit 1), (2) Upper
Salt Creek (Unit 2), and (3) Alberhill
Creek (Unit 3). The approximate area of
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increased in recent years as smaller flow
events have caused failure of the
Diversion Channel levees and flooding
of agricultural lands in the San Jacinto
Gap region (Tetra Tech and WRIME
2007, Appendix A, p. 1). During
extreme rainfall events the storage
capacity of the lake can be exceeded,
causing overflow back into the San
Jacinto River and subsequent transport
of nutrient-laden water into the
floodplain of the river (Tetra Tech and
WRIME 2007, p. 28). Proposed water
quality projects in this portion of the
San Jacinto River are being considered
in an effort to convey water directly to
Mystic Lake to help reduce the nutrient
loading during certain storm events
(Tetra Tech and WRIME 2007, p. F–97)
into the San Jacinto River and the
surrounding floodplain habitat where
Atriplex coronata var. notatior occurs.
The Atriplex coronata var. notatior
localities (locations of plants) that
occupy the northern portion of the San
Jacinto Unit (San Jacinto Wildlife Area
including Mystic Lake) are primarily
found within alkali sink habitat,
including alkali grassland and scrub
(Bramlet 1996, p. 10). This native
habitat is threatened by reduced water
quality, invasive and weedy plant
species introduced as food sources for
waterfowl, and alteration of habitat for
duck ponds (Roberts and McMillan
1997, p. 2). This upper portion of the
Unit 1 includes the locations of
Atriplex coronata var. notatior within
the floodplain of the San Jacinto River
at the San Jacinto Wildlife Area
(including Mystic Lake) and the
floodplain of the San Jacinto River
between the Ramona Expressway and
Railroad Canyon Reservoir, which total
7,039 ac (2,849 ha). Of this total, 4,096
ac (1,658 ha) are privately owned and
2,396 ac (970 ha) are owned by CDFG
as part of the San Jacinto Wildlife Area,
which is managed primarily for the
purpose of waterfowl conservation. The
remaining is other State or local land as
shown in Table 2.
The hydrological conditions of this
unit are defined by precipitation events
resulting from winter storms, summer
storms, and local thunderstorms, with
major flood events for the San Jacinto
River occurring almost exclusively
during winter storms (Bryant 1975, pp.
13, 15; Tetra Tech and WRIME 2007, pp.
30–31; Riverside County Flood Control
and Water Conservation District History
2011). Runoff flows into Mystic Lake
from the valley and, during large flow
events, from the upper San Jacinto River
(Tetra Tech and WRIME 2007, p. 28).
Overland flows across active
agricultural lands into Mystic Lake can
transport sediments containing
nutrients into the lake; this has
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unit is within the geographical area
occupied at the time of listing, and the
physical or biological features essential
to the conservation of the taxon may
require special management
considerations or protection to
minimize impacts from the threats listed
above. The most recent survey results
for A. c. var. notatior in the northern
portion of the unit, from 2007 to 2010,
identified 6 point locations ranging from
1 to 60 individual plants (Western
Riverside County RCA 2007, 2008, 2009,
2011; Malisch 2010, pers. comm.).
Downstream from Mystic Lake, the
San Jacinto River forms a wide fluvial
plain. This floodplain is often dry due
to groundwater infiltration enhanced by
low groundwater levels from excessive
pumping and limited recharge (Tetra
Tech and WRIME 2007, p. 28), which
alter the seasonal flooding cycle. The
lower portion of this unit, the floodplain
of the San Jacinto River between the
Ramona Expressway and Railroad
Canyon Reservoir, is also within the
geographical area occupied at the time
of listing. This portion of the San Jacinto
floodplain (soils and hydrologic
conditions) provide the features that are
essential to the conservation of the
taxon and may require special
management considerations and
protection to minimize impacts from
threats including activities identified at
the time of listing (invasive weedy plant
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land ownership within these units is
shown in Table 2 below.
Unit 1: San Jacinto River
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species and nonagriculture-related
clearing, agricultural activity) (Bramlet
1996, p. 14, Roberts and McMillan 1997,
p. 3–4; White 2009, pers. comm.;
Roberts 2010b, pers. comm.). Much of
the area has been converted to
agriculture or impacted by the addition
of soil amendments (primarily manure
dumping), which alters the alkaline
properties of the soil and creates
conditions that increase competition
from other plants, including nonnative
plants such as Brassica nigra (black
mustard) and Salsola tragus (Russian
thistle) (Roberts 2010a, pers. comm.).
There are also indications that sheep
grazing has affected A. c. var. notatior
habitat in the Ramona Expressway to
Railroad Canyon portion of this unit
(CNDDB 2011b, EO 7).
The localities of Atriplex coronata
var. notatior found within the San
Jacinto Unit (including the San Jacinto
Wildlife Area) depend upon the San
Jacinto River for supporting
hydrological conditions as described
above. Seasonal ponding or flooding
within the floodplain of the river
inundates the alkali sink habitat, and
creates a slow-moving flow of water that
provides appropriate hydrological
growth and survival conditions and
allows for seed dispersal (PCE 1 and 2).
These elements provide the physical or
biological features that are essential to
the conservation of A. c. var. notatior.
Within the San Jacinto River Unit, we
are considering excluding lands
contained within the Western Riverside
County MSHCP planning area under
section 4(b)(2) of the Act (see Exclusions
section).
Unit 2: Upper Salt Creek
Unit 2 includes the Upper Salt Creek
localities of Atriplex coronata var.
notatior and comprises 874 ac (354 ha),
603 ac (244 ha) of which is privately
owned and 271 ac (110 ha) is local land.
This unit is within the geographical area
occupied at the time of listing and is
located in a natural depression within
the old Salt Creek tributary within the
Salt Creek watershed. Salt Creek, which
drains westward toward Winchester,
rejoins the San Jacinto River at Railroad
Canyon and represents one of the major
tributaries to Canyon Lake (Tetra Tech
and WRIME 2007, p. 29). Historically,
winter storm events created surface
runoff producing intense peak flow
events and scouring along the water
supply channel; this can be seen in
historical aerial photos (such as April
1980 following severe flood events in
February 1980). Currently, rainfall
collects within pools on slow-drainage
alkaline soils, which contain remnants
of an alkali vernal floodplain complex
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with similarly adapted plants and
wildlife. Much of the area is still subject
to flooding during modest flood events
(RECON 1995, p. 34). The Upper Salt
Creek Unit is bisected north to south by
the San Diego Aqueduct Canal and
currently includes open fields and cow
pastures within the remaining alkaline
vernal pool, alkaline grassland, and
alkali sink scrub habitats (RECON 1995,
pp. 15, 17; CNDDB 2011b, EO 9).
Additionally, historical drainage
patterns in the Upper Salt Creek Unit
are disrupted by local roads, road
ditches, and agricultural drainage
ditches that reduce the degree and
duration of ponding during the wet
season (RECON 1995, p. 18).
Atriplex coronata var. notatior habitat
within the Upper Salt Creek Unit is
threatened by agricultural activities,
including dryland farming, sheep
grazing, invasion of nonnative plant
species, alteration of hydrology,
fragmentation, and fire management
practices (Bramlet 1992, pers. comm.;
Roberts 2005, pers. comm.; Roberts and
McMillan 1997, p. 4–5; CH2M Hill
2010, Appendix B pp. 2–4; CNDDB
2011b, EOs 9 and 10). A proposed rightof-way for the realignment of State
Route 79 is located just outside the
boundaries of this unit (Riverside
County Transportation Commission
2011).
Surveys conducted prior to listing
include a 1995 report on the
distribution of wetlands and sensitive
species within a large (1,400 ac (567 ha))
portion of the Upper Salt Creek drainage
system, which summarized existing
records, aerial photography, and direct
observations (RECON 1995).
Approximately 33 localities of Atriplex
coronata var. notatior were reported
ranging from less than 100 to
approximately 9,000 for a total of
approximately 31,400 plants (RECON
1995, p. 25, Figure 6). As an illustration
of the variability in observed individual
plants in this location, a final report for
focused surveys within 45 ac (18.21 ha)
of mitigation land (Metropolitan Water
District of Southern California) located
within the Upper Salt Creek floodplain
indicated a range of 16,500 individuals
of A. c. var. notatior in 1996 and an
estimated 136,948 individuals in 2001,
with an aerial extent ranging from 9.7
acres (3.93 ha) to 12.66 ac (5.12 ha)
during the same time period (AMEC
Earth and Environmental Inc. 2001, p.
3).
Comprehensive sensitive plant
surveys related to this proposed project
were also conducted in the Upper Salt
Creek area in 2005 and 2006 with over
100,000 individual Atriplex coronata
var. notatior plants recorded within 555
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localities within this unit (CH2M Hill
2010, p. 5–59). A less comprehensive
survey in May 2009 recorded
approximately 246 individual plants in
four locations within this unit (Malisch
2010, pers. comm.).
This unit contains the physical or
biological features essential to the
conservation of Atriplex coronata var.
notatior including Willows-TraverChino soils, alkali grassland and
alkaline playa habitats, and periodic
ponding or flooding (PCE 1 and 2),
which provide substrate and conditions
suitable for growth of this taxon. These
physical or biological features may
require special management
considerations or protection to
minimize impacts resulting from the
threats as defined above.
Within the Upper Salt Creek Unit, we
are considering excluding lands
contained within the Western Riverside
County MSHCP planning area under
section 4(b)(2) of the Act (see Exclusions
section).
Unit 3: Alberhill Creek
The Alberhill Creek Unit comprises
107 ac (43 ha), of which 33 ac (13.5 ha)
are privately owned and 74 ac (30 ha)
under local land ownership (see Table
4). The unit occurs within the
floodplain of Alberhill Creek within an
alkali playa that is dependent on the
creek for its hydrology and seasonal
flooding. Alberhill Creek is part of the
larger Temescal Wash region of western
Riverside County, which drains the
Gavilan Hills region and the
northeastern slope of the Santa Ana
Mountains (Boyd 1983, p. 13). This
floodplain is subject to periodic
flooding, which produces ponding and
scouring (as observed in aerial photos
from 1980 and 2010), including seasonal
overflow of water from Lake Elsinore.
These hydrologic elements, along with
Willows-Travers-Chino soils and alkali
floodplain habitat in Alberhill Creek
(PCE 1 and 2), comprise the physical or
biological features that are essential to
the conservation of Atriplex coronata
var. notatior.
Two locations of Atriplex coronata
var. notatior are known to exist in this
unit (AMEC Earth and Environmental
2006b, p. 26; CNDDB 2011b, EO16). The
locality at the Nichols Road wetland
(near the mouth of Walker Canyon),
which contains alkali marsh and alkali
playa habitat on Willows soils,
consisted of 185 plants in 1987 (CNDDB
2011b, EO 16). The second locality of A.
c. var. notatior, also on Willows soils,
comprises nonnative grassland and
alkali marsh habitat where 10 plants
were discovered in 2006 adjacent to
Baker Road, just south of Nichols Road
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(AMEC Earth and Environmental Inc.
2006b, p. 29). The Alberhill Creek Unit
is located in an increasingly urbanized
area and is subject to the threat of
human-caused disturbance, including
impacts related to a proposed
subtransmission line associated with a
recently completed electrical power
substation (State of California Public
Utilities Commission 2007; State of
California Public Utilities Commission
2010).
As noted above (see Background
section—Spatial Distribution, Historical
Range, and Population Size), there is
significant natural variability in
numbers of observed individuals of
Atriplex coronata var. notatior in
response to annual rainfall, extent and
distribution of flooding, and
temperature. Differences in survey
methodologies and proportion of range
surveyed may also contribute to
differences in annual counts of
individuals and therefore reporting of
locations of A. c. var. notatior; however,
both locations of A. c. var. notatior
within this subunit are found on the
Willows soils of the Temescal
floodplain and are within one-quarter
mile (365 meters) of each other. All of
Unit 3 is therefore within the
geographical area occupied at the time
of listing, and the unit provides the
physical or biological features that are
essential to the conservation of this
taxon and may require special
management considerations and
protection.
Within the Alberhill Creek Unit, we
are considering excluding lands
contained within the Western Riverside
County MSHCP planning area under
section 4(b)(2) of the Act (see Exclusions
section).
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Effects of Critical Habitat Designation
Section 7 Consultation
Section 7(a)(2) of the Act requires
Federal agencies, including the Service,
to ensure that any action they fund,
authorize, or carry out is not likely to
jeopardize the continued existence of
any endangered species or threatened
species or result in the destruction or
adverse modification of designated
critical habitat of such species. In
addition, section 7(a)(4) of the Act
requires Federal agencies to confer with
the Service on any agency action which
is likely to jeopardize the continued
existence of any species proposed to be
listed under the Act or result in the
destruction or adverse modification of
proposed critical habitat.
Decisions by the 5th and 9th Circuit
Courts of Appeals have invalidated our
regulatory definition of ‘‘destruction or
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adverse modification’’ (50 CFR 402.02)
(see Gifford Pinchot Task Force v. U.S.
Fish and Wildlife Service, 378 F. 3d
1059 (9th Cir. 2004) and Sierra Club v.
U.S. Fish and Wildlife Service et al., 245
F.3d 434, 442 (5th Cir. 2001)), and we
do not rely on this regulatory definition
when analyzing whether an action is
likely to destroy or adversely modify
critical habitat. Under the statutory
provisions of the Act, we determine
destruction or adverse modification on
the basis of whether, with
implementation of the proposed Federal
action, the affected critical habitat
would continue to serve its intended
conservation role for the species.
If a Federal action may affect a listed
species or its critical habitat, the
responsible Federal agency (action
agency) must enter into consultation
with us. Examples of actions that are
subject to the section 7 consultation
process are actions on State, Tribal,
local, or private lands that require a
Federal permit (such as a permit from
the U.S. Army Corps of Engineers under
section 404 of the Clean Water Act (33
U.S.C. 1251 et seq.) or a permit from the
Service under section 10 of the Act) or
that involve some other Federal action
(such as funding from the Federal
Highway Administration, Federal
Aviation Administration, or the Federal
Emergency Management Agency).
Federal actions not affecting listed
species or critical habitat, and actions
on State, Tribal, local, or private lands
that are not federally funded or
authorized, do not require section 7
consultation.
As a result of section 7 consultation,
we document compliance with the
requirements of section 7(a)(2) through
our issuance of:
(1) A concurrence letter for Federal
actions that may affect, but are not
likely to adversely affect, listed species
or critical habitat; or
(2) A biological opinion for Federal
actions that may affect, and are likely to
adversely affect, listed species or critical
habitat.
When we issue a biological opinion
concluding that a project is likely to
jeopardize the continued existence of a
listed species and/or destroy or
adversely modify critical habitat, we
provide reasonable and prudent
alternatives to the project, if any are
identifiable, that would avoid the
likelihood of jeopardy and/or
destruction or adverse modification of
critical habitat. We define ‘‘reasonable
and prudent alternatives’’ (at 50 CFR
402.02) as alternative actions identified
during consultation that:
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(1) Can be implemented in a manner
consistent with the intended purpose of
the action,
(2) Can be implemented consistent
with the scope of the Federal agency’s
legal authority and jurisdiction,
(3) Are economically and
technologically feasible, and
(4) Would, in the Director’s opinion,
avoid the likelihood of jeopardizing the
continued existence of the listed species
and/or avoid the likelihood of
destroying or adversely modifying
critical habitat.
Reasonable and prudent alternatives
can vary from slight project
modifications to extensive redesign or
relocation of the project. Costs
associated with implementing a
reasonable and prudent alternative are
similarly variable.
Regulations at 50 CFR 402.16 require
Federal agencies to reinitiate
consultation on previously reviewed
actions in instances where we have
listed a new species or subsequently
designated critical habitat that may be
affected and the Federal agency has
retained discretionary involvement or
control over the action (or the agency’s
discretionary involvement or control is
authorized by law). Consequently,
Federal agencies sometimes may need to
request reinitiation of consultation with
us on actions for which formal
consultation has been completed, if
those actions with discretionary
involvement or control may affect
subsequently listed species or
designated critical habitat.
Application of the ‘‘Adverse
Modification’’ Standard
The key factor related to the adverse
modification determination is whether,
with implementation of the proposed
Federal action, the affected critical
habitat would continue to serve its
intended conservation role for the
species. Activities that may destroy or
adversely modify critical habitat are
those that alter the physical or
biological features to an extent that
appreciably reduces the conservation
value of critical habitat for Allium
munzii and Atriplex coronata var.
notatior. As discussed above, the role of
critical habitat is to support life-history
needs of these taxa and provide for the
conservation of these taxa.
Section 4(b)(8) of the Act requires us
to briefly evaluate and describe, in any
proposed or final regulation that
designates critical habitat, activities
involving a Federal action that may
destroy or adversely modify such
habitat, or that may be affected by such
designation.
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Activities that may affect critical
habitat, when carried out, funded, or
authorized by a Federal agency, should
result in consultation for Allium munzii
and Atriplex coronata var. notatior.
These activities include, but are not
limited to, the following for each of the
taxa:
Allium munzii
Actions that alter the physical
characteristics of mesic clay and rockysandy loamy soils (within rock
outcrops) and microhabitats of these
soils, or that create conditions that
facilitate the spread of invasive
nonnative plants, especially nonnative
annual grasses, into these habitats
would adversely affect the proposed
critical habitat. Such activities could
include (but are not limited to): Grading
or disking for dryland farming, clay
mining, urban and related infrastructure
development, ORV activity, animal
grazing, fire management, and alteration
of hydrology (such as impoundment or
channelization). These activities could
eliminate or reduce the amount of
habitat necessary to support Allium
munzii, a narrow endemic taxon
restricted to clay and rocky-sandy loamy
soils within localized microhabitats.
Atriplex coronata var. notatior
Actions that alter the physical
characteristics of alkali playa, alkali
scrub, and alkali grassland habitats or
fragment these areas, including
reduction of water quality, alteration of
the hydrology and floodplain dynamics,
or an increase in the occurrence of
nonnative plant species in these habitats
would adversely affect the proposed
critical habitat. Such activities could
include (but are not limited to): urban
development, manure dumping, animal
grazing, grading or disking for
agriculture, ORV activity, alteration of
hydrology (such as impoundment or
channelization), and soil chemistry.
These activities could eliminate or
fragment habitats that provide essential
soil and hydrological characteristics to
support Atriplex coronata var. notatior.
Exemptions
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Application of Section 4(a)(3)(B) of the
Act
The Sikes Act Improvement Act of
1997 (Sikes Act) (16 U.S.C. 670a)
required each military installation that
includes land and water suitable for the
conservation and management of
natural resources to complete an
integrated natural resource management
plan (INRMP) by November 17, 2001.
An INRMP integrates implementation of
the military mission of the installation
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with stewardship of the natural
resources found on the base. Each
INRMP includes:
(1) An assessment of the ecological
needs on the installation, including the
need to provide for the conservation of
listed species;
(2) A statement of goals and priorities;
(3) A detailed description of
management actions to be implemented
to provide for these ecological needs;
and
(4) A monitoring and adaptive
management plan.
Among other things, each INRMP
must, to the extent appropriate and
applicable, provide for fish and wildlife
management; fish and wildlife habitat
enhancement or modification; wetland
protection, enhancement, and
restoration where necessary to support
fish and wildlife; and enforcement of
applicable natural resource laws.
The National Defense Authorization
Act for Fiscal Year 2004 (Pub. L. 108–
136) amended the Act to limit areas
eligible for designation as critical
habitat. Specifically, section 4(a)(3)(B)(i)
of the Act (16 U.S.C. 1533(a)(3)(B)(i))
now provides: ‘‘The Secretary shall not
designate as critical habitat any lands or
other geographic areas owned or
controlled by the Department of
Defense, or designated for its use, that
are subject to an integrated natural
resources management plan prepared
under section 101 of the Sikes Act (16
U.S.C. 670a), if the Secretary determines
in writing that such plan provides a
benefit to the species for which critical
habitat is proposed for designation.’’
There are no Department of Defense
lands that meet the definition of critical
habitat for Allium munzii or Atriplex
coronata var. notatior and, as a result,
no lands are being exempted under
section 4(a)(3)(B) of the Act.
Exclusions
Application of Section 4(b)(2) of the Act
Section 4(b)(2) of the Act states that
the Secretary shall designate and make
revisions to critical habitat on the basis
of the best available scientific data after
taking into consideration the economic
impact, national security impact, and
any other relevant impact of specifying
any particular area as critical habitat.
The Secretary may exclude an area from
critical habitat if he determines that the
benefits of such exclusion outweigh the
benefits of specifying such area as part
of the critical habitat, unless he
determines, based on the best scientific
data available, that the failure to
designate such area as critical habitat
will result in the extinction of the
species. In making that determination,
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the statute on its face, as well as the
legislative history are clear that the
Secretary has broad discretion regarding
which factor(s) to use and how much
weight to give to any factor.
In considering whether to exclude a
particular area from the designation, we
identify the benefits of including the
area in the designation, identify the
benefits of excluding the area from the
designation, and evaluate whether the
benefits of exclusion outweigh the
benefits of inclusion. If the analysis
indicates that the benefits of exclusion
outweigh the benefits of inclusion, the
Secretary may exercise his discretion to
exclude the area only if such exclusion
would not result in the extinction of the
species.
When identifying the benefits of
inclusion for an area, we consider the
additional regulatory benefits that area
would receive from the protection from
adverse modification or destruction as a
result of actions with a Federal nexus;
the educational benefits of mapping
essential habitat for recovery of the
listed species; and any benefits that may
result from a designation due to State or
Federal laws that may apply to critical
habitat.
When identifying the benefits of
exclusion, we consider, among other
things, whether exclusion of a specific
area is likely to result in conservation;
the continuation, strengthening, or
encouragement of partnerships; or
implementation of a management plan
that provides equal or greater
conservation benefits than a critical
habitat designation would provide. For
example, we consider our continued
ability to seek new partnerships with
future plan participants, including the
State, counties, local jurisdictions,
conservation organizations, and private
landowners, which together can
implement conservation actions that we
would be unable to accomplish
otherwise. If lands within approved
management plan areas are designated
as critical habitat, there would likely be
a negative effect on our existing
partnerships and our ability to establish
new partnerships to develop and
implement these plans, particularly
plans that address landscape-level
conservation of species and habitats. By
excluding these lands, we preserve our
current partnerships, promote future
partnerships, and encourage additional
conservation actions in the future.
In the case of Allium munzii and
Atriplex coronata var. notatior, the
benefits of critical habitat include
public awareness of A. munzii and A. c.
var. notatior presence and the
importance of habitat protection, and in
cases where a Federal nexus exists,
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increased habitat protection for A.
munzii and A. c. var. notatior due to the
protection from adverse modification or
destruction of critical habitat.
When we evaluate the existence of a
conservation plan, we consider a variety
of factors, including, but not limited to,
whether the plan is finalized, how it
provides for the conservation of the
essential physical or biological features,
whether there is a reasonable
expectation that the conservation
management strategies and actions
contained in a management plan will be
implemented into the future, whether
the conservation strategies in the plan
are likely to be effective, and whether
the plan contains a monitoring program
or adaptive management to ensure that
the conservation measures are effective
and can be adapted in the future in
response to new information.
After identifying the benefits of
inclusion and the benefits of exclusion,
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we carefully weigh the two sides to
determine whether the benefits of
exclusion outweigh those of inclusion.
If our analysis indicates that the benefits
of exclusion outweigh the benefits of
inclusion, we then determine whether
exclusion would result in extinction. If
exclusion of an area from critical habitat
will result in extinction, we will not
exclude it from the designation.
Based on the information provided by
entities seeking exclusion, as well as
any additional public comments we
receive, we will evaluate whether
certain lands in the proposed revised
critical habitat are appropriate for
exclusion from the final designation
pursuant to section 4(b)(2) of the Act. If
the analysis indicates that the benefits
of excluding lands from the final
designation outweigh the benefits of
designating those lands as critical
habitat, then the Secretary may exercise
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23031
his discretion to exclude the lands from
the final designation.
We specifically solicit comments on
the inclusion or exclusion of such areas
(see Public Comments section above). A
detailed analysis of our consideration to
exclude these lands under section
4(b)(2) of the Act is provided below
under the Exclusions Based on Other
Relevant Impacts section.
Allium munzii
We are currently considering
excluding the following 790 ac (320 ha)
from the critical habitat designation for
Allium munzii under section 4(b)(2) of
the Act. Table 3 below provides
approximate areas (ac, ha) of lands that
meet the definition of critical habitat
that we intend to exclude under section
4(b)(2) of the Act from the final critical
habitat rule.
BILLING CODE 4310–55–P
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lands that meet the definition of critical
habitat that we intend to exclude under
section 4(b)(2) of the Act from the final
critical habitat rule.
Exclusions Based on Economic Impacts
Under section 4(b)(2) of the Act, we
consider the economic impacts of
specifying any particular area as critical
habitat. In order to consider economic
impacts, we are preparing an analysis of
the economic impacts of the proposed
revised critical habitat designation and
related factors.
We prepared and finalized an analysis
of the economic impacts for the
previous proposed critical habitat
designation for Allium munzii
(Economic & Planning Systems, Inc.
2005). Only USFS lands at Elsinore Peak
within the Cleveland National Forest
were proposed as critical habitat in the
2004 proposed rule (69 FR 31569; June
4, 2004). The economic analysis
determined retrospective costs (costs
since listing, 1998 to 2004) to the USFS
of $9,938 and total prospective costs
(from 2005 to 2025) of $33,849. No
lands were excluded from critical
habitat in our final designation based on
economic impact under section 4(b)(2)
of the Act (70 FR 33015; June 7, 2005).
We prepared and finalized an analysis
of the economic impacts for the
previous proposed critical habitat
designation for Atriplex coronata var.
notatior (Northwest Economic
Associates 2005). Because no lands were
proposed for designation of critical
habitat in the previous proposed rule
(69 FR 59844; October 6, 2004), we
determined there was no economic
impact to landowners or agencies (70 FR
59952; October 13, 2005).
The prior economic analyses for
Allium munzii and Atriplex coronata
var. notatior included costs coextensive
with the listing of both plants (in other
words, costs attributable to listing the
species as well as costs attributable to
the designation of critical habitat).
Because the Act directs the Secretary to
consider the economic impacts of
specifying any particular area as critical
habitat, we believe the appropriate
framework for analysis is to compare the
costs associated with actions in a world
with critical habitat to those costs likely
to be incurred in the absence of critical
habitat designation. Our new analysis
will therefore focus on the specific costs
attributable to designating the areas
proposed in this rule as critical habitat.
We will announce the availability of
a new draft economic analysis on this
proposed revised designation of critical
habitat for Allium munzii and Atriplex
coronata var. notatior as soon as it is
completed, at which time we will seek
public review and comment. At that
time, copies of the draft economic
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habitat designation for Atriplex
coronata var. notatior under section
4(b)(2) of the Act. Table 4 below
provides approximate areas (ac, ha) of
EP17AP12.025
We are considering excluding all of
the following areas from the critical
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Atriplex coronata var. notatior
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analysis will be available for
downloading from the Internet at
https://www.regulations.gov, or by
contacting the Carlsbad Fish and
Wildlife Office directly (see FOR
FURTHER INFORMATION CONTACT section).
During the development of a final
designation, we will consider economic
impacts, public comments, and other
new information, and areas may be
excluded from the final critical habitat
designation under section 4(b)(2) of the
Act and our implementing regulations at
50 CFR 424.19.
Exclusions Based on National Security
Impacts
Under section 4(b)(2) of the Act, we
consider whether there are lands owned
or managed by the Department of
Defense where a national security
impact might exist. In preparing this
proposal, we have determined that the
lands within the proposed revised
designation of critical habitat for Allium
munzii and Atriplex coronata var.
notatior are not owned or managed by
the Department of Defense, and,
therefore, we anticipate no impact on
national security. Consequently, the
Secretary is not currently considering
exercising his discretion to exclude any
areas from the final designation based
on impacts on national security.
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Exclusions Based on Other Relevant
Impacts
Under section 4(b)(2) of the Act, we
consider any other relevant impacts in
addition to economic impacts and
impacts on national security. We
consider a number of factors, including
whether the landowners have developed
any HCPs or other management plans
for the area, or whether there are
conservation partnerships that would be
encouraged by designation of, or
exclusion from, critical habitat. In
addition, we look at any tribal issues,
and consider the government-togovernment relationship of the United
States with tribal entities. We also
consider any social impacts that might
occur because of the designation.
Land and Resource Management Plans,
Conservation Plans, or Agreements
Based on Conservation Partnerships
When evaluating a current land
management or conservation plan (HCPs
as well as other types of plans) and the
habitat management or protection it
provides, we consider a number of
factors including, but not limited to, the
following:
(1) Whether the plan is complete and
provides an equivalent or higher level of
protection from adverse modification or
destruction than that provided through
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a consultation under section 7 of the
Act;
(2) Whether there is a reasonable
expectation that the conservation
management strategies and actions will
be implemented into the foreseeable
future, based on past practices, written
guidance, or regulations; and
(3) Whether the plan provides
conservation strategies and measures
consistent with currently accepted
principles of conservation biology.
Portions of the proposed revised
critical habitat units for Allium munzii
and all of the proposed revised critical
habitat units for Atriplex coronata var.
notatior may warrant exclusion from the
designation of critical habitat under
section 4(b)(2) of the Act based on the
partnerships, management, and
protection afforded under these
approved and legally operative HCPs
that are equal to or more protective than
the benefits provided by, critical habitat
designation.
We believe that the Western Riverside
County MSHCP, the Lake Mathews
MSHCP, and the Rancho Bella Vista
HCP described below fulfill the above
criteria, and are considering excluding
non-Federal lands covered by these
HCPs that provide for the conservation
of Allium munzii and Atriplex coronata
var. notatior. All permittee-owned or
controlled lands that fall within the
boundaries of the Western Riverside
County MSHCP or other HCPs described
herein are being considered for
exclusion (see Other Habitat
Conservation Plans section below).
We believe that the Southwestern
Riverside County Multi-species Reserve
Cooperative Management Agreement
also meets the criteria listed above; thus
we are considering excluding nonFederal lands proposed as critical
habitat for Allium munzii that are in the
Reserve covered by this agreement (see
discussion below).
In this proposed revised rule, we are
seeking input from the Western
Riverside County MSHCP, other HCP
stakeholders (Rancho Bella Vista HCP
and Lake Mathews MSHCP), the parties
to the Southwestern Riverside County
Multi-Species Reserve Cooperative
Management Agreement, and the public
(see Public Comments section) as to
reasons supporting whether or not the
Secretary should exercise his discretion
to exclude these areas from the final
critical habitat designation.
Western Riverside County Multiple
Species Habitat Conservation Plan
(Western Riverside County MSHCP)
The Western Riverside County
MSHCP is a regional, multijurisdictional HCP encompassing
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approximately 1.26 million ac (510,000
ha) of land in western Riverside County.
The Western Riverside County MSHCP
is a multispecies conservation program
designed to minimize and mitigate the
expected loss of habitat and associated
incidental take of covered species
resulting from covered development
activities in the plan area. The Western
Riverside County MSHCP addresses 146
listed and unlisted ‘‘covered species,’’
including Allium munzii and Atriplex
coronata var. notatior, which are further
considered as ‘‘Covered Species
Adequately Conserved;’’ that is, those
where the species objectives are met and
that are provided take authorization
through the Natural Community
Conservation Planning (NCCP) Permit
(Dudek and Associates 2003, Section 9.2
and Table 9–3). On June 22, 2004, the
Service issued a single incidental take
permit under section 10(a)(1)(B) of the
Act to 22 permittees under the Western
Riverside County MSHCP to be in effect
for a period of 75 years (Service 2004).
The Western Riverside County
MSHCP, when fully implemented, will
establish approximately 153,000 ac
(61,917 ha) of new conservation lands
(Additional Reserve Lands (ARL)) to
complement the approximate 347,000 ac
(140,426 ha) of preexisting natural and
open space areas (Public/Quasi-Public
(PQP) lands) in the plan area. These
PQP lands include those under the
ownership of public agencies, primarily
the USFS and BLM, as well as
permittee-owned or controlled openspace areas managed by the State of
California and Riverside County.
Collectively, the ARL and PQP lands
form the overall Western Riverside
County MSHCP Conservation Area. The
configuration of the 153,000 ac (61,916
ha) of ARL is not mapped or precisely
delineated (hard-lined) in the Western
Riverside County MSHCP. Instead, the
configuration and composition of the
ARL are described in text within the
bounds of the approximately 310,000-ac
(125,453-ha) Criteria Area. The ARL
lands are being acquired and conserved
as part of the ongoing implementation of
the Western Riverside County MSHCP.
Species-specific conservation
objectives are included in the Western
Riverside County MSHCP for Allium
munzii and Atriplex coronata var.
notatior and are described in detail
below. Conservation objectives for A.
munzii include:
(1) Conserve at least 21,260 ac (8,603
ha) of suitable habitat to include at least
2,070 ac (838 ha) of clay soils;
(2) Conserve at least 13 localities
(populations within EOs) within the
Temescal Valley and the southwestern
portion of the plan area; and
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(3) Conduct Narrow Endemic Plan
Species surveys as discussed below
(Dudek and Associates 2003, pp. 9–126–
9–127).
Conservation objectives identified in
the Western Riverside County MSHCP
for Atriplex coronata var. notatior
include:
(1) Conserve at least 6,900 ac (2,792
ha) of suitable habitat including
grasslands, playas, and vernal pools;
(2) Conserve the Alberhill Creek
locality and three core areas located
along the San Jacinto River and in the
upper Salt Creek drainage;
(3) Conduct surveys as discussed
below;
(4) Conserve the floodplain along the
San Jacinto River consistent with
objective 1, including maintaining
floodplain processes; and
(5) Conserve the floodplain along Salt
Creek, generally in its existing
condition, including maintaining
floodplain processes (Dudek and
Associates 2003, pp. 9–137–9–138).
Allium munzii
In our analysis of the effects to Allium
munzii for the issuance of the Western
Riverside County MSHCP permit, we
acknowledged that specific conservation
objectives would be provided in the
Western Riverside County MSHCP to
ensure that suitable habitat and known
populations of A. munzii would persist
(Service 2004, p. 326). To this effect, for
narrow endemic species such as A.
munzii, the Western Riverside County
MSHCP states:
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‘‘The MSHCP is a Criteria-based plan,
focused on preserving individual species
through Conservation. Conservation is based
on the particular habitat requirements of each
species as well as the known distribution
data for each species. The existing MSHCP
database does not, however, provide the level
of detail sufficient to determine the extent of
the presence or distribution of Narrow
Endemic Plant Species within the MSHCP
Plan Area. Since Conservation planning
decisions for these species will have a
substantial effect on the status of these
species, additional information regarding the
presence of these species must be gathered
during the long-term implementation of the
MSHCP to ensure that appropriate
Conservation of these species occurs’’ (Dudek
and Associates 2003, p. 6–28).
The Western Riverside County
MSHCP defines Allium munzii as a
Narrow Endemic Plant Species and
requires surveys for this taxon as part of
the review process for public and
private projects in certain areas where
one or more permittees have
discretionary authority for project
approval (Dudek and Associates 2003,
pp. 6–28–6–29). These surveys are
required where projects are proposed in
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suitable habitat within defined
boundaries of the Criteria Area (Dudek
and Associates 2003, Figure 6–1, p. 6–
30). Where survey results are positive,
project proposals with the potential to
affect a Narrow Endemic Plant Species
are subject to avoidance, minimization,
and mitigation strategies (Dudek and
Associates 2003, p. 6–29). In addition,
the Western Riverside County MSHCP
indicates that, for Narrow Endemic
Plant Species populations identified as
part of this survey process (including A.
munzii), impacts to 90 percent of those
portions of the property that provide for
long-term conservation value for these
species will be avoided until it is
demonstrated that conservation
objectives (discussed below) are met
(Dudek and Associates 2003, p. 6–38).
The information from these surveys is to
be used to prioritize areas for
acquisition into the Western Riverside
County MSHCP (Service 2004, p. 28).
Surveys conducted from 2005 through
2011 have confirmed 9 extant
populations within 13 CNDDB-defined
EOs (Western Riverside County RCA
2011, p. 31).
We stated in our biological opinion
(analysis of effects) of the Western
Riverside County MSHCP that:
(1) All 16 known localities (or
CNDDB-defined EOs) would be
included in the Conservation Area;
(2) We anticipated that occurrences
determined to be important to the
overall conservation of the species will
be considered for inclusion in the
Additional Reserve Lands; and
(3) At least some of the avoided areas
may be maintained as open space
habitat (Service 2004, p. 327).
In addition, the Western Riverside
County MSHCP identified two CNDDBdefined EOs partially within the
Conservation Area (EOs 2 and 9) and
two that are currently located outside
the Conservation Area (EOs 5 and 16)
that will be added to the Conservation
Area. Finally, as noted above, the
Western Riverside County MSHCP
provides flexibility for criteria
refinement, such that if an area is
currently outside the reserve design
defined by the Western Riverside
County MSHCP, but is later determined
to be important for conservation, then it
could be added to the reserve as
Additional Reserve Lands or
Acquisition Lands.
Atriplex coronata var. notatior
Surveys are also required for Atriplex
coronata var. notatior in conjunction
with the Western Riverside County
MSHCP implementation in order to
meet the permit issuance criteria for the
HCP (Dudek and Associates 2003, p. 6–
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63). For A. c. var. notatior, surveys are
required within defined boundaries of
the Criteria Area (Dudek and Associates
2003, Figure 6–2, p. 6–64). As with
Narrow Endemic Plant Species, in
locations with positive survey results,
90 percent of those portions of the
property that provide long-term
conservation value for the identified
species will be avoided until the
species-specific conservation objectives
for these species are met (Dudek and
Associates 2003, p. 6–65). We stated in
our analysis of the effects of the Western
Riverside County MSHCP that it
provides the flexibility to include those
locations that contain large numbers of
individuals or are determined to be
important to the conservation of A. c.
var. notatior in the Additional Reserve
Lands (Dudek and Associates 2003, p.
6–70; Service 2004, p. 353).
Under the Western Riverside County
MSHCP, surveys for Atriplex coronata
var. notatior are required every 8 years
to verify occupancy for at least 75
percent of known locations. If a decline
in distribution below this threshold is
observed, management activities are
triggered, as appropriate, to meet the
species-specific objectives identified in
the plan (Dudek and Associates 2003,
Table 9.2; Service 2004, p. 355). Surveys
conducted by the Western Riverside
County RCA from 2006 to 2010
confirmed 2 of 4 CNDDB-defined EOs
within the three critical habitat units
(Units 1, 2, and 3) (Western Riverside
County RCA 2011, p. 33).
The Western Riverside County
MSHCP provides a comprehensive
habitat-based approach to the protection
of covered species, including Allium
munzii and Atriplex coronata var.
notatior, by focusing on lands essential
for the long-term conservation of the
covered species and appropriate
management of those lands (Western
Riverside County Regional Conservation
Authority et al. 2003, p. 51).
The Secretary is considering
exercising his discretion to exclude 626
ac (253 ha) that meet the definition of
critical habitat for Allium munzii in
Units 1 through 5, and 8,020 ac (3,246
ha) that meet the definition of critical
habitat for Atriplex coronata var.
notatior in Units 1 through 3. The lands
being considered for exclusion are
permittee-owned or -controlled lands
within the Western Riverside County
MSHCP.
In the 1998 final listing rule for
Allium munzii and Atriplex coronata
var. notatior, the present or threatened
destruction, modification, or
curtailment of its habitat or range
including urban development,
agriculture, and clay mining for A.
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munzii, and agriculture, urban
development, alteration of hydrology for
A. c var. notatior, were identified as the
primary threats to these taxa (63 FR
54982; October 13, 1998). The Western
Riverside County MSHCP helps to
address these threats to A. munzii and
A. c. var. notatior (Service 2008; Service
2009) through a regional planning effort,
and outlines species-specific objectives
and criteria for the conservation of these
taxa (Dudek and Associates 2003, pp. 9–
126–9–127; pp. 9–137–9–138). We are
considering excluding areas covered by
the Western Riverside County MSHCP
based on the protections provided
through our partnerships, to the extent
consistent with the requirements of
section 4(b)(2) of the Act. We encourage
any public comment regarding our
consideration to exclude these areas in
the final critical habitat designation (see
Public Comments section above).
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Other Habitat Conservation Plans
Some units and subunits proposed as
critical habitat for Allium munzii are
within smaller, individual HCPs that
were approved prior to the Western
Riverside County MSHCP. These
include the Lake Mathews MSHCP (part
of Subunit 1A) and the Rancho Bella
Vista HCP (Subunit 4B). In addition,
parts of Subunit 4C and Unit 5 are
contained within the Southwestern
Riverside County Multi-species Reserve.
These lands are within the boundaries
of the Western Riverside County
MSHCP but their conservation and
management actions are authorized
through separate section 10(a)(1)(B)
permits or section 7(b)(4) and section
7(o)(2) of the Act.
Lake Mathews Multiple Species Habitat
Conservation Plan (Lake Mathews
MSHCP)
The Lake Mathews MSHCP
established a 2,544-ac (1,029-ha)
mitigation bank adjacent to the existing
2,565-ac (1,038-ha) State Ecological
Reserve (Service 2004, p. 60). These
lands, encompassing over 12,000 ac
(4,856 ha), all contribute to the
establishment of a reserve for multiple
species, including Allium munzii, in
western Riverside County. The reserve
encompasses over 12,000 ac (4,856 ha)
and consists of the State Ecological
Reserve and the Lake Mathews HCP
Mitigation Bank, Lake Mathews/Estelle
Mountain Core Stephens’ Kangaroo Rat
Reserve, the Estelle Mountain Ecological
Reserve owned by CDFG, and land
owned by BLM within the Riverside
County Habitat Conservation Agency’s
Stephens’ Kangaroo Rat Core Reserve
(Service 2004, p. 60). Collectively, these
lands comprise the Lake Mathews/
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Estelle Mountain Existing Core ‘‘C’’ area
of the Western Riverside County
MSHCP. We are considering excluding
2.3 ac (approximately 1 ha) of Subunit
1A located within the Lake Mathews
MSHCP.
The Riverside County Habitat
Conservation Agency manages the Lake
Mathews/Estelle Mountain Reserve. The
Service is an active partner with this
agency and has developed and is
implementing Partners for Fish and
Wildlife Program projects within this
reserve, primarily to control and manage
nonnative plants.
Rancho Bella Vista Habitat Conservation
Plan (Rancho Bella Vista HCP)
The Rancho Bella Vista HCP
boundary occurs within the Western
Riverside County MSHCP area boundary
and contains Subunit 4B (74.8 ac (30.3
ha)). The section 10(a)(1)(B) permit
associated with the Rancho Bella Vista
HCP authorized Pacific Bay Properties
to develop the 798-ac (323-ha) site that
included 102.3 ac (41.4 ha) of habitat
(Service 2004, p. 66). The Rancho Bella
Vista HCP conservation actions relevant
to Allium munzii habitat include
preserving 86 ac (35 ha) of Riversidean
sage scrub and 28.8 ac (11.6 ha) of
disturbed Riversidean sage scrub, 6.2 ac
(2.5 ha) of riparian and wetland
habitats, and 41 ac (16.6 ha) of
nonnative grassland (Service 2004, p.
67).
Long-term management of the Rancho
Bella Vista HCP conservation lands
includes the following types of
activities:
(1) Control access and, where
necessary, limit access by people,
vehicles, and domestic pets to
conserved habitats and preclude access
to highly sensitive resources;
(2) Monitor target species, including
Allium munzii, and provide species
management of all covered species;
(3) Identify and rank, in order of
priority, opportunities for habitat
restoration and enhancement within the
conserved habitats;
(4) Monitor conserved lands for the
occurrence of alien invasive plants and
animals and provide the prompt control
of such species;
(5) Map the locations of nonnative
plant species within and immediately
adjacent to conserved habitats and
schedule for removal, monitoring, or
control as necessary;
(6) Develop a fire management
program in consultation with the
County of Riverside Fire Marshal and
wildlife agencies to minimize impacts to
conserved habitats from fire
management programs and adjacent
land uses; and
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(7) Develop public information
materials and programs including:
(a) A brochure that describes the
natural resources, areas of special
interest, and prohibited activities within
conserved habitats;
(b) A landscape and fuel break
planning brochure for homeowners and
homeowner associations located
adjacent to conserved habitats; and
(c) Nature trails along or through
portions of conserved habitats (provided
impacts are avoided or mitigated)
(Service 2000, p. 4–5).
Southwestern Riverside County Multispecies Reserve
Subunit 4C (79.3 ac (32.1 ha)) and
Unit 5 (8.2 ac (3.3 ha)) are contained
within the Southwestern Riverside
County Multi-species Reserve (Reserve).
This Reserve was created in 1992, prior
to the listing of Allium munzii, as a
mitigation measure for impacts resulting
from the Diamond Valley Lake
Reservoir. The Reserve comprises about
13,000 ac (5,261 ha), approximately
9,400 ac (3,804 ha) of which are owned
by the Metropolitan Water District,
2,500 ac (1,012 ha) by the Riverside
County Habitat Conservation Agency,
360 ac (146 ha) by BLM, and 600 ac (243
ha) by the Riverside County Parks and
Open Space District (Service 2004,
p.61), which manages the reserve. The
Southwestern Riverside County Multispecies Reserve is largely located within
the area north of Lake Skinner and
south of Diamond Valley Lake and
includes the Domenigoni Mountains
and South Hills (Service 2004, p. 61).
The Southwestern Riverside County
Multi-species Reserve is managed
through a Cooperative Management
Agreement; the Service is a party to this
agreement and a member of the fivemember committee that makes
management decisions (Monroe et al.
1992, Appendix B). Management
strategies defined for the entire Reserve
include:
(1) Protection of habitat from human
disturbance through fencing,
construction of fire breaks, and patrols
to prevent unauthorized access;
(2) Activities to promote the recovery
of native plant and animal communities
by managing fire and controlling
grazing; and
(3) Management for biodiversity
including maintaining a mosaic of
different-aged habitats to meet the needs
of many species (Monroe 1992, pp. ES–
5–ES–6).
The 2008 Multi-species Reserve
Management Plan (Moen 2008,
Appendix 10) identifies enhancement
and monitoring goals, objectives, and
strategies for Allium munzii. These
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include: (1) Estimating area occupied by
A. munzii within the reserve by
mapping each occupied area annually,
(2) estimating individual plants within
the known populations, and (3)
enhancing habitat suitability within
occupied areas by annually removing
thatch and biomass from nonnative
vegetation and determining the efficacy
of each treatment (Moen 2008,
Appendix 10, pp. 1–2).
Peer Review
In accordance with our joint policy on
peer review published in the Federal
Register on July 1, 1994 (59 FR 34270),
we will seek the expert opinions of at
least three appropriate and independent
specialists regarding this proposed rule.
The purpose of peer review is to ensure
that our critical habitat designation is
based on scientifically sound data,
assumptions, and analyses. We have
invited these peer reviewers to comment
during this public comment period on
our specific assumptions and
conclusions in this proposed revised
designation of critical habitat.
We will consider all comments and
information received during this
comment period on this proposed rule
during our preparation of a final
determination. Accordingly, the final
decision may differ from this proposal.
Public Hearings
Section 4(b)(5) of the Act provides for
one or more public hearings on this
proposal, if requested. Requests must be
received within 45 days after the date of
publication of this proposed rule in the
Federal Register. Such requests must be
sent to the address shown in the FOR
FURTHER INFORMATION CONTACT section.
We will schedule public hearings on
this proposal, if any are requested, and
announce the dates, times, and places of
those hearings, as well as how to obtain
reasonable accommodations, in the
Federal Register and local newspapers
at least 15 days before the hearing.
Required Determinations
tkelley on DSK3SPTVN1PROD with PROPOSALS3
Regulatory Planning and Review—
Executive Order 12866
The Office of Management and Budget
(OMB) has determined that this rule is
not significant and has not reviewed
this proposed rule under Executive
Order 12866 (Regulatory Planning and
Review). OMB bases its determination
upon the following four criteria:
(1) Whether the rule will have an
annual effect of $100 million or more on
the economy or adversely affect an
economic sector, productivity, jobs, the
environment, or other units of the
government.
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(2) Whether the rule will create
inconsistencies with other Federal
agencies’ actions.
(3) Whether the rule will materially
affect entitlements, grants, user fees,
loan programs, or the rights and
obligations of their recipients.
(4) Whether the rule raises novel legal
or policy issues.
Regulatory Flexibility Act (5 U.S.C. 601
et seq.)
Under the Regulatory Flexibility Act
(RFA; 5 U.S.C. 601 et seq.) as amended
by the Small Business Regulatory
Enforcement Fairness Act (SBREFA) of
1996 (5 U.S.C 801 et seq.), whenever an
agency is required to publish a notice of
rulemaking for any proposed or final
rule, it must prepare and make available
for public comment a regulatory
flexibility analysis that describes the
effects of the rule on small entities
(small businesses, small organizations,
and small government jurisdictions).
However, no regulatory flexibility
analysis is required if the head of the
agency certifies the rule will not have a
significant economic impact on a
substantial number of small entities.
The SBREFA amended the RFA to
require Federal agencies to provide a
certification statement of the factual
basis for certifying that the rule will not
have a significant economic impact on
a substantial number of small entities.
At this time, we lack the available
economic information necessary to
provide an adequate factual basis for the
required RFA finding. Therefore, we
defer the RFA finding until completion
of the new draft economic analysis
prepared under section 4(b)(2) of the
Act and Executive Order 12866. This
new draft economic analysis will
provide the required factual basis for the
RFA finding. Upon completion of the
new draft economic analysis, we will
announce availability of the draft
economic analysis of the proposed
designation in the Federal Register and
reopen the public comment period for
the proposed designation. We will
include with this announcement, as
appropriate, an initial regulatory
flexibility analysis or a certification that
the rule will not have a significant
economic impact on a substantial
number of small entities accompanied
by the factual basis for that
determination.
We have concluded that deferring the
RFA finding until completion of the
new draft economic analysis is
necessary to meet the purposes and
requirements of the RFA. Deferring the
RFA finding in this manner will ensure
that we make a sufficiently informed
determination based on adequate
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23037
economic information and provide the
necessary opportunity for public
comment.
Energy Supply, Distribution, or Use—
Executive Order 13211
Executive Order 13211 (Actions
Concerning Regulations That
Significantly Affect Energy Supply,
Distribution, or Use) requires agencies
to prepare Statements of Energy Effects
when undertaking certain actions. The
construction of an electrical
subtransmission line and substation
project (Southern California Edison
Valley-Ivyglen Subtransmission Line
and Fogarty Substation) is underway in
the greater Perris basin (Worthy 2011,
pers. comm.). However, we do not
expect the designation of this proposed
revised critical habitat for Allium
munzii and Atriplex coronata var.
notatior to significantly affect this
project based on the components
described in the Mitigation and
Monitoring Plan for this project, which
include siting permanent project
elements (i.e., roads and poles) away
from known locations of special-status
species and communities, identifying
environmentally sensitive areas such as
rare plant populations, monitoring of
known locations of special-status plant
populations prior to or during the
construction period, to include
monitoring during construction and for
1 year following construction to assess
the effectiveness of protection measures,
and limiting removal of native
vegetation communities (State of
California Public Utilities Commission
2010, pp. 6–2–6–4). The project is being
constructed by Southern California
Edison, which is a Participating Special
Entity (or PSE) under the Western
Riverside County MSHCP, and which
has agreed to consult with CDFG, the
Service, and the Western Riverside
County RCA and follow the provisions
set forth in the Western Riverside
County MSHCP if direct or indirect
impacts to special-status plants cannot
be avoided (State of California Public
Utilities Commission 2010, p. 6–5).
Therefore, this action is not a significant
energy action, and no Statement of
Energy Effects is required. However, we
will further evaluate this issue as we
conduct our economic analysis, and
review and revise this assessment as
warranted.
Unfunded Mandates Reform Act (2
U.S.C. 1501 et seq.)
In accordance with the Unfunded
Mandates Reform Act (2 U.S.C. 1501 et
seq.), we make the following findings:
(1) This rule will not produce a
Federal mandate. In general, a Federal
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mandate is a provision in legislation,
statute, or regulation that would impose
an enforceable duty upon State, local, or
tribal governments, or the private sector,
and includes both ‘‘Federal
intergovernmental mandates’’ and
‘‘Federal private sector mandates.’’
These terms are defined in 2 U.S.C.
658(5)–(7). ‘‘Federal intergovernmental
mandate’’ includes a regulation that
‘‘would impose an enforceable duty
upon State, local, or tribal governments’’
with two exceptions. It excludes ‘‘a
condition of Federal assistance.’’ It also
excludes ‘‘a duty arising from
participation in a voluntary Federal
program,’’ unless the regulation ‘‘relates
to a then-existing Federal program
under which $500,000,000 or more is
provided annually to State, local, and
tribal governments under entitlement
authority,’’ if the provision would
‘‘increase the stringency of conditions of
assistance’’ or ‘‘place caps upon, or
otherwise decrease, the Federal
government’s responsibility to provide
funding,’’ and the State, local, or tribal
governments ‘‘lack authority’’ to adjust
accordingly. At the time of enactment,
these entitlement programs were:
Medicaid; Aid to Families with
Dependent Children work programs;
Child Nutrition; Food Stamps; Social
Services Block Grants; Vocational
Rehabilitation State Grants; Foster Care,
Adoption Assistance, and Independent
Living; Family Support Welfare
Services; and Child Support
Enforcement. ‘‘Federal private sector
mandate’’ includes a regulation that
‘‘would impose an enforceable duty
upon the private sector, except (i) a
condition of Federal assistance or (ii) a
duty arising from participation in a
voluntary Federal program.’’
The designation of critical habitat
does not impose a legally binding duty
on non-Federal Government entities or
private parties. Under the Act, the only
regulatory effect is that Federal agencies
must ensure that their actions do not
destroy or adversely modify critical
habitat under section 7. While nonFederal entities that receive Federal
funding, assistance, or permits, or that
otherwise require approval or
authorization from a Federal agency for
an action, may be indirectly impacted
by the designation of critical habitat, the
legally binding duty to avoid
destruction or adverse modification of
critical habitat rests squarely on the
Federal agency. Furthermore, to the
extent that non-Federal entities are
indirectly impacted because they
receive Federal assistance or participate
in a voluntary Federal aid program, the
Unfunded Mandates Reform Act would
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not apply, nor would critical habitat
shift the costs of the large entitlement
programs listed above onto State
governments.
(2) We do not believe that this rule
will significantly or uniquely affect
small governments. Small governments
would be affected only to the extent that
any programs having Federal funds,
permits, or other authorized activities
must ensure that their actions would not
adversely affect the critical habitat.
Therefore, a Small Government Agency
Plan is not required. However, we will
further evaluate this issue as we
conduct our economic analysis, and
review and revise this assessment if
appropriate.
Takings—Executive Order 12630
In accordance with Executive Order
12630 (‘‘Government Actions and
Interference with Constitutionally
Protected Private Property Rights’’), this
rule is not anticipated to have
significant takings implications. As
discussed above, the designation of
critical habitat affects only Federal
actions. Although private parties that
receive Federal funding, assistance, or
require approval or authorization from a
Federal agency for an action may be
indirectly impacted by the designation
of critical habitat, the legally binding
duty to avoid destruction or adverse
modification of critical habitat rests
squarely on the Federal agency. Due to
current public knowledge of the species’
protections under the Act both within
and outside of the proposed areas, we
do not anticipate that property values
will be affected by the critical habitat
designation. However, we have not yet
completed the new economic analysis
for this proposed revised rule. Once the
economic analysis is available, we will
review and revise this preliminary
assessment as warranted, and prepare a
Takings Implication Assessment.
Federalism—Executive Order 13132
In accordance with Executive Order
13132 (Federalism), this proposed rule
does not have significant Federalism
effects. A Federalism summary impact
statement is not required. In keeping
with Department of the Interior and
Department of Commerce policy, we
requested information from, and
coordinated development of, this
proposed critical habitat designation
with appropriate State resource agencies
in California. The designation of critical
habitat in areas currently occupied by
Allium munzii or Atriplex coronata var.
notatior may impose nominal additional
regulatory restrictions to those currently
in place and, therefore, is likely to have
little incremental impact on State and
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local governments and their activities.
The designation may have some benefit
to these governments because the areas
that contain the physical or biological
features essential to the conservation of
the species are more clearly defined,
and the elements of the features
necessary to the conservation of the
species are specifically identified. This
information does not alter where and
what federally sponsored activities may
occur. However, it may assist local
governments in long-range planning
(rather than having them wait for caseby-case section 7 consultations to
occur).
Where State and local governments
require approval or authorization from a
Federal agency for actions that may
affect critical habitat, consultation
under section 7(a)(2) would be required.
While non-Federal entities that receive
Federal funding, assistance, or permits,
or that otherwise require approval or
authorization from a Federal agency for
an action, may be indirectly impacted
by the designation of critical habitat, the
legally binding duty to avoid
destruction or adverse modification of
critical habitat rests squarely on the
Federal agency.
Civil Justice Reform—Executive Order
12988
In accordance with Executive Order
12988 (Civil Justice Reform), the Office
of the Solicitor has determined that the
rule does not unduly burden the judicial
system and that it meets the
requirements of sections 3(a) and 3(b)(2)
of the Order. We have proposed
designating critical habitat in
accordance with the provisions of the
Act. This proposed rule uses standard
property descriptions and identifies the
elements of physical or biological
features essential to the conservation of
Allium munzii and Atriplex coronata
var. notatior within the designated areas
to assist the public in understanding the
habitat needs of these taxa.
Paperwork Reduction Act of 1995 (44
U.S.C. 3501 et seq.)
This rule does not contain any new
collections of information that require
approval by OMB under the Paperwork
Reduction Act of 1995 (44 U.S.C. 3501
et seq.). This rule will not impose
recordkeeping or reporting requirements
on State or local governments,
individuals, businesses, or
organizations. An agency may not
conduct or sponsor, and a person is not
required to respond to, a collection of
information unless it displays a
currently valid OMB control number.
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National Environmental Policy Act (42
U.S.C. 4321 et seq.)
It is our position that, outside the
jurisdiction of the U.S. Court of Appeals
for the Tenth Circuit, we do not need to
prepare environmental analyses
pursuant to the National Environmental
Policy Act (NEPA; 42 U.S.C. 4321 et
seq.) in connection with designating
critical habitat under the Act. We
published a notice outlining our reasons
for this determination in the Federal
Register on October 25, 1983 (48 FR
49244). This position was upheld by the
U.S. Court of Appeals for the Ninth
Circuit (Douglas County v. Babbitt, 48
F.3d 1495 (9th Cir. 1995), cert. denied
516 U.S. 1042 (1996)).]
Clarity of the Rule
We are required by Executive Orders
12866 and 12988 and by the
Presidential Memorandum of June 1,
1998, to write all rules in plain
language. This means that each rule we
publish must:
(1) Be logically organized;
(2) Use the active voice to address
readers directly;
(3) Use clear language rather than
jargon;
(4) Be divided into short sections and
sentences; and
(5) Use lists and tables wherever
possible.
If you feel that we have not met these
requirements, send us comments by one
of the methods listed in the ADDRESSES
section. To better help us revise the
rule, your comments should be as
specific as possible. For example, you
should tell us the numbers of the
sections or paragraphs that are unclearly
written, which sections or sentences are
References Cited
too long, the sections where you feel
lists or tables would be useful, etc.
Government-to-Government
Relationship With Tribes
In accordance with the President’s
memorandum of April 29, 1994
(Government-to-Government Relations
with Native American Tribal
Governments; 59 FR 22951), Executive
Order 13175 (Consultation and
Coordination with Indian Tribal
Governments), and the Department of
the Interior’s manual at 512 DM 2, we
readily acknowledge our responsibility
to communicate meaningfully with
recognized Federal Tribes on a
government-to-government basis. In
accordance with Secretarial Order 3206
of June 5, 1997 (American Indian Tribal
Rights, Federal-Tribal Trust
Responsibilities, and the Endangered
Species Act), we readily acknowledge
our responsibilities to work directly
with tribes in developing programs for
healthy ecosystems, to acknowledge that
tribal lands are not subject to the same
controls as Federal public lands, to
remain sensitive to Indian culture, and
to make information available to Tribes.
We determined that there are no tribal
lands within the geographical area
occupied by Allium munzii or Atriplex
coronata var. notatior at the time of
listing that contain the features essential
to the conservation of these taxa, and no
tribal lands outside the geographical
area occupied by A. munzii or A. c. var.
notatior at the time of listing that are
essential for the conservation of these
taxa. Therefore, we are not proposing to
designate critical habitat for A. munzii
and A. c. var. notatior on tribal lands.
A complete list of references cited in
this rulemaking is available on the
Internet at https://www.regulations.gov
and upon request from the Field
Supervisor, Carlsbad Fish and Wildlife
Office (see FOR FURTHER INFORMATION
CONTACT).
Authors
The primary authors of this package
are the staff members of the Carlsbad
Fish and Wildlife Office.
List of Subjects in 50 CFR Part 17
Endangered and threatened species,
Exports, Imports, Reporting and
recordkeeping requirements,
Transportation.
Proposed Regulation Promulgation
Accordingly, we propose to amend
part 17, subchapter B of chapter I, title
50 of the Code of Federal Regulations,
as set forth below:
PART 17—ENDANGERED AND
THREATENED WILDLIFE AND PLANTS
1. The authority citation for part 17
continues to read as follows:
Authority: 16 U.S.C. 1361–1407; 16 U.S.C.
1531–1544; 16 U.S.C. 4201–4245; Pub. L. 99–
625, 100 Stat. 3500; unless otherwise noted.
2. Amend § 17.12(h) by revising the
entry for ‘‘Allium munzii (Munz’s
onion)’’ under Flowering Plants on the
List of Endangered and Threatened
Plants to read as follows:
§ 17.12
*
*
(h) * * *
Status
When
listed
Species
Historic range
Scientific name
Endangered and threatened plants.
*
Family
*
U.S.A. (CA) .............
*
Alliaceae .................
Common name
*
*
Critical
habitat
Special
rules
FLOWERING PLANTS
*
Allium munzii ...........
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*
*
Munz’s onion ..........
*
*
2. Amend § 17.96(a) as follows:
a. Under Family Liliaceae, remove the
designation of critical habitat for
‘‘Allium munzii (Munz’s onion)’’;
b. Under Family Alliaceae, add a
designation of critical habitat for
‘‘Allium munzii (Munz’s onion)’’ to read
as set forth below; and
c. Under Family Chenopodiaceae,
revise the designation of critical habitat
for ‘‘Atriplex coronata var. notiatior
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*
650
*
*
*
E
*
(San Jacinto Valley crownscale)’’ to read
as set forth below:
§ 17.96
*
Critical habitat—plants.
(a) Flowering plants.
*
*
*
*
Family Alliaceae: Allium munzii
(Munz’s onion)
(1) Critical habitat units are depicted
for Riverside County, California, on the
maps below.
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*
NA
NA
*
(2) Within these areas, the primary
constituent elements of the physical or
biological features essential to the
conservation of Allium munzii consist
of one of the following two components:
(i) Clay soil series of sedimentary
origin (e.g., Altamont, Auld, Bosanko,
Porterville), or clay lenses (pockets of
clay soils) of such that may be found as
unmapped inclusions in other soil
series, or soil series of sedimentary or
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igneous origin with a clay subsoil (e.g.,
Cajalco, Las Posas, Vallecitos):
(A) Found on level or slightly sloping
landscapes or terrace escarpments;
(B) Generally between the elevations
of 1,200 to 2,700 ft (366 to 823 m) above
mean sea level;
(C) Within intact natural surface and
subsurface structures that have been
minimally altered or unaltered by
ground-disturbing activities (for
example, disked, graded, excavated, or
recontoured);
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(D) Within microhabitats that receive
or retain more moisture than
surrounding areas, due in part to factors
such as exposure, slope, and subsurface
geology; and
(E) Part of open native or nonnative
grassland plant communities and clay
soil flora, including southern
needlegrass grassland, mixed grassland,
and open coastal sage scrub or
occasionally in cismontane juniper
woodlands.
(ii) Outcrops of igneous rocks
(pyroxenite) on rocky-sandy loam or
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clay soils within Riversidean sage scrub,
generally between the elevations of
1,200 to 2,700 ft (366 to 823 m) above
mean sea level.
(3) Critical habitat does not include
manmade structures (such as buildings,
aqueducts, runways, roads, and other
paved areas) and the land on which they
are located existing within the legal
boundaries on the effective date of this
rule.
BILLING CODE 4310–55–P
(4) Note: Index Map for Allium
munzii follows:
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(5) Subunit 1A, Estelle Mountain and
Subunit 1B, Dawson Canyon: Critical
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habitat for Allium munzii (Munz’s
onion), Riverside County, California.
(i) [Reserved for textual description of
Subunit 1A and Subunit 1B.]
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(ii) Note: Map of Subunit 1A and 1B
follows:
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for Allium munzii (Munz’s onion),
Riverside County, California.
(i) [Reserved for textual description of
Subunit 1C and Subunit 1D.]
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(ii) Note: Map of Subunit 1C and 1D
follows:
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(6) Subunit 1C, Gavilan Plateau and
Subunit 1D, Ida-Leona: Critical habitat
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(7) Subunit 1E, Northeast Alberhill:
Critical habitat for Allium munzii
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(Munz’s onion), Riverside County,
California.
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(i) [Reserved for textual description of
Subunit 1E.]
(ii) Note: Map of Subunit 1E follows:
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(i) [Reserved for textual description of
Subunit 1F.]
(ii) Note: Map of Subunit 1F follows:
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(8) Subunit 1F, North Peak: Critical
habitat for Allium munzii (Munz’s
onion), Riverside County, California.
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(9) Subunit 2A, Sycamore Creek and
Subunit 2B, De Palma Road: Critical
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habitat for Allium munzii (Munz’s
onion), Riverside County, California.
(i) [Reserved for textual description of
Subunit 2A and Subunit 2B.]
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(ii) Note: Map of Subunit 2A and
Subunit 2B follows:
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(Munz’s onion), Riverside County,
California.
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(i) [Reserved for textual description of
Subunit 2C.]
(ii) Note: Map of Subunit 2C follows:
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(10) Subunit 2C, Alberhill Mountain:
Critical habitat for Allium munzii
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(11) Subunit 2D, Alberhill Creek:
Critical habitat for Allium munzii
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(Munz’s onion), Riverside County,
California.
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(i) [Reserved for textual description of
Subunit 2D.]
(ii) Note: Map of Subunit 2D follows:
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(i) [Reserved for textual description of
Unit 3.]
(ii) Note: Map of Unit 3 follows:
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(12) Unit 3, Elsinore Peak: Critical
habitat for Allium munzii (Munz’s
onion), Riverside County, California.
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(13) Subunit 4A, Scott Road: Critical
habitat for Allium munzii (Munz’s
onion), Riverside County, California.
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(i) [Reserved for textual description of
Subunit 4A.]
(ii) Note: Map of Subunit 4A follows:
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(Munz’s onion), Riverside County,
California.
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(i) [Reserved for textual description of
Subunit 4B.]
(ii) Note: Map of Subunit 4B follows:
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(14) Subunit 4B, Skunk Hollow:
Critical habitat for Allium munzii
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(15) Subunit 4C, Bachelor Mountain:
Critical habitat for Allium munzii
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(Munz’s onion), Riverside County,
California.
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(i) [Reserved for textual description of
Subunit 4C.]
(ii) Note: Map of Subunit 4C follows:
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(i) [Reserved for textual description of
Unit 5.]
(ii) Note: Map of Unit 5 follows:
conservation of Atriplex coronata var.
notatior consist of two components:
(i) Wetland habitat including
floodplains and vernal pools:
(A) Associated with native vegetation
communities, including alkali playa,
alkali scrub, and alkali grasslands, and
(B) Characterized by seasonal
inundation or localized flooding,
including infrequent, large-scale flood
events, with low pollutant loads; and
(ii) Slow-draining alkali soils
including the Willows, Domino, Traver,
Waukena, and Chino soil series with:
(A) Low permeability,
(B) Low nutrient availability, and
(C) Seasonal ponding and
evaporation.
(3) Critical habitat does not include
manmade structures (such as buildings,
aqueducts, runways, roads, and other
paved areas) and the land on which they
are located existing within the legal
*
*
*
*
Family Chenopodiaceae: Atriplex
coronata var. notatior (San Jacinto
Valley crownscale)
(1) Critical habitat units are depicted
for Riverside County, California, on the
maps below.
(2) Within these areas, the primary
constituent elements of the physical or
biological features essential to the
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(Munz’s onion), Riverside County,
California.
*
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(16) Unit 5, North Domenigoni Hills:
Critical habitat for Allium munzii
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boundaries on the effective date of this
rule.
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(4) Note: Index Map for Atriplex
coronata var. notatior follows:
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crownscale), Riverside County,
California.
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(i) [Reserved for textual description of
Unit 1.]
(ii) Note: Map of Unit 1 follows:
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(5) Unit 1, San Jacinto River: Critical
habitat for Atriplex coronata var.
notatior (San Jacinto Valley
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(6) Unit 2, Upper Salt Creek: Critical
habitat for Atriplex coronata var.
notatior (San Jacinto Valley
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crownscale), Riverside County,
California.
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(i) [Reserved for textual description of
Unit 2.]
(ii) Note: Map of Unit 2 follows:
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crownscale), Riverside County,
California.
*
Dated: April 3, 2012.
Eilleen Sobek,
Acting Assistant Secretary for Fish and
Wildlife and Parks.
*
*
*
*
(i) [Reserved for textual description of
Unit 3.]
(ii) Note: Map of Unit 3 follows:
[FR Doc. 2012–8664 Filed 4–16–12; 8:45 am]
BILLING CODE 4310–55–C
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(7) Unit 3, Alberhill Creek: Critical
habitat for Atriplex coronata var.
notatior (San Jacinto Valley
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Agencies
[Federal Register Volume 77, Number 74 (Tuesday, April 17, 2012)]
[Proposed Rules]
[Pages 23008-23057]
From the Federal Register Online via the Government Printing Office [www.gpo.gov]
[FR Doc No: 2012-8664]
[[Page 23007]]
Vol. 77
Tuesday,
No. 74
April 17, 2012
Part IV
Department of the Interior
-----------------------------------------------------------------------
Fish and Wildlife Service
-----------------------------------------------------------------------
50 CFR Part 17
Endangered and Threatened Wildlife and Plants; Designation of Revised
Critical Habitat for Allium munzii (Munz's onion) and Atriplex coronata
var. notatior (San Jacinto Valley crownscale); Proposed Rule
Federal Register / Vol. 77 , No. 74 / Tuesday, April 17, 2012 /
Proposed Rules
[[Page 23008]]
-----------------------------------------------------------------------
DEPARTMENT OF THE INTERIOR
Fish and Wildlife Service
50 CFR Part 17
[Docket No. FWS-R8-ES-2012-0008; 4500030114]
RIN 1018-AX42
Endangered and Threatened Wildlife and Plants; Designation of
Revised Critical Habitat for Allium munzii (Munz's onion) and Atriplex
coronata var. notatior (San Jacinto Valley crownscale)
AGENCY: Fish and Wildlife Service, Interior.
ACTION: Proposed rule.
-----------------------------------------------------------------------
SUMMARY: We, the U.S. Fish and Wildlife Service (Service), propose to
revise critical habitat for Allium munzii (Munz's onion) and for
Atriplex coronata var. notatior (San Jacinto Valley crownscale) under
the Endangered Species Act of 1973, as amended (Act). In total,
approximately 889 acres (360 hectares) are being proposed for
designation as critical habitat for A. munzii and approximately 8,020
acres (3,246 hectares) for A. c. var. notatior. All of the proposed
revised critical habitat is located in Riverside County, California.
DATES: We will accept comments received or postmarked on or before June
18, 2012. Comments submitted electronically using the Federal
eRulemaking Portal (see ADDRESSES section, below) must be received by
11:59 p.m. Eastern Time on the closing date. We must receive requests
for public hearings, in writing, at the address shown in FOR FURTHER
INFORMATION CONTACT by June 1, 2012.
ADDRESSES: You may submit comments by one of the following methods:
(1) Electronically: Go to the Federal eRulemaking Portal: https://www.regulations.gov. In the Search box, enter Docket No. FWS-R8-2012-
0008, which is the docket number for this rulemaking.
(2) By hard copy: Submit by U.S. mail or hand-delivery to: Public
Comments Processing, Attn: FWS-R8-2012-0008; Division of Policy and
Directives Management; U.S. Fish and Wildlife Service; 4401 N. Fairfax
Drive, MS 2042-PDM; Arlington, VA 22203.
We request that you send comments only by the methods described
above. We will post all comments on https://www.regulations.gov. This
generally means that we will post any personal information you provide
us (see the Public Comments section below for more information).
FOR FURTHER INFORMATION CONTACT: Jim Bartel, Field Supervisor, U.S.
Fish and Wildlife Service, Carlsbad Fish and Wildlife Office, 6010
Hidden Valley Road, Suite 101, Carlsbad, CA 92011; telephone 760-431-
9440; facsimile 760-431-5901. If you use a telecommunications device
for the deaf (TDD), call the Federal Information Relay Service (FIRS)
at 800-877-8339.
SUPPLEMENTARY INFORMATION:
Executive Summary
Why we need to publish a rule. This is a proposed rule to revise
the designations of critical habitat for two endangered plant taxa,
Munz's onion (Allium munzii) and San Jacinto Valley crownscale
(Atriplex coronata var. notatior). Under the Endangered Species Act,
any species that is determined to be threatened or endangered shall, to
the maximum extent prudent and determinable, have habitat designated
that is considered to be critical habitat. Designations and revisions
of critical habitat can only be completed by issuing a rule.
Critical habitat was designated for Munz's onion and San Jacinto
Valley crownscale in 2005. We agreed to reconsider the critical habitat
designations in a settlement agreement in response to a complaint filed
in court, and are submitting a proposed revised critical habitat
designation for both plants.
We are proposing changes to the designation of critical habitat for
Munz's onion and San Jacinto Valley crownscale.
Our previous final critical habitat designation for Munz's
onion in 2005 identified 176 acres (71 hectares) of U.S. Forest Service
lands as critical habitat after excluding 1,068 acres (432 hectares)
based upon Endangered Species Act exclusions. This proposed revised
designation for Munz's onion includes five units in Riverside County,
California, totaling 889 acres (360 hectares). We are considering
excluding 790 acres (320 hectares) of lands from designation based on
partnerships created with the establishment of permitted Habitat
Conservation Plans or other Management Plans.
No critical habitat was designated in the previous 2005
final designation for San Jacinto Valley crownscale after 15,232 acres
(6,164 hectares) were excluded. This proposed revised designation for
San Jacinto Valley crownscale includes three units in Riverside County,
California, totaling 8,020 acres (3,246 hectares). We are considering
excluding all 8,020 acres (3,246 hectares) of lands from critical
habitat designation based on partnerships created with the
establishment of a permitted Habitat Conservation Plan.
The basis for our action. Under the Endangered Species Act, any
species that is determined to be threatened or endangered shall, to the
maximum extent prudent and determinable, have habitat designated that
is considered to be critical habitat. Section 4(b)(2) of the Endangered
Species Act states that the Secretary shall designate and make
revisions to critical habitat on the basis of the best available
scientific data after taking into consideration the economic impact,
national security impact, and any other relevant impact of specifying
any particular area as critical habitat. The Secretary may exclude an
area from critical habitat if he determines that the benefits of such
exclusion outweigh the benefits of specifying such area as part of the
critical habitat, unless he determines, based on the best scientific
data available, that the failure to designate such area as critical
habitat will result in the extinction of the species.
We are preparing an economic analysis of the proposed revised
designations of critical habitat. In order to consider economic
impacts, we are preparing a new analysis of the economic impacts of the
proposed revised critical habitat designations and related factors. We
will announce the availability of the draft economic analysis as soon
as it is completed, at which time we will seek additional public review
and comment.
We will seek peer review. We are seeking the expert opinions of
appropriate and independent specialists regarding this proposed rule to
ensure that our critical habitat designations are based on
scientifically sound data, assumptions, and analyses. We have invited
these peer reviewers to comment during the proposed rule's public
comment period on our specific assumptions and conclusions in this
proposed rule to revise the designations of critical habitat. We will
consider all comments and information received during the comment
period in our preparation of the final determinations. Accordingly, the
final decisions may differ from this proposal.
Public Comments
We intend that any final action resulting from this proposed rule
will be based on the best scientific and commercial data available and
be as accurate and as effective as possible. Therefore, we request
comments or information from other concerned government agencies, the
scientific community, industry, or any other
[[Page 23009]]
interested party concerning this proposed rule. We particularly seek
comments concerning:
(1) The reasons why we should or should not designate habitat as
``critical habitat'' under section 4 of the Act (16 U.S.C. 1531 et
seq.), including whether there are threats to the taxon (a group of
individuals recognized as a formal unit at any taxonomic rank (for
example, a family, genus, species, subspecies, or variety; Allium
munzii is a species, Atriplex coronata var. notatior is a variety) from
human activity, which can be expected to increase due to the
designation, and whether that increase in threat outweighs the benefit
of designation such that the designation of critical habitat may not be
prudent.
(2) Specific information on:
(a) The amount and distribution of Allium munzii and Atriplex
coronata var. notatior habitat,
(b) Which areas within the geographical area occupied at the time
of listing contain the physical or biological features essential to the
conservation of the taxa and should be included in the designation and
why,
(c) Special management considerations or protection of essential
physical or biological features that may be needed in critical habitat
areas we are proposing, including managing for the potential effects of
climate change, and
(d) Which areas outside the geographical area occupied at the time
of listing are essential for the conservation of the taxa and why.
(3) Land use designations and current or planned activities in the
subject areas and their possible impacts on proposed critical habitat.
(4) Information on the projected and reasonably likely impacts of
climate change on Allium munzii and Atriplex coronata var. notatior and
proposed critical habitat.
(5) Comments or information that may assist us in identifying or
clarifying the primary constituent elements (PCEs) for the two taxa.
(6) How the proposed revised critical habitat boundaries could be
refined to more accurately circumscribe the areas meeting the
definition of critical habitat.
(7) Any probable economic, national security, or other relevant
impacts of designating any area that may be included in the final
designation; in particular, any impacts on small entities, families, or
tribes, and the benefits of including or excluding areas that exhibit
these impacts.
(8) Which specific lands covered by the Western Riverside County
Multiple Species Habitat Conservation Plan (Western Riverside County
MSHCP) or other permitted HCPs and proposed for designation as critical
habitat should be considered for exclusion under section 4(b)(2) of the
Act and for those specific areas, how benefits of exclusion from the
critical habitat designation would outweigh the benefits of inclusion
in the designation. We are currently considering to exclude, under
section 4(b)(2) of the Act, all lands covered by the Western Riverside
County MSHCP or other permitted HCPs and Cooperative Agreements
described in this proposed rule (see Exclusions Based on Other Relevant
Impacts section below).
(9) Whether we could improve or modify our approach to designating
critical habitat in any way to provide for greater public participation
and understanding, or to better accommodate public concerns and
comments.
You may submit your comments and materials concerning this proposed
rule by one of the methods listed in the ADDRESSES section. We request
that you send comments only by the methods described in the ADDRESSES
section.
We will post your entire comment--including your personal
identifying information--on https://www.regulations.gov. You may request
at the top of your document that we withhold personal information such
as your street address, phone number, or email address from public
review; however, we cannot guarantee that we will be able to do so.
Comments and materials we receive, as well as supporting
documentation we used in preparing this proposed rule, will be
available for public inspection on https://www.regulations.gov, or by
appointment, during normal business hours, at the U.S. Fish and
Wildlife Service, Carlsbad Fish and Wildlife Office (see FOR FURTHER
INFORMATION CONTACT).
Background
This is a proposed rule to revise the designations of critical
habitat for two plant taxa, Allium munzii and Atriplex coronata var.
notatior. The document is structured to address the taxa separately
under each of the sectional headings that follow.
Allium munzii
It is our intent to discuss only those topics directly relevant to
the proposed revised designation of critical habitat for Allium munzii
in this section of this proposed rule. For more information on A.
munzii, please refer to the proposed listing rule published in the
Federal Register on December 15, 1994 (59 FR 64812), and the final
listing rule published in the Federal Register on October 13, 1998 (63
FR 54975). Additional information on the biology of the species may be
found in the first rule proposing critical habitat published in the
Federal Register on June 4, 2004 (69 FR 31569), the subsequent final
critical habitat rule published in the Federal Register on June 7, 2005
(70 FR 33015), and the 5-year review for A. munzii signed on June 17,
2009. These documents are available on our Web site at https://www.fws.gov/carlsbad/or https://www.fws.gov/endangered/under Allium
munzii or Munz's onion.
When we listed Allium munzii as endangered in 1998, the genus
Allium was included in the large broadly defined family Liliaceae (lily
family). The genus Allium is now segregated in the family Alliaceae
(onion family), and is recognized as such in the recent revision of the
Jepson Manual of Vascular Plants of California (McNeal 2012, pp. 1289-
1292). Upon review of available systematic and floristic literature and
consultation with species experts, we are amending part 17, subchapter
B of chapter I, title 50 of the Code of Federal Regulations to reflect
the transfer of Allium, including A. munzii, from Liliaceae to
Alliaceae. This transfer does not alter the description, distribution,
or listing status of A. munzii.
Description
Allium munzii belongs to the A. fimbriatum complex, a group of
seven species found primarily in California (McNeal 1992, p. 413).
Allium munzii is a bulb-forming perennial herb that annually produces a
single cylindrical leaf prior to flowering and, depending on rainfall
and age of the plant, a scapose inflorescence (a leafless flower stalk
that grows directly from the ground) 0.5 to 1.2 feet (ft) (15 to 35
centimeters (cm)) tall. The inflorescence is umbellate (each individual
flower stalk radiates from the same point of attachment), and consists
of 10 to 35 flowers. Each flower has six white or white with red
midvein perianth segments (outer part of flower), 0.2 to 0.3 inch (in)
(6 to 8 millimeters (mm)) long, which become red with age. The ovary is
crested with fine, irregularly dentate processes and the fruit is a
three-lobed capsule (McNeal 1992, p. 413).
Biology and Life History
Native Allium taxa typically require 3 to 5 years after seeds
germinate for plants to reach maturity and produce flowers (Schmidt
1980, p. 164). Allium plants are adapted to survive
[[Page 23010]]
unfavorable seasons underground, as are all bulb-forming and corm-
forming plants (geophytes) (P[uuml]tz 1992, p. 1433). Seedlings achieve
the appropriate depth in the soil by the action of specialized roots
that pull the young plants down through the soil (P[uuml]tz 1992, p.
1433). Allium munzii plants are dormant from mid-summer through autumn.
The flowering period varies from year to year, but is generally between
March and May (California Native Plant Society (CNPS) 2001, p. 67).
After flowering and seed dispersal, the aboveground portions of A.
munzii plants die back to the bulb. Following seed germination, at
least 3 years are required for these bulb-forming plants to produce
flowers (Wall 2012, pers. comm.).
Allium munzii is adapted to seasonal (summer and fall) drought and
variable annual rainfall. McNeal (1992, p. 413) observed that flowering
in the A. fimbriatum complex appears to be correlated with rains in the
late fall and early winter. As a result, A. munzii may occur in various
states during a given growing season, including: (1) As dormant
underground bulbs, (2) as seedlings and other pre-reproductive plants
that only produce one leaf, (3) as adults with only one leaf that do
not produce an inflorescence that year, (4) as adults that produce one
leaf and an inflorescence, and (5) as seeds in a soil seedbank. When
rainfall is heavier, most plants flower successfully (McNeal 1992, p.
413); A. munzii often does not flower in very dry years (Boyd 1988, p.
3), though most plants will sprout leaves and sometimes produce flower
buds. In addition to sexual reproduction through seed production, A.
munzii plants can reproduce asexually through vegetative division of
the bulbs (Ellstrand 1993, p. 5; Ellstrand 1999, p. 1). We have no
definitive information regarding pollinators of A. munzii, but it is
likely that a number of insect species serve this function (Boyd 2007,
pers. comm.). Small beetles of the family Anthicidae (ant-like flower
beetles) were found on about one-third of the A. munzii inflorescences
of a population in Temescal Canyon (The Environmental Trust 2002, p.
16); however, their role as pollinators was not confirmed.
Habitat and Soil Preferences
Allium munzii is a narrow endemic plant discontinuously distributed
along the southern edge of the greater Riverside-Perris area (Perris
Basin) in western Riverside County, between the elevations of 1,200 to
2,700 ft (366 to 823 meters (m)) above mean sea level (AMSL), from
Temescal Canyon southeast to the foothills of the San Jacinto Mountains
(Boyd 1988, p. 2; Roberts et al. 2004, pp. 10, 130). Climate in this
area is characterized by cool, moist winters and hot, dry summers (Boyd
1988, p. 4). Allium munzii is found on level or slightly sloping areas
or on terrace escarpments (California Natural Diversity Database
(CNDDB) 2011a) and is strongly associated with mesic (wet) clay soils
in western Riverside County (Boyd 1988, pp. 2, 4). Allium munzii occupy
microhabitat sites created by the complex geology of the Perris Basin;
these sites receive or retain more moisture than nearby or surrounding
sites due to exposure, slope characteristics, hydrological
characteristics, or topographic features (see, for example, the
topography and geology discussion in Boyd (1983, pp. 10, 13-14, 18)).
Many of the clay soil types where Allium munzii occurs typically
support open native or nonnative grasslands. Specific designations
include southern needlegrass grassland, mixed grassland, open coastal
sage scrub or Riversidean sage scrub, or occasionally cismontane
juniper woodlands (CNPS 2001, p. 67). The species is also considered a
component of a ``clay soil flora'' that includes perennial herbs and a
variety of annuals (Boyd 1988, p. 4). Plants are most frequently found
in areas that are minimally disturbed and in areas where there is
little competition and overcrowding from nonnative plants. In contrast,
areas that consistently experience ground disturbance activities (such
as disking for dryland farming) or are heavily infested with invasive,
nonnative plants (particularly annual grasses) generally result in a
decline in habitat quality and therefore declining A. munzii
populations (Roberts 1998, pers. comm.; CNDDB 2011a).
Known soil associations with Allium munzii include, but are not
limited to: Altamont, Auld, Bosanko, and Porterville clays of
sedimentary origin. These clay soils are scattered in a band several
miles wide and extend south of Corona, California, through Temescal
Canyon and along the Elsinore Fault zone to the southwestern foothills
of the San Jacinto Mountains (Boyd 1988, p. 2). Some of these soils are
small pockets of clay soil (for example Gavilan Hills) and are not
identified on coarse-scale soil maps (Boyd 2011a, pers. comm.). Wet
clay soils facilitate the formation of soil channels for movement of
young bulbs (P[uuml]tz 1992, p. 1433), which is necessary for
establishment and persistence of A. munzii plants. Allium munzii is
also found in rocky-sandy loam soil within rocky outcrops (such as
North Domenigoni Hills) (CNDDB 2011a, Element Occurrence (EO) 10).
These soils may be of sedimentary or igneous origin with a clay subsoil
(such as Cajalco, Las Posas, or Vallecitos) (Knecht 1971, pp. 2-3, 21,
42, 62-64).
Spatial Distribution, Historical Range, and Population Size
As noted above, Allium munzii is a narrow endemic species with a
naturally discontinuous distribution in western Riverside County (Boyd
1988, p. 2; Roberts et al. 2004, pp. 10, 130). Its historical
distribution may have been within clay soils scattered throughout the
entire Perris basin in western Riverside County, which exhibits a
complex physical geography characterized by several distinct geologic
events and subsequent erosional processes that have produced numerous
soil or sediment types on the remaining land forms (Dudley 1936, pp.
358-360, 376). Allium munzii shares its range and habitat with a
portion of the range of the similar-appearing A. haematochiton (red-
skinned onion). The two species can occur within several feet of each
other, but they do not interbreed (CDFG 1989, p. 2).
In general, the distribution of plant taxa may be determined from a
variety of sources including preserved herbarium specimens, survey
reports, and various databases. Survey records typically contain
information describing locations and numbers of plants, which can be
called localities or groups of individual plants (up to several
thousand in one location or only a few plants), or can be described as
the actual number of individual plants. The precision of the location
of survey sites varies from general area descriptions to road
perimeters to more recent Global Positioning System (GPS) technology.
The CNDDB, maintained by the California Department of Fish and Game
(CDFG), is an ongoing effort to include herbarium records and survey
reports for separate Element Occurrences (EOs) of all of the taxa
tracked by the database. To constitute a separate EO, the site must be
at least one-quarter mile from any other such site. Sequential surveys
are accumulated in the EO report for the site. Because contribution to
the database is not mandatory, some herbarium specimens and survey
reports are not yet included in the database. In this proposed rule,
our use of the term occurrence, often in relation to a critical habitat
unit, may indicate an area that includes one or more point localities
and EOs.
Although 6 of the 18 CNDDB-defined EOs have been detected since
listing, the species' geographic range (greater Perris Basin) has
remained essentially
[[Page 23011]]
the same since listing. We identified 13 populations of Allium munzii
in our listing rule (63 FR 54975; October 13, 1998) that were primarily
based on sites identified as CNDDB EOs and cited in the rule (EOs 2, 3,
5, 7-16). Since then, six new EOs have been included in the CNDDB
database (CNDDB 2011a, EOs 17, 18, 20, 21, 22, and 23), and during our
2009 5-year review, we located another record (1994) that was unknown
at the time of listing and that is not yet described in the CNDDB
database (Service 2009, p. 38; proposed EO 24). At the time of our 2009
5-year review, we assessed the status of six EOs as follows: two CNDDB-
defined EOs (EOs 1 and 8) are likely extirpated (locally extinct),
three (EOs 20, 21, and 22) are vague locations or historical and of
currently unknown condition, and one (EO 19) was likely based on a
misidentified specimen and deleted by CNDDB (Service 2009, p. 9). In
addition, the CNDDB has now combined EO 8 with EO 3 (CNDDB 2011a, EO3).
We therefore concluded in our 5-year review that there were 18 extant
(still in existence) EOs (EOs 2-7, 9-18, 23, and proposed EO 24) for A.
munzii, all essentially within the same geographic range known at the
time of listing. Because of the species' habitat requirements, we do
not anticipate this geographic range will change significantly in the
future, even if additional locations of plants are discovered.
The number of individual plants of Allium munzii detected in any
one area differs from year to year and is not an accurate reflection of
the actual number of individuals present. This is primarily due to the
variety of life-history phases represented in a given area (see
description in the Biology and Life History section above). Some
surveyors may only sample flowering individuals while others may be
able to sample plants with only the vegetative single leaf present.
Because of the difficulties of obtaining reliable survey results and
the fact that the number of standing individuals is dependent upon
adequate rainfall, any estimation of individuals at a given location
may vary by several orders of magnitude in any given year.
In the 1998 final listing rule we estimated that there were 20,000
to 70,000 individuals of Allium munzii (63 FR 54975; October 13, 1998).
The largest recorded location of plants was at Harford Springs County
Park and adjacent private lands (EO 2), with over 50,000 individuals
observed in 1995 (Ellstrand 1996, p. 4). In our 5-year review, we found
that, prior to listing, 10 CNDDB-defined EOs have supported 1,000 or
more individuals in at least one year (Service 2009, Appendix 1, p.
33), while others support fewer individual plants (i.e., 500 or fewer
plants).
Atriplex coronata var. notatior
It is our intent to discuss only those topics directly relevant to
the proposed revised designation of critical habitat for Atriplex
coronata var. notatior in this section of this proposed rule. For more
information on A. c. var. notatior, please refer to the proposed
listing rule published in the Federal Register on December 15, 1994 (59
FR 64812) and the final listing rule published in the Federal Register
on October 13, 1998 (63 FR 54975). Additional information on the
biology of this taxon may be found in the rule proposing critical
habitat published in the Federal Register on October 6, 2004 (69 FR
59844), the subsequent final critical habitat designation published in
the Federal Register on October 13, 2005 (70 FR 59952), and the 5-year
review for A. coronata var. notatior signed on March 31, 2008. These
documents are available on our Web site at https://www.fws.gov/carlsbad/
or https://www.fws.gov/endangered/ under Atriplex coronata var. notatior
or San Jacinto Valley crownscale.
Description
Atriplex coronata var. notatior is a bushy, erect, annual plant
that has unisexual flowers on each plant. It is a member of the
Chenopodiaceae (goosefoot family) (Munz 1974, p. 351). Plants are from
4 to 12 in (10 to 30.5 cm) high and generally appear gray and scaly
during the growing season, becoming glabrous and straw-colored as they
mature (Taylor and Wilken 1993, p. 501). The grayish leaves are sessile
(stalkless and attached directly at the base), alternate, 0.3 to 0.8 in
(8 to 20 mm) long, and elliptic to ovate-triangular in outline. The
flowers occur in mixed clusters (Munz 1974, p. 353; Taylor and Wilken
1993, p. 501). The female flowers are obscure and develop spherical
bracts in the fruiting phase. These bracts have dense tubercles
(projections) that are roughly equal in number to the marginal teeth on
the bracts (Munz 1974, p. 353; Taylor and Wilken 1993, p. 501).
Atriplex coronata var. notatior can be distinguished from the more
northern A. c. var. coronata by its erect stature, the spherical shape
of the bracts together in fruiting stage, and the more numerous
tubercles and marginal teeth on the bracts. The ranges of the two taxa
do not overlap. Atriplex coronata var. notatior may co-occur with one
or more of six native and one introduced Atriplex taxa within its range
(Bramlet 1993b, p. 7-8) and can be distinguished from these taxa by a
combination of characteristics, including life history, shape of the
leaf, and size and form of the bract (Munz 1974, pp. 354-355; Taylor
and Wilken 1993, p. 501).
Biology and Life History
The persistence of Atriplex coronata var. notatior depends upon a
hydrologic regime that includes seasonal and sporadic ponding or
flooding in combination with slow drainage in alkaline soils and
habitats. The duration and extent of ponding or flooding can be
extremely variable from one year to the next depending on rainfall and
local runoff conditions. Seasonal flooding is a necessary environmental
process for A. c. var. notatior because it precludes invasion from
upland plant species, restores disturbed alkali habitats, and helps to
disperse seed. These elements form a dynamic physical and biological
matrix that allows A. c. var. notatior to colonize favorable sites and
retreat from less favorable sites in response to disturbance and
variations in annual rainfall.
Atriplex coronata var. notatior is reported to be a prolific seed
producer (Ogden Environmental and Energy Services Corporation (OEESC)
1993, p. 27). Seed viability is believed to be at least 5 years
(Bramlet 2004, pers. comm.). The number of viable seeds lost to seed
predators or through dispersal to unsuitable habitats is unknown.
Atriplex coronata var. notatior produces fruits capable of floating
that may be dispersed during seasonal flooding (Sanders 2004, pers.
comm.), specifically by slow-moving water flows during winter and
spring rainfall events. Seeds generally germinate in the spring as
flows recede, flower in April and May, and set fruit by May or June
(Bramlet 1992, pers. comm.). The flowering period may extend to August
in years when the water recedes late in the spring season (Munz 1974,
p. 355; CNPS 2001, p. 93). The number of A. c. var. notatior plants in
a population varies in response to rainfall, extent of winter flooding,
and temperature (Roberts 1993, p. 3). These factors also influence the
distribution of plants from one year to the next (Bramlet 1996, p. 3).
Hydrology, flooding, and precipitation all play a role in the
germination, flowering, fruiting, and seed dispersal of A. c. var.
notatior.
Habitat and Soil Preferences
Atriplex coronata var. notatior is reliant on fixed landscape
features that include: (1) Appropriate hydrology that allows for
flooding and moist soil conditions during the winter and spring
[[Page 23012]]
months, and (2) alkali soils that drain slowly following the winter and
spring rains. The ponding of water (but not prolonged inundation) that
A. c. var. notatior needs for growth and reproduction requires these
hydrologic conditions and underlying soils.
Atriplex coronata var. notatior is found in alkali sink habitat,
including alkali grassland and scrub (Bramlet 1996, p. 10). This
includes the San Jacinto River and Mystic Lake floodplains, which
represent dominant features of the dynamic San Jacinto River Watershed
(Tetra Tech and WRIME 2007, p. 26), and smaller floodplains where the
taxon resides such as Upper Salt Creek and Alberhill Creek. The San
Jacinto River system is ephemeral, characterized by low flows except
during and following rain events, whereas flow in the headwater
tributaries of the watershed is perennial (Tetra Tech and WRIME 2007,
p. 26). Mystic Lake is a natural sink in the San Jacinto Valley; runoff
flows into the lake from the valley and, during large flow events, from
the upper San Jacinto River (Tetra Tech and WRIME 2007, p. 28). The
floodplain of the San Jacinto River occupied by A. c. var. notatior
contains native vegetative communities including alkali sage scrub and
Riversidean sage scrub.
The Upper Salt Creek locations of Atriplex coronata var. notatior
are contained in a natural depression of the old Salt Creek tributary
within the Salt Creek watershed. Habitats occupied by A. c. var.
notatior in this floodplain include alkaline vernal pools, alkaline
grassland, and alkali sink scrub habitats (Regional Environmental
Consultants (RECON) 1995 pp. 15, 17; CNDDB 2011b). Major flood control
channels, local roads and road ditches, and agricultural drainage
ditches currently disrupt historical drainage patterns in Upper Salt
Creek, reducing the degree and duration of ponding during the wet
season (RECON 1995, p. 18).
Atriplex coronata var. notatior has also been observed in the
floodplain of Alberhill Creek, which is a part of the larger Temescal
Wash region of western Riverside County. This area drains the Gavilan
Hills region and the northeastern slope of the Santa Ana Mountains
(Boyd 1983, p. 13). The floodplain floods periodically, including
seasonal overflow from Lake Elsinore; this produces scouring and
ponding in the alkali playa habitat occupied by A. c. var. notatior.
Within these three floodplains, Atriplex coronata var. notatior is
restricted to highly alkaline, silty-clay soils in association with the
Willows soil series and to a lesser extent, the Domino, Traver,
Waukena, and Chino soils series (Knecht 1971, p. 23, Bramlet 1993a, p.
4). Atriplex coronata var. notatior is adapted to grow in slow-draining
alkaline-saline clay soils, which are usually found in floodplains or
areas of seasonal ponding (Mitchell 1990, p. 1; Tierra Madre
Consultants 1990, p. 2) with low permeability and low nutrient
availability. In dry periods, these saline soils exhibit a white
powdery surface (effloresce) of salts on their surface due to the
evaporation of water (Mitchell 1990, p. 1). Within these soil types, A.
c. var. notatior occupies seasonal and ephemeral wetlands, including
floodplains and vernal pools that are seasonally inundated, and within
areas dominated by alkali playas, alkali scrub, and alkali grassland
(Bramlet 1992, pers. comm.); plants are generally found at the upper
margin or on mounds within these wetlands (Bramlet 2004, pers. comm.).
These habitats are dependent upon adjacent transitional wetlands,
marginal wetlands, and upland areas within the watershed (59 FR 64821;
December 15, 1994).
Spatial Distribution, Historical Range, and Population Size
At the time of listing, Atriplex coronata var. notatior was
reported to be limited to the San Jacinto, Perris, Menifee, and
Elsinore Valleys in western Riverside County. The listing rule
identified 11 groupings of individual plants associated with the San
Jacinto River and Old Salt Creek tributary drainages with one
additional small population (185 plants) found to the southwest near
Lake Elsinore (Alberhill Creek) (63 FR 54976; October 13, 1998). In our
5-year review, using data from range-wide surveys of the taxon
completed from 1996 to 2001, we determined that A. c. var. notatior
occupied the same general geographic range described at the time of its
listing in 1998 (Service 2008, p. 5). Based on these survey data and
the limited comprehensive surveys conducted since 2001, we currently
believe that A. c. var. notatior continues to occupy the geographical
areas described in our previous final critical habitat rule as
occurrence complexes (70 FR 59952; October 13, 2005). These areas are
defined by hydrologic processes (such as seasonal flooding) and alkali
soil associations and include:
(1) The floodplain of the San Jacinto River at the San Jacinto
Wildlife Area, including Mystic Lake;
(2) The floodplain of the San Jacinto River between the Ramona
Expressway and Railroad Canyon Reservoir;
(3) The Upper Salt Creek Vernal Pool Complex in the western Hemet
area; and
(4) The floodplain of Alberhill Creek north of Lake Elsinore (CNDDB
2011b).
The alkaline-saline soils associated with the taxon, primarily the
Traver-Domino-Willows Association (Knecht 1971, p. 23), form a U-shaped
band around the Lakeview Mountains within basins and valley floors of
the greater Perris Valley basin (Tierra Madre Consultants 1990, p. 3)
and encompass the San Jacinto River and Old Salt Creek drainages.
Atriplex coronata var. notatior is subject to significant natural
fluctuations in numbers of observed individuals in any given year,
which varies in response to annual rainfall, extent and distribution of
winter flooding, and temperature (Roberts 1993, p. 3; Bramlet and White
2004, Table 2). Differences in survey methodologies and proportion of
range surveyed may also contribute to differences in annual counts of
individuals. In addition, a viable seed bank may exist in the soil at a
site for several years (Bramlet 2004, pers. comm.) even if plants are
removed or fail to germinate for a season or if the site is disturbed
(OEESC 1993, p. 27).
A status review and threat assessment for Atriplex coronata var.
notatior, completed in October 1993 (prior to its listing in 1998),
indicated that approximately 78,000 individuals were distributed
throughout the ``populations'' defined by the CNDDB EOs (Roberts 1993,
p. 3). At the time of listing, we estimated about 27,000 A. c. var.
notatior individuals occupied about 145 acres (ac) (59 hectares (ha))
of habitat (63 FR 54976; October 13, 1998). We used population and
habitat acreage estimates from Bramlet and White (2004, Table 2) in our
final critical habitat rule (70 FR 59955; October 13, 2005); however,
these were combined data from the 1990s for the four geographical areas
listed above. In our 2008 5-year review, we indicated a rangewide
population estimate of 106,000 individuals of Atriplex coronata var.
notatior based on estimates from surveys conducted in the spring of
2000 (Glenn Lukos Associates, Inc. 2000, p. 15). Approximately 84,000
of these individuals were found on 236.5 ac (95.7 ha) along the San
Jacinto River between the Ramona Expressway and the mouth of Railroad
Canyon for a total of 61 localities (Glenn Lukos Associates, Inc. 2000,
p. 16). This study found that approximately 58,000 of the estimated
83,741 individual plants (or 69 percent) were located within farmed or
otherwise altered areas impacted by regular disking and, in some areas,
by
[[Page 23013]]
additional soil amendments. This report also noted that approximately
7,470 individuals were located within the San Jacinto Wildlife Area to
the north (Glenn Lukos Associates Inc. 2000, p. 15).
Additional recent surveys of locations or localities (groups of
individual plants) of Atriplex coronata var. notatior have been
completed in portions of the middle and lower San Jacinto River
floodplain as well as the Mystic Lake area in 2005, 2008, and 2009
(Rancho Santa Ana Botanic Garden 2006, 2010; White 2009, pers. comm.).
Individual numbers of plants ranged from 21 to 220 per site. The
Western Riverside Regional Conservation Agency (RCA) has also conducted
limited surveys in a portion of the San Jacinto Wildlife Area since
2006 under the Western Riverside County MSHCP Rare Plant Survey
program, finding fewer than 100 individuals for all 13 surveyed sites
(Malisch, 2010, pers. comm.).
Surveys for sensitive plant species were also conducted within the
Upper Salt Creek area in 2005 and 2006 for a proposed highway
realignment project (CH2M Hill 2010). These surveys documented over
100,000 individual Atriplex coronata var. notatior plants within 555
localities in alkali grassland, alkali playa, and vernal pool habitats
(CH2M Hill 2010, pp. 5-69, Appendix F (p. 5), and Figure 5.3-11). The
largest number of locations of plants (90 percent) and the largest
number of individual plants (over 100,000 plants) were all found in one
general region of the Upper Salt Creek area (north of the San Jacinto
Branch Line, south of Devonshire Avenue, east of California Avenue, and
west of Warren Road) (CH2M Hill 2010, p. 5-69).
The results of these recent surveys (2005 through 2009), including
some conducted during a wet year, indicate a more significant
population of plants within the Upper Salt Creek area than was
previously believed for the Upper Salt Creek location. These surveys do
not represent a significant change in the distribution of Atriplex
coronata var. notatior since the plant was listed. They do provide more
precise locations for A. c. var. notatior within these two floodplains,
and therefore an updated assessment of the distribution of the plant
within the geographical area occupied at the time of listing.
Atriplex coronata var. notatior is also found in the Alberhill
Creek area. In 1997, 185 plants were observed on Willows soils in this
floodplain within wetland habitat along Nichols Road, near the mouth of
Walker Canyon (CNDDB 2011b, EO16). A survey in 2005 recorded 10 plants
south of Nichols Road in nonnative grassland and alkali marsh habitat
on Willows soil, within one-quarter mile (365 m) of the 1997 location
(AMEC Earth and Environmental Inc., 2006b, p. 29).
Previous Federal Actions--Allium munzii
Please see the final listing rule for Allium munzii for a
description of previous Federal actions through October 13, 1998 (63 FR
54975). At the time of listing, we concluded that designation of
critical habitat for A. munzii was not prudent because such designation
would not benefit the species. On June 4, 2004, we published a proposed
rule to designate 227 ac (92 ha) of critical habitat for A. munzii on
Federal land (Cleveland National Forest) in western Riverside County,
California (69 FR 31569). On June 7, 2005, we published a final rule
designating 176 ac (71 ha) of the proposed land as critical habitat for
A. munzii (70 FR 33015).
On March 22, 2006, we announced the initiation of the 5-year review
for Allium munzii and opening of a 60-day public comment period to
receive information (71 FR 14538). The A. munzii 5-year review was
signed on June 17, 2009, and found that no change was warranted to the
endangered status of A. munzii.
On October 2, 2008, a complaint was filed against the Department of
the Interior (DOI) and the Service by the Center for Biological
Diversity (CBD v. Kempthorne, No. 08-CV-01348 (S.D. Cal.)) challenging
our final critical habitat designation for Allium munzii. In an order
dated March 24, 2009, the U.S. District Court for the Central District
of California, Eastern Division, adopted a Stipulated Settlement
Agreement that was entered into by all parties. The agreement
stipulates that the Service will reconsider critical habitat
designations for both A. munzii and Atriplex coronata var. notatior,
and shall submit to the Federal Register proposed revised critical
habitat determinations for both plants by October 7, 2011. An extension
for the completion of the new proposed determinations was granted on
September 14, 2011; the new submission date to the Federal Register is
April 6, 2012. Until the effective date of the final determinations (to
be submitted to the Federal Register on or before April 6, 2013), the
existing final critical habitat designations for A. munzii and A. c.
var. notatior remain in place. We are proposing revised critical
habitat designations for both A. munzii and A. c. var. notatior in this
combined proposed rule.
Previous Federal Actions--Atriplex coronata var. notatior
Please see the final listing rule for Atriplex coronata var.
notatior for a description of previous Federal actions through October
13, 1998 (63 FR 54975), including proposed critical habitat in 1994 (59
FR 64812; December 15, 1994). At the time of the final listing rule in
1998, the Service withdrew the proposed critical habitat designation
based on the taxon's continued decline and determined that designation
of critical habitat was not prudent, indicating that no benefit over
that provided by listing would result from such designation (63 FR
54991; October 13, 1998).
On October 6, 2004, we published a proposed rule to designate
critical habitat for Atriplex coronata var. notatior and identified
15,232 ac (6,164 ha) of habitat that met the definition of critical
habitat (69 FR 59844). However, we concluded in the 2004 proposed rule
under section 4(b)(2) of the Act that the benefits of excluding lands
covered by the Western Riverside County MSHCP outweighed the benefits
of including them as critical habitat and no lands were proposed for
designation as critical habitat in the proposed rule. On October 13,
2005, we published a final critical habitat determination for A. c.
var. notatior (70 FR 59952); there was no change from the proposed
rule. We concluded that all 15,232 ac (6,136 ha) of habitat meeting the
definition of critical habitat were located either within our estimate
of the areas to be conserved and managed by the approved Western
Riverside County MSHCP on existing Public/Quasi-Public Lands, or within
areas where the MSHCP would ensure that future projects would not
adversely alter essential hydrological processes and therefore all
areas were excluded from critical habitat under section 4(b)(2) of the
Act.
On March 22, 2006, we announced the initiation of the 5-year review
for Atriplex coronata var. notatior and the opening of a 60-day public
comment period to receive information (71 FR 14538). The 5-year review
was signed on March 31, 2008, and found that no change was warranted to
the endangered status of A. c. var. notatior.
On October 2, 2008, a complaint was filed against the DOI and the
Service by the Center for Biological Diversity (CBD v. Kempthorne, No.
08-CV-01348 (S.D. Cal.)) challenging our final critical habitat
determinations for Allium munzii and Atriplex coronata var. notatior
(see Previous Federal Actions--Allium Munzii section above for a
[[Page 23014]]
detailed account of this lawsuit and settlement agreement). We are
proposing revised critical habitat designations for both A. munzii and
A. c. var. notatior in this proposed rule.
Critical Habitat
Background
Critical habitat is defined in section 3 of the Act as:
(1) The specific areas within the geographical area occupied by the
species, at the time it is listed in accordance with the Act, on which
are found those physical or biological features that are
(a) Essential to the conservation of the species and
(b) Which may require special management considerations or
protection; and
(2) Specific areas outside the geographical area occupied by the
species at the time it is listed, upon a determination that such areas
are essential for the conservation of the species.
Conservation, as defined under section 3 of the Act, means to use
and the use of all methods and procedures necessary to bring an
endangered or threatened species to the point at which the measures
provided pursuant to the Act are no longer necessary. Such methods and
procedures include, but are not limited to, all activities associated
with scientific resource management such as research, census, law
enforcement, habitat acquisition and maintenance, propagation, live
trapping, and transplantation, and, in the extraordinary case where
population pressures within a given ecosystem cannot be otherwise
relieved, may include regulated taking.
Critical habitat receives protection under section 7 of the Act
through the requirement that Federal agencies ensure, in consultation
with the Service, that any action they authorize, fund, or carry out is
not likely to result in the destruction or adverse modification of
critical habitat. The designation of critical habitat does not affect
land ownership or establish a refuge, wilderness, reserve, preserve, or
other conservation area. Such designation does not allow the government
or public to access private lands. Such designation does not require
implementation of restoration, recovery, or enhancement measures by
non-Federal landowners. Where a landowner seeks or requests Federal
agency funding or authorization for an action that may affect a listed
species or critical habitat, the consultation requirements of section
7(a)(2) would apply, but even in the event of a destruction or adverse
modification finding, the obligation of the Federal action agency and
the landowner is not to restore or recover the species, but to
implement reasonable and prudent alternatives to avoid destruction or
adverse modification of critical habitat.
Under section 3(5)(A)(i) of the Act, specific areas within the
geographical area occupied by the species at the time it was listed are
included in a critical habitat designation if they contain the physical
or biological features (1) which are essential to the conservation of
the species and (2) which may require special management considerations
or protection. For these areas, critical habitat designations identify,
to the extent known using the best scientific and commercial data
available, those physical or biological features that are essential to
the conservation of the species (such as space, food, cover, and
protected habitat). In identifying those physical or biological
features within an area, we focus on the principal biological or
physical constituent elements (PCEs) (such as roost sites, nesting
grounds, seasonal wetlands, water quality, tide, and soil type) that
are essential to the conservation of the species.
Under section 3(5)(A)(ii) of the Act, specific areas outside the
geographical area occupied by the species at the time it is listed are
included in a critical habitat designation upon a determination that
such areas are essential for the conservation of the species. For
example, an area currently occupied by the species but that was not
occupied at the time of listing may be essential for the conservation
of the species and may be included in the critical habitat designation.
We designate critical habitat in areas outside the geographical area
occupied by a species only when a designation limited to its range
would be inadequate to ensure the conservation of the species.
Section 4 of the Act requires that we designate critical habitat on
the basis of the best scientific data available. Further, our Policy on
Information Standards under the Endangered Species Act (published in
the Federal Register on July 1, 1994 (59 FR 34271)), the Information
Quality Act (section 515 of the Treasury and General Government
Appropriations Act for Fiscal Year 2001 (Pub. L. 106-554; H.R. 5658)),
and our associated Information Quality Guidelines, provide criteria,
establish procedures, and provide guidance to ensure that our decisions
are based on the best scientific data available. They require our
biologists, to the extent consistent with the Act and with the use of
the best scientific data available, to use primary and original sources
of information as the basis for recommendations to designate critical
habitat.
When we are determining which areas should be designated as
critical habitat, our primary source of information is generally the
information developed during the listing process for the species.
Additional information sources may include the recovery plan for the
species, articles in peer-reviewed journals, conservation plans
developed by States and counties, scientific status surveys and
studies, biological assessments, other unpublished materials, or
experts' opinions or personal knowledge.
Habitat is dynamic, and species may move from one area to another
over time. We recognize that critical habitat designated at a
particular point in time may not include all of the habitat areas that
we may later determine are necessary for the recovery of the species.
For these reasons, a critical habitat designation does not signal that
habitat outside the designated area is unimportant or may not be needed
for recovery of the species. Areas that are important to the
conservation of the species, both inside and outside the critical
habitat designation, will continue to be subject to: (1) Conservation
actions implemented under section 7(a)(1) of the Act, (2) regulatory
protections afforded by the requirement in section 7(a)(2) of the Act
for Federal agencies to ensure their actions are not likely to
jeopardize the continued existence of any endangered or threatened
species, and (3) the prohibitions of section 9 of the Act if actions
occurring in these areas may affect the species. Federally funded or
permitted projects affecting listed species outside their designated
critical habitat areas may still result in jeopardy findings in some
cases. These protections and conservation tools will continue to
contribute to recovery of these taxa. Similarly, critical habitat
designations made on the basis of the best available information at the
time of designation will not control the direction and substance of
future recovery plans, HCPs, or other species conservation planning
efforts if new information available at the time of these planning
efforts calls for a different outcome.
In particular, we recognize that climate change may cause changes
in the arrangement of occupied habitat and will be a particular
challenge for biodiversity because the interaction of additional
stressors associated with
[[Page 23015]]
climate change and current stressors may push species beyond their
ability to survive (Lovejoy 2005, pp. 325-326). The synergistic
implications of climate change and habitat fragmentation are the most
threatening facet of climate change for biodiversity (Hannah and
Lovejoy 2005, p. 4). Climate models are being generated to examine what
will happen in localized regions such as southern California, and many
scientists believe warmer, wetter winters and warmer, drier summers
will occur within the next century as well as an increase in extreme
temperature events (e.g., Field et al. 1999, pp. 2-3, 20; Christensen
et al. 2007, p. 891). Climate-related changes in California have been
documented (Croke et al. 1998, pp. 2128, 2130; Breashears et al. 2005,
p. 15144; McMullen and Jabbour 2009, p. 41; Dominguez et al. 2010, p.
500), and predictions for California indicate prolonged drought and
other climate-related changes into the future (Field et al. 1999, pp.
8-10; Lenihan et al. 2003, p. 1667; Hayhoe et al. 2004, p. 12422;
Breashears et al. 2005, p. 15144; Seager et al. 2007, p. 1181; IPCC
2007, p. 9).
Regional climate change models project that the southwestern
California ecoregion occupied by Allium munzii and Atriplex coronata
var. notatior could experience a mean annual temperature increase of
1.7 to 2.2 [deg]Celsius (C) (3.06 to 3.96 [deg]Fahrenheit (F)) by 2070
(Point Reyes Bird Observatory (PRBO) Conservation Science 2011, p. 40).
These models also project vegetation changes for southwestern
California. For example, the area of chaparral or coastal scrub is
projected to decrease by 38 to 44 percent by 2070, while grassland,
which currently occupies 3 percent of this region, is projected to
increase by 345 to 390 percent (PRBO Conservation Science 2011, p. 42).
A recent study on the effects of climate change to grassland
assemblages in California, as measured by trait differences between
native and nonnative plant taxa, predicted an increase in dominance of
nonnative taxa in grass assemblages with an increase in temperature
(Sandel and Dangremond 2011, p. 11).
The information currently available on the effects of global
climate change and increasing temperatures does not adequately predict
the location and magnitude of climate change effects to Allium munzii
and Atriplex coronata var. notatior; therefore, we are unable to
determine if any additional areas may be appropriate to include in this
proposed revised critical habitat designation to address the effects of
climate change. We specifically request information from the public on
the currently predicted effects of climate change on A. munzii and A.
c. var. notatior and their habitats (see Public Comments section
above).
Physical or Biological Features
In accordance with sections 3(5)(A)(i) and 4(b)(1)(A) of the Act
and regulations at 50 CFR 424.12, in determining which areas within the
geographical area occupied at the time of listing to propose as revised
critical habitat, we consider those physical or biological features
that are essential to the conservation of the species and which may
require special management considerations or protection. These include,
but are not limited to:
(1) Space for individual and population growth and for normal
behavior;
(2) Food, water, air, light, minerals, or other nutritional or
physiological requirements;
(3) Cover or shelter;
(4) Sites for breeding, reproduction, or rearing (or development)
of offspring; and
(5) Habitats that are protected from disturbance or are
representative of the historical, geographical, and ecological
distributions of a species.
Allium munzii
We derive the specific physical or biological features for Allium
munzii from characteristics of the species' habitat, ecology, and life
history as described in the Background section of this proposed rule,
the previous critical habitat rule (70 FR 33015; June 7, 2005), the
proposed listing rule (59 FR 64812: December 15, 1994), and the final
listing rule (63 FR 54975; October 13, 1998). We have based our
determination of the physical or biological features for A. munzii on
the following:
Space for Individual and Population Growth and for Normal Behavior
Allium munzii is a narrow endemic plant that is generally
associated with mesic clay soils in western Riverside County,
California, along the southern edge of the Perris Basin. Because of the
physical geology in this part of the County, clay soils are scattered
in a band, several miles wide, extending 40 miles (mi) (64 kilometers
(km)) from Gavilan Hills to west of Temescal Canyon and Lake Elsinore
at the eastern foothills of the Santa Ana Mountains, and along the
Elsinore Fault Zone to the southwestern foothills of the San Jacinto
Mountains near Lake Skinner and Diamond Valley Lake. These clay soils
often exist as areas of smaller discrete pockets (clay lenses) that are
often not identified on coarse-scale soil maps. Allium munzii is also
found within other soil types. These include soil series of sedimentary
or igneous origin within a clay subsoil, or rocky-sandy loam soils that
fall between the finer-textured sandy clay loam and the coarser-
textured loamy sands and have sufficient silt or clay components to
provide coherence (stickiness) to the soil (Brown 2003, p. 3). Clay
soils must be deep enough (at least 3 in (7.6 cm)) and remain wet long
enough to expand during the rainy season in order to pull the seedling
bulb down into the soil so the plant will survive until spring (Wallace
2011, pers. comm.). Allium munzii most frequently appears within intact
habitats in which the soils and subsoils have been minimally altered or
unaltered by ground-disturbing activities (such as disking, grading,
excavating, or recontouring) and in more open areas where there is
little competition and overcrowding from nonnative plants.
Allium munzii is commonly restricted to locally wetter sites (Boyd
1988, p. 2) on level or slightly sloping (10-20 degrees) areas at
elevations from 1,200 ft (366 m) AMSL (Skunk Hollow) to 2,700 ft (823
m) AMSL (Estelle Mountain) (Boyd 1988, p. 4). It is found on both
south- and north-facing slopes (L&L Environmental Inc. 2003, p. 26;
CNDDB 2011a). The native perennial and annual grassland communities,
open coastal sage or Riversidean sage scrub, and occasionally
cismontane juniper woodlands found on clay soils in Riverside County
provide supporting habitat for A. munzii. Coupled with aspect and
elevation, these plant communities in western Riverside County provide
space for individual and population growth for A. munzii and are
identified as a physical or biological feature for this species.
Food, Water, Air, Light, Minerals, or Other Nutritional or
Physiological Requirements
Clay soil associations for Allium munzii include, but are not
limited to: Altamont, Auld, Bosanko, and Porterville clays (70 FR
33022; June 7, 2005) or soil series of sedimentary or igneous origin
(rocky-sandy loam) with a clay subsoil (such as Cajalco, Las Posas, and
Vallecitos). Two populations of A. munzii are associated with these
rocky or sandy loam soils on igneous rocky outcrops (Greene 1999, pers.
comm.; CNDDB 2011a, EO 23). Most populations are associated with clay
soils, which have a sticky adobe consistency when wet and large cracks
when dry, and with rounded cobbles and boulders embedded within the
soil (Boyd 1988, p. 4). Clay soils have
[[Page 23016]]
unique physical and chemical properties such as fine grain size, small
pore space, and an expansive nature that often result in a hardpan
layer that inhibits percolation and root penetration (Donahue et al.
1977, p. 50). Clay soils are also rich in mineral nutrients such as
calcium, magnesium, and potassium that are held tightly as positively
charged ions (cations) and are absorbed by plant roots through cation
exchange (Donahue et al. 1977, pp. 10, 50, 106, 113, 121).
Allium munzii is adapted to seasonal (summer and fall) drought and
variable annual rainfall. Within areas of suitable clay soils or areas
of smaller discrete pockets of clay within other soil types,
microhabitats that receive or retain more moisture than surrounding
areas (due to factors such as exposure, slope, and subsurface geology)
are very important in determining where A. munzii is found (Boyd 2011b,
pers. comm.) and are identified as physical or biological features for
this species.
Sites for Reproduction
Sites for Allium munzii reproduction are coincident with those for
individual and population growth. Allium munzii is generally restricted
to clay soils but is also found on rocky loam soils (such as North
Domenigoni Hills). The sites of these soils in western Riverside County
are identified as a physical or biological feature for this species.
We have little information on pollinators or their habitat
requirements for this taxon other than anecdotal observations of
beetles on Allium munzii inflorescences in one population at Temescal
Canyon (The Environmental Trust 2002, p. 16). Wind dispersal is the
likely mechanism for seed distribution; however, no estimates of
dispersal distances are available.
Habitats Protected From Disturbance or Representative of the
Historical, Geographical, and Ecological Distributions of the Species
Allium munzii is found in association with several plant
communities, including southern needlegrass grassland, mixed grassland,
open coastal sage scrub and Riversidean sage scrub, or occasionally
cismontane juniper woodlands (CNPS 2001, p. 67). A characteristic clay
soil flora, comprised of herbaceous annuals and perennials, is often
associated with the small pockets of clay soils (see Habitat and Soil
Preferences section above for Allium munzii) in southwestern Riverside
County occupied by A. munzii (Boyd 1988, p. 4). In some instances, the
observed differences in plant communities that occupy clay versus
nonclay soils can be very different as is the case for the terraces in
Temescal Canyon (Boyd 1988, p. 4). At other locations, such as
Alberhill Mountain and the Gavilan Hills region, the grasslands form a
mosaic with the surrounding scrub-type vegetation (Boyd 1988, p. 4); A.
munzii is often found in open areas within these grassland communities.
Allium munzii is also associated with nonnative plants, primarily
invasive annuals (CDFG 1989, p. 2). However, nonnative plants have been
identified as a threat to several populations of A. munzii (CNDDB
2011a, EOs 5, 6, 7, 10, 12, and 16). Activities that promote the spread
of invasive weedy grasses, such as disking and grading, can suppress
the inflorescence of A. munzii (Boyd 1988, p. 3). These activities can
also kill plants and destroy hydrological characteristics of the site.
Native and, in some areas, nonnative plant communities found along
the southern edge of the greater Riverside-Perris area are identified
as a physical or biological feature for this taxon.
Atriplex coronata var. notatior
We derive the specific physical or biological features for Atriplex
coronata var. notatior from studies of this taxon's habitat, ecology,
and life history as described in the Background section of this
proposed rule, the previous critical habitat rule (70 FR 59952; October
13, 2005), and the final listing rule (63 FR 54975; October 13, 1998).
We have based our determination of the physical or biological features
for A. c. var. notatior on the following:
Space for Individual and Population Growth and for Normal Behavior
Atriplex coronata var. notatior occupies seasonal wetlands,
including vernal pools and floodplains that receive seasonal inundation
(Bramlet 1993a, p. 1). The taxon occurs within alkali playas, alkali
scrub, alkali vernal pools, and alkali grasslands, where these habitats
occur in association with slow-draining alkaline soils, particularly
the Willows soil series, and to a lesser extent, the Domino, Traver,
Waukena, and Chino soil series (Knecht 1971, p. 23 and accompanying
map; Bramlet 1992 pers. comm.; Bramlet 1993a, p. 1;). Atriplex coronata
var. notatior is therefore found adjacent to and dependent on
floodplains, transitional wetlands, marginal wetlands, and scrub
habitat within the watershed (59 FR 64812; December 15, 1994, p.
64821).
The four general geographical areas where Atriplex coronata var.
notatior is known to occur are no longer pristine and have been
particularly impacted by agricultural activities (Service 2008, p. 8).
Dryland or irrigated farming activities in the San Jacinto River and
Old Salt Creek floodplains have been occurring over the past 100 years.
Most populations of plants within these locations are on privately
owned undeveloped land that is disked frequently or has undergone
intensive manure dumping (Roberts 1993, pp. 2-3; Roberts and McMillan
1997, pp. 1-5; Roberts 2004, pers. comm.; CNDDB 2011b). Habitats that
support A. c. var. notatior can recover from disturbance from disking
or dryland farming if left fallow and undisturbed (Roberts 1993, pp. 2-
3). In the past, disking was intermittent, allowing for recovery
periods for A. c. var. notatior (Roberts 1999, pers. comm.).
Additionally, Atriplex coronata var. notatior can persist in the seed
bank within lands that experience short-term disturbances and can
germinate with the return of proper conditions (Roberts 1993, pp. 2-3).
Thus, in those areas where elements of annual communities persist,
disturbed annual grassland and alkali playa habitats can recover with
the return of hydrological conditions to support A. c. var. notatior
and therefore provide the physical or biological features for the
taxon. However, once the seed bank is removed through activities such
as laser leveling for agriculture development or significant
alternation of soil chemistry, plants are unlikely to reestablish
without extensive soil restoration (Bramlet 2010, pers. comm.). We have
determined that alkali vernal pools and floodplains that receive
seasonal inundation, including alkali playas, alkali scrub, alkali
vernal pools, and alkali grasslands habitats, are a physical or
biological feature for A. c. var. notatior.
Food, Water, Air, Light, Minerals, or Other Nutritional or
Physiological Requirements
Atriplex coronata var. notatior requires a hydrologic regime that
includes seasonal and large-scale flooding in combination with alkaline
soils that exhibit low permeability and low nutrient availability. The
plants occur along floodplains defined by seasonal ponding or flooding
in the San Jacinto River and Upper Salt Creek drainages and within the
Alberhill Creek floodplain in soils where mineral nutrients are tightly
bound to silt and clay particles (Roberts 2004, pers. comm.). Depending
on the amount of precipitation, the duration and extent of flooding or
inundation can be extremely variable year to year. Seasonal flooding
(typically over the winter and early spring) is an important process
that
[[Page 23017]]
creates suitable alkali habitat for A. c. var. notatior, stimulates
germination, prevents invasion from flood-intolerant plant species,
restores disturbed areas, and helps disperse seed (Roberts 2004, pers.
comm.). Additionally, large-scale flooding events, such as 10-, 50-, or
100-year floods, can restore or reset alkali habitat that has been
colonized by upland species or disturbed by agricultural activities
(Bramlet 1992, pers. comm.). The frequency, duration, and extent of
seasonal ponding or flooding creates a dynamic matrix of habitat that
allows A. c. var. notatior to colonize favorable sites and retreat from
less favorable sites in response to disturbance and variations in
annual rainfall. Irreversible actions (such as paving, redirection of
sheet flow, or year-round flooding) that alter the hydrology of the
seasonal wetlands and upland watersheds, or infringe upon the wetlands,
may threaten the survival of A. c. var. notatior.
The presence of Atriplex coronata var. notatior in floodplains
depends on seasonal or large-scale flooding within valley drainages, as
well as precipitation and runoff from the surrounding hillsides. The
watershed and the upland areas that provide water to these floodplains
are important for retaining the flooding regime. While some runoff
originates from undeveloped hillsides, much of the watershed where A.
c. var. notatior occurs has been developed, and the flows traveling to
the ponded habitats can include urban runoff (RECON 1995, pp. 18, 21).
Unless captured and routed to storm water detention (desilting) basins,
this runoff can transport a variety of pollutants that can be
detrimental to native plant communities, particularly the unique soil
and vegetation characteristics of vernal pool and alkali playa habitats
and the species that occupy them (Clark et al. 1998, p. 251; Cahill et
al. 2001, p. 820; Battaglin et al. 2009, p. 303). Therefore, a
hydrologic regime that includes seasonal and large-scale flooding in
combination with slow drainage in alkaline soils with low nutrient
loads is identified as a physical or biological feature for this taxon.
Sites for Reproduction
Flooding or ponding of water during the rainy season, as indicated
above, is important for the reproduction, germination, and seed
dispersal of Atriplex coronata var. notatior. Two types of flood events
are important for A. c. var. notatior, and they occur at two distinct
scales: local, seasonal flooding and large-scale flooding (Roberts
2004, pers. comm.). Seasonal flooding determines the area of
germination and affects local distribution of individual plants, while
large-scale flooding (generally 20- to 50-year events) disrupts entire
habitats with slow-moving water that can be present for weeks or months
and rework the structure of the vegetative communities (Roberts 2004,
pers. comm.). Together, these natural processes prevent invasion from
upland vegetation, restore disturbed alkali habitats, and help
distribute seed throughout the habitat. Natural alkali playa flood
events therefore promote the colonization of A. c. var. notatior
colonization within favorable sites, as well as the retreat from less
favorable sites, in response to disturbance and variations in annual
rainfall, thus creating conditions in which population abundance shifts
annually through a mosaic of habitat and flooding (Bramlet 1996, p. 2-
3). Relatedly, A. c. var. notatior is known to produce floating seeds
that are likely dispersed during seasonal flooding by slow-moving flows
within the floodplains and vernal pools where the plant occurs (Sanders
2004, pers. comm.). Therefore, flooding provides the conditions that
stimulate the germination of A. c. var. notatior and controls the
distribution of plants in the surrounding semi-arid environment both
year-to-year and over decades. These natural floodplain processes are
integral to the life history of A. c. var. notatior and are considered
to be a physical or biological feature necessary to maintain a healthy
population.
Primary Constituent Elements
Under the Act and its implementing regulations, we are required to
identify the physical or biological features essential to the
conservation of Allium munzii and Atriplex coronata var. notatior
within the geographical area occupied at the time of listing, focusing
on the features' primary constituent elements (PCEs). We consider PCEs
to be the elements of physical or biological features that provide for
a species' life-history processes and, under the appropriate
conditions, are essential to the conservation of the species.
Allium munzii
Based on our current knowledge of the physical or biological
features and habitat characteristics required to sustain the species'
life-history processes, we determine that the PCEs specific to Allium
munzii are:
(1) Clay soil series of sedimentary origin (for example, Altamont,
Auld, Bosanko, Porterville), clay lenses (pockets of clay soils) of
those series that may be found as unmapped inclusions in other soil
series, or soil series of sedimentary or igneous origin with a clay
subsoil (for example, Cajalco, Las Posas, Vallecitos):
(a) Found on level or slightly sloping landscapes or terrace
escarpments;
(b) Generally between the elevations of 1,200 to 2,700 ft (366 to
823 m) above mean sea level;
(c) Within intact natural surface and subsurface structures that
have been minimally altered or unaltered by ground-disturbing
activities (for example, disked, graded, excavated, or recontoured);
(d) Within microhabitats that receive or retain more moisture than
surrounding areas, due in part to factors such as exposure, slope, and
subsurface geology; and
(e) Part of open native or nonnative grassland plant communities
and clay soil flora, including southern needlegrass grassland, mixed
grassland, and open coastal sage scrub or occasionally in cismontane
juniper woodlands; or
(2) Outcrops of igneous rocks (pyroxenite) on rocky-sandy loam or
clay soils within Riversidean sage scrub, generally between the
elevations of 1,200 to 2,700 ft (366 to 823 m) above mean sea level.
With this proposed revised designation of critical habitat, we
intend to identify the physical or biological features essential to the
conservation of the species. All units and subunits proposed to be
designated as critical habitat are currently occupied by Allium munzii
and are within the geographical areas occupied at the time of listing.
Atriplex coronata var. notatior
Based on our current knowledge of the physical or biological
features and habitat characteristics required to sustain the taxon's
life-history processes, we determine that the PCEs specific to Atriplex
coronata var. notatior are:
(1) Wetland habitat including floodplains and vernal pools:
(a) Associated with native vegetation communities, including alkali
playa, alkali scrub, and alkali grasslands; and
(b) Characterized by seasonal inundation or localized flooding,
including infrequent large-scale flood events with low nutrient loads;
and
(2) Slow-draining alkali soils including the Willows, Domino,
Traver, Waukena, and Chino soil series with:
(a) Low permeability;
(b) Low nutrient availability; and
(c) Seasonal ponding and evaporation.
With this proposed revised designation of critical habitat, we
intend to identify the physical or biological
[[Page 23018]]
features essential to the conservation of the species. All units and
subunits proposed to be designated as critical habitat are currently
occupied by Atriplex coronata var. notatior and are within the
geographical areas occupied at the time of listing.
Special Management Considerations or Protection
When designating critical habitat, we assess whether the specific
areas within the geographical area occupied by the species at the time
of listing contain physical or biological features which are essential
to the conservation of the species and which may require special
management considerations or protection. In all units or subunits,
special management considerations or protection of the essential
features may be required to provide for the growth, reproduction, and
sustained function of the habitat on which Allium munzii and Atriplex
coronata var. notatior depend.
Allium munzii
A detailed discussion of threats to Allium munzii and its habitat
can be found in the final listing rule (63 FR 54975; October 13, 1998),
the previous proposed and final critical habitat designations (69 FR
31569, June 4, 2004; 70 FR 33015, June 7, 2005), and the A. munzii 5-
year review signed on June 17, 2009 (Service 2009). Actions and
development that alter habitat suitable for the species or affect the
natural hydrologic processes upon which the species depends could
threaten the species.
The physical or biological features essential to the conservation
of Allium munzii all face ongoing threats that may require special
management considerations or protection. Threats that may require
special management considerations or protection of the physical or
biological features include:
(1) Loss or degradation of native plant communities, such as
grassland, open coastal sage scrub, and cismontane juniper woodlands,
due to urban development, agricultural activities, and clay mining
(PCEs 1 and 2);
(2) Disturbance of clay or other occupied soils by activities such
as off-road vehicles (ORV) and fire management (PCEs 1 and 2);
(3) Invasion of nonnative plant species (PCEs 1 and 2); and
(4) Long-term threats including climatic variations such as
extended periods of drought (PCE 1) (63 FR 54982-54986, October 13,
1998; 69 FR 31571, June 4, 2004; 70 FR 33023, October 13, 2005; Service
2009, pp. 10-22).
Further discussion of specific threats facing individual proposed
revised critical habitat units or subunits for Allium munzii is
provided in the unit descriptions under the Proposed Revised Critical
Habitat Designation section below. In these proposed revised critical
habitat units, special management considerations or protection may be
needed to ensure the long-term existence of clay and alluvial soil
integrity within habitats that support the physical or biological
features essential to the conservation of A. munzii.
Special management considerations or protection for areas occupied
by Allium munzii include:
(1) Protection of habitat from urban development or destruction to
maintain integrity of clay soils;
(2) Reduction of land conversion to agricultural uses and reduction
of disking or dryland farming to maintain native habitats;
(3) Management and control of invasive nonnative plants to provide
open areas for growth and reproduction; and
(4) Land acquisition or conservation easements for occurrences not
already conserved to protect those populations within occupied
habitats.
Atriplex coronata var. notatior
A detailed discussion of threats to Atriplex coronata var. notatior
and its habitat can be found in the final listing rule (63 FR 54975;
October 13, 1998), the previous proposed and final critical habitat
designations (69 FR 59844, October 6, 2004; 70 FR 59952, October 13,
2005), and the A. c. var. notatior 5-year review signed on March 31,
2008 (Service 2008). Actions and development that alter habitat
suitable for A. c. var. notatior or affect the natural hydrologic
processes upon which it depends could threaten the taxon. The physical
or biological features essential to the conservation of A. c. var.
notatior may require special management considerations or protection to
reduce or eliminate the following threats:
(1) Loss of alkali vernal plain habitat (i.e., alkali playa, alkali
scrub, alkali vernal pool, alkali annual grassland) and fragmentation
as a result of activities such as urban development, manure dumping,
animal grazing, agricultural activities, ORV activity, weed abatement,
and channelization (PCEs 1 and 2);
(2) Indirect loss of habitat from the alteration of hydrology and
floodplain dynamics (diversions, channelization, excessive flooding)
(PCEs 1 and 2);
(3) Competition from nonnative plants (PCE 1); and
(4) Long-term threats including water pollution, climatic
variations, and changes in soil chemistry and nutrient availability
(PCE 1) (63 FR 54983, October 13, 1998; 69 FR 59847, October 6, 2004;
70 FR 59966, October 13, 2005; Service 2008, pp. 8-17).
Further discussion of specific threats facing individual units is
provided in the unit descriptions under the Proposed Revised Critical
Habitat Designation section below. Special management considerations or
protection for Atriplex coronata var. notatior include:
(1) Protection of habitat, including underlying soils and
chemistry, from development or destruction;
(2) Protection of floodplain processes to maintain natural,
seasonal flooding regimes;
(3) Reduction of land conversion to agricultural uses and reduction
of disking and dryland farming to maintain native habitats;
(4) Land acquisition or conservation easements for occurrences not
already conserved to protect those populations within occupied
habitats; and
(5) Implementation of manure and sludge dumping ordinances to
maintain soil chemistry.
Criteria Used To Identify Critical Habitat
As required by section 4(b)(2) of the Act, we use the best
scientific data available to designate critical habitat. We review
available information pertaining to the habitat requirement of the
species. In accordance with the Act and its implementing regulation at
50 CFR 424.12(e), we consider whether designating additional areas--
outside those currently occupied as well as those occupied at the time
of listing--are necessary to ensure the conservation of the species. We
are not currently proposing to designate any areas outside the
geographical areas currently occupied by Allium munzii or Atriplex
coronata var. notatior because we consider those areas to be of
sufficient quality, extent, and distribution to provide for the
conservation of these taxa. We believe that the present quality habitat
has, by survey, the demonstrated capacity to support self-sustaining
occurrences of these taxa and that these areas containing the physical
or biological features essential to the conservation of the species are
dispersed in its range in a manner that provides for the survival and
recovery of these taxa. We are proposing to designate as critical
habitat some specific areas within the geographical
[[Page 23019]]
range currently occupied by A. munzii, but that were not known to be
occupied at the time of listing. However, based on the best available
scientific information, the life history of the plant (see Background
section), and the limited survey efforts prior to listing, we believe
that these specific areas are within the geographical area occupied by
the species at the time of listing.
We reviewed the final critical habitat designations for Allium
munzii and Atriplex coronata var. notatior (70 FR 33015, June 7, 2005;
70 FR 59952, October 13, 2005, respectively), information from State,
Federal, and local government agencies, and from academia and private
organizations that have collected scientific data on the species. We
also used the information provided in the 5-year reviews for A. munzii
and A. c. var. notatior (Service 2008; Service 2009). Other information
we used for this proposed rule includes: CNDDB (CNDDB 2011a; CNDDB
2011b); reports submitted during consultations under section 7 of the
Act; analyses for individual and regional HCPs where A. munzii and A.
c. var. notatior are covered species; data collected from reports
submitted by researchers holding recovery permits under section
10(a)(1)(A) of the Act; information received from local species
experts; published and unpublished papers, reports, academic theses, or
surveys; Geographic Information System (GIS) data (such as species
population and location data, soil data, land use, topography, aerial
imagery, and ownership maps); and correspondence with the Service from
recognized experts. We analyzed this information to determine the
specific areas within the geographical area occupied by the taxa at the
time of listing that contain the physical or biological features
essential to the conservation of A. munzii and A. c. var. notatior.
Allium munzii
Allium munzii occurs in relatively small population sizes, has a
narrow geographic range (western Riverside County), and exhibits high
habitat specificity, all of which make it vulnerable to land use
changes. According to the Western Riverside County MSHCP, A. munzii is
considered a narrow endemic plant species, a plant species that is
highly restricted by its habitat affinities, edaphic requirements, or
other ecological factors (Dudek and Associates 2003, pp. Def/Acr-ix and
6-28). Based on examination of soil maps for western Riverside County,
Boyd (1988, p. 2) concluded that much of the scattered clay soil areas
in the Perris Basin were heavily disturbed and estimated up to an 80 to
90 percent loss of potential A. munzii habitat in 1988.
We conducted a spatial analysis using a GIS-based approach to
determine the percent of mapped clay soils (Altamont, Auld, Bosanko,
Porterville) that were converted or lost to agricultural or urban land
uses in the Perris Basin (based on 2007 land use GIS data). This is a
conservative approach given that smaller pockets of clay soils are not
shown on coarse-scale soil maps and may have been lost since the
completion of the Riverside County soil map in 1971. We estimated that
approximately 32 percent of these clay soils remain within suitable
Allium munzii habitats (or a 67 percent loss) due to urban and
agricultural development on plant communities associated with A.
munzii, and includes both known and unknown locations of A. munzii
populations. Based on the narrow endemism of this species, its reliance
on clay soil types that are limited in geographic range in western
Riverside County, and our estimated loss of 67 percent of these soils
to urban or agricultural development, we believe that all of the units
and subunits (as defined below and in the Summary of Changes from
Previously Designated Critical Habitat section of this proposed rule)
represent the present geographical area containing the physical or
biological features essential to the conservation of this species which
may require special management considerations or protection. This
designation includes 17 of the CNDDB's EOs described in the Background
section above.
We are proposing to designate as critical habitat specific areas
within the geographical area occupied by Allium munzii at the time of
listing in 1998. These specific areas include some areas within the
present range of the species that had not yet been identified as
occupied at the time of listing. We have determined that these areas
are within the geographical area occupied by A. munzii at the time of
listing based on the species life history and habitat requirements (see
Background section above) and the following: (1) Locations of plants
reported or detected since listing in 1998 are in close proximity (less
than 1 mi (1.5 km)) to previously known locations and, (2) of the 10
new CNDDB-defined EOs reported since early 1980s surveys by Boyd
(1988), 6 are within previous known occupied geographic regions of the
greater Perris Basin (Temescal Canyon-Gavilan Hills/Plateau, Murrieta-
Hot Springs areas) and the other 4 locations were found after surveys
in the early 1990s within the Elsinore Peak (Santa Ana Mountains) and
Domenigoni Hills regions. Additionally, we believe this currently
occupied habitat was occupied at the time of listing given the species'
naturally discontinuous distribution and occupation of microhabitats;
the difficulty of accurately surveying for individual plants given the
dormant (underground) phase of its life cycle prior to detection; and
its restriction to small areas of clay soils in western Riverside
County within the designated units and subunits.
For defining critical habitat units, we looked at elevation (1,200
to 2,700 ft (366 to 823 m) AMSL), soil types (primarily clay soils),
spatial distribution of 17 CNDDB-defined EOs from CNDDB (CNDDB 2011a),
1 location identified by Ellstrand not included in the CNDDB database
(Ellstrand 1993, 1994) (proposed EO 24, as mentioned in the Spatial
Distribution, Historical Range, and Population Size section for Allium
munzii), rare plant monitoring survey results from Western Riverside
County Regional Conservation Authority (RCA) (Western Riverside County
RCA 2006, 2007, 2008, 2009, 2010, and 2011), and other surveys.
To identify several unit and subunit boundaries for this proposed
revised critical habitat, we consulted a species expert with
considerable field experience in surveying for Allium munzii. Given the
difficulty in observing individual plants due to the timing of
inflorescence, stage of growth, and large areal extent (as discussed in
the Background section), Boyd (2011b, pers. comm.) recommended
expanding the area surrounding an observation of a location of plants
(either a group or just a few individuals) to capture additional
individual plants that might not have been observed. Based on extensive
field experience (approximately 30 years) with A. munzii, Boyd (2011b,
pers. comm.) recommended including a 100-m (328-ft) roughly circular
area (or 50-m (164-ft) radius) to define the unit or subunit
boundaries. Because A. munzii is strongly associated with clay soils
(which are often found as pockets of small scattered (but discrete)
clay lenses that are typically too small to be identified on coarse-
soil soil maps (see the Habitat and Soil Preferences section for A.
munzii above)), we used Boyd's recommendation of expanding the
boundaries of observed plant locations to capture unobserved
individuals in defining critical habitat units and subunits.
Specifically, we used the Soil Conservation Service (now Natural
Resources Conservation Service) soil mapping unit (2.47 ac or 1 ha) to
refine Boyd's recommended radius of 164 to
[[Page 23020]]
183 ft (50 to 56 m). The 183-ft (56-m) radial distance translates into
a 2.43-ac (0.98-ha) area, which is approximately equal to the soil
mapping unit of 2.47 ac (1 ha). This methodology accounts for both
potentially unobserved plants associated with CNDDB-defined EOs in
areas of clay or rocky-sandy loam soils as well as encompassing the
unmapped pockets of clay soil. In conjunction with the reported EOs,
survey reports, and aerial photographs, this approach represents the
best available information regarding areas currently occupied by A.
munzii and that contain the physical or biological features essential
to the conservation of the species and therefore accurately defines the
unit and subunit polygons.
The following sources were used to define microhabitats (i.e.,
depressional areas that retain moisture) for Allium munzii, which
included using underlying geology, slope, and aspect of hillsides
within open areas of native and nonnative plant communities:
(1) For evaluating microtopography, including slope, aspect, and
elevation, we used: (a) Digital elevation model (DEM) data from U.S.
Geological Survey's (USGS) EROS Data Center, and (b) USGS 1:24,000
digital raster graphics (USGS topographic maps).
(2) For evaluating vegetative communities, spatial arrangement of
these communities, and presence of disturbance or development, we used:
(1) U.S. Department of Agriculture (USDA) National Agriculture Imagery
Program (NAIP) aerial photography for 2010, and (b) ArcGIS online I3
Imagery Prime World 2D), validating conclusions made from examining
these two satellite imagery data layers using high resolution Google
Earth imagery.
(3) For subsurface geology, we used the USGS GIS layer of the
Preliminary Digital Geologic Map of the Santa Ana, 1:100,000 quadrangle
(USGS 2004).
We acknowledge that the extent of the geographic areas surveyed and
the survey methodologies may differ within and among the recorded plant
locations from year to year (see discussion regarding the detectability
of this species in the Background section above). Based on our GIS
analysis, the 5 units, further divided into 13 subunits, we propose as
critical habitat are as follows: (1) Gavilan Hills (6 subunits), (2)
Temescal Valley (4 subunits), (3) Elsinore Peak, (4) South Perris-
Bachelor Mountain (3 subunits), and (5) North Domenigoni Hills. All
units and subunits are within the present geographical range of the
species and are currently occupied.
Atriplex coronata var. notatior
Atriplex coronata var. notatior is endemic to the San Jacinto,
Perris, Menifee, and Elsinore Valleys of western lowland Riverside
County, and is restricted to highly alkaline, silty-clay soils (59 FR
64813; December 15, 1994). At the time of listing, 12 populations of A.
c. var. notatior were known (corresponding to the CNDDB EOs at the
time), 11 of which were associated with two general locations (the San
Jacinto and Old Salt Creek floodplains). We have grouped the 12 CNDDB
EOs and results from other surveys into four general locations
(described below) and developed boundaries for three critical habitat
units based on the geographic locations of observed plants.
All of the units (as defined below and in the Summary of Changes
from Previously Designated Critical Habitat section) are within the
geographical area occupied by Atriplex coronata var. notatior at the
time of listing. These units contain the physical or biological
features that are essential to the conservation of this taxon and may
require special management considerations or protection.
Atriplex coronata var. notatior is known from four general
locations in western Riverside County, as previously identified in the
2004 proposed critical habitat rule (69 FR 59844; October 6, 2004). All
three units proposed as critical habitat encompass these four areas and
are within the geographical area occupied by the taxon at the time of
listing. This range includes records of 15 EOs now recorded in the
CNDDB database (CNDDB 2011b) and other survey data. To define critical
habitat units, we examined the following information:
(1) Slow-draining alkali soils (Willows, Domino, Traver, Waukena,
and Chino soil series) with low permeability.
(2) Seasonal and large-scale flood events (or ponded water) and
subsequent scouring to create bare soils, as illustrated in historical
aerial photographs.
(3) Spatial distribution of the EOs recorded in the CNDDB database
(CNDDB 2011b), and
(4) Plant monitoring survey results from Western Riverside County
RCA (2007, 2008, 2009, 2010, and 2011) and other surveys.
We recognize that the geographic extent surveyed and survey
methodologies may differ within and among the locations of individual
or groups of plants from year to year (see discussion regarding the
detectability of this species in Background section above). Based on
this analysis we defined the following three units: (1) Floodplain of
the San Jacinto River from the San Jacinto Wildlife Area (including
Mystic Lake) to Railroad Canyon Reservoir, (2) Upper Salt Creek, and
(3) Alberhill Creek. All units are within the present geographical
range of the taxon and are currently occupied.
Other Factors Involved With Delineating Critical Habitat
When determining proposed revised critical habitat boundaries, we
made every effort to avoid including developed areas such as lands
covered by buildings, pavement, and other structures because these
lands lack physical or biological features necessary for Allium munzii
and Atriplex coronata var. notatior. The scale of the maps we prepared
under the parameters for publication within the Code of Federal
Regulations may not reflect the exclusion of such developed lands. Any
such lands inadvertently left inside critical habitat boundaries shown
on the maps of this proposed rule have been excluded by text in the
proposed rule and are not proposed for designation as critical habitat.
Therefore, if the critical habitat is finalized as proposed, a Federal
action involving these lands would not trigger section 7 consultation
with respect to critical habitat and the requirement of no adverse
modification unless the specific action may affect the adjacent
critical habitat.
We are proposing for designation of critical habitat lands that we
have determined are within the geographical areas occupied by these
taxa at the time of listing and contain sufficient elements of physical
or biological features to support life-history processes essential for
the conservation of the taxa. For Allium munzii, our proposed revision
includes extant locations of plants not known at the time of listing,
but that are within the geographical area occupied at the time of
listing. All units contain the physical or biological features that are
essential to the conservation of these taxa and may require special
management considerations or protection.
Summary of Changes From Previously Designated Critical Habitat
Allium munzii
The areas identified in this proposed rule constitute a proposed
revision to the critical habitat rule for Allium munzii published on
June 7, 2005 (70 FR 33015) based on the following principles:
(1) We refined our method identifying the locations of Allium
munzii and the
[[Page 23021]]
PCEs within those locations to more accurately reflect the physical or
biological features that are essential to the conservation of A.
munzii. We consolidated the PCEs to identify the primary element and
then listed the related supporting components of that element.
Specifically, we reviewed the CNDDB EO reports and other survey reports
to define PCEs that reflect the physical and ecological characteristics
found within the range of the CNDDB-defined EOs. This resulted in
removing the previous PCE listed as alluvial soil series and
reclassifying the locations of plants (with one exception) into their
appropriate clay soil associations.
(2) We improved our mapping methodology to more accurately define
the critical habitat boundaries and to better represent those areas
that possess the physical or biological features essential to the
conservation of Allium munzii using soils, elevation, and spatial
configuration known from the most recent occurrence information. In
this rule, we have grouped locations of A. munzii plants into critical
habitat units and subunits and labeled each grouping as an occurrence;
this is different than the term ``Element Occurrence'' used by CNDDB.
As noted earlier, not all survey reports are included in the CNDDB
database, particularly recent surveys, nor are the boundaries defined
by CNDDB precise in location (some were recorded prior to Global
Positioning System (GPS) technology or with older and less accurate GPS
units); thus, for the purposes of defining units and subunits in this
proposed rule, the polygons and point locations defined by CNDDB may
not encompass all of the physical or biological features essential to
the conservation of the species.
The areas identified in this proposed rule constitute a proposed
revision to the critical habitat units designated for Allium munzii
published on June 7, 2005 (70 FR 33015). The differences in these areas
resulted from using the following methods:
(1) We combined the EO data recorded in the CNDDB database (CNDDB
2011a) with 2005 to 2011 survey results from the Western Riverside
County Resource Conservation Agency (RCA) (Western Riverside County RCA
2005, 2008) and Rancho Santa Ana Botanical Garden (Boyd 2011c, pers.
comm.). Using the 183-ft (56-m) radius discussed above, we delineated
units and subunits.
(2) We combined one or both of the CNDDB EO spatial datasets with
GIS-based maps of Porterville clay soils or other clay soil types to
create the units and subunits using the 183-ft (56-m) boundary, and we
incorporated recent survey data.
(3) For a few of the smaller subunits defined by point locations of
small numbers of individual plants, we used CNDDB's previously defined
262-ft (80-m) radius polygon to determine the subunit boundary (CNDDB
2011a).
(4) We also identified several areas we are considering for
exclusion from the final revised critical habitat designation under
section 4(b)(2) of the Act. Exclusions in our upcoming final rule may
differ from the exclusions we made in the 2005 final critical habitat
designation.
Atriplex coronata var. notatior
The areas identified in this proposed rule constitute a proposed
revision to the critical habitat designated for Atriplex coronata var.
notatior published on October 13, 2005 (70 FR 59952). The differences
are as follows:
(1) We refined the PCEs to more accurately describe the physical or
biological features essential to the conservation of Atriplex coronata
var. notatior. We consolidated the PCEs to identify the primary element
and relevant factors to that element based on review of the CNDDB
database and recorded EOs.
(2) We improved our mapping methodology to more accurately define
the critical habitat boundaries and to better represent those areas
that possess the physical or biological features essential to the
conservation of Atriplex coronata var. notatior using soils, elevation,
and spatial configuration based on updated plant location information.
We delineated boundaries using an intersection of seasonal ponding or
flooding (and resulting bare soils), as observed in historical and
recent aerial photographs (Riverside County Flood Control District
photos from 1962, 1974, 1978, 1980, and 2010), with A. coronata var.
notatior soil preferences (soil maps from Knecht 1971). In doing so, we
also removed areas of urban or otherwise developed lands in all these
areas. In addition, areas identified as ``Right-of-Way'' in the most
current parcel database available from the Riverside County Assessor's
Office were classified as either local land or State land depending on
whether they were located adjacent to local roadways or Federal
highways under State control.
(3) We identified several areas we are considering for exclusion
from the final revised critical habitat designation under section
4(b)(2) of the Act. Exclusions in our upcoming final revised critical
habitat designation may differ from the exclusions we made in the 2005
final critical habitat designation.
(4) We revised the previous critical habitat units based on
surveyed locations (or localities) of Atriplex coronata var. notatior
as described above. As discussed above, we have grouped locations of A.
coronata var. notatior plants into four general geographical areas and
delineated these as our three critical habitat units. This delineation
includes the EOs defined by CNDDB and locations of individual plants
reported from other surveys.
Proposed Revised Critical Habitat Designation
Allium munzii
We are proposing approximately 889 ac (360 ha) in 5 units
containing 13 subunits as critical habitat for Allium munzii. The areas
we describe below constitute our current best assessment of areas that
meet the definition of critical habitat for A. munzii. The units and
subunits we propose as critical habitat are: (1) Gavilan Hills (Unit 1;
6 subunits), (2) Temescal Valley (Unit 2; 4 subunits), (3) Elsinore
Peak (Unit 3), (4) South Perris and Bachelor Mountain (Unit 4; 3
subunits), and (5) North Domenigoni Hills (Unit 5). The approximate
area of proposed revised critical habitat and land ownership within the
units and subunits is shown in Table 1 below.
BILLING CODE 4310-55-P
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[GRAPHIC] [TIFF OMITTED] TP17AP12.022
BILLING CODE 4310-55-C
Unit 1: Gavilan Hills
Unit 1 consists of 114.7 ac (46.4 ha). The Gavilan Hills Unit is
located at the northwestern edge of the Perris Basin, northeast of the
Santa Ana Mountains in western Riverside County. This unit
[[Page 23023]]
includes six occupied subunits within upland areas west of State
Highway 74, south of Cajalco Road, and northeast of Interstate 15, all
of which are within the geographical area occupied at the time of
listing and which contain the physical or biological features essential
to the conservation of the species. The Gavilan Hills region is
geologically and topographically diverse with many soil types. Clay
soil series occupied by Allium munzii in the Gavilan Hills Unit include
Bosanko, Altamont, and Porterville; however, small pockets of clay
(less than 2.47 ac (1 ha)) are often not indicated on soil maps (Boyd
1983, p. 19). The elevational range of the five subunits is 1,547 ft
(472 m) to 2,632 ft (802 m) AMSL. Vegetation of the Gavilan Hills
region is a complex association of scrub, woodland, and grass
communities, including annual grasslands characterized by invasive
nonnative plants in those areas where native communities have been
heavily disturbed (Boyd 1983, pp. 32-33). Threats identified for the
Gavilan Hills Unit include invasive nonnative plants, road construction
and urban development, grazing, ORV activity, illegal dumping, and
mowing for fire abatement. Therefore, the features essential to the
conservation of the species in this unit may require special management
considerations or protection to minimize impacts resulting from these
threats (see Special Management Considerations or Protection section
above).
Within the Gavilan Hills Unit, we are considering excluding all
subunits within the planning area of the Western Riverside County MSHCP
and the Lake Mathews MSHCP under section 4(b)(2) of the Act (see
Exclusions section).
Subunit 1A: Estelle Mountain
The Estelle Mountain subunit (2.8 ac (1.1 ha)) is located within
native and nonnative grassland habitat within the Lake Mathews/Estelle
Mountain Reserve (2.3 ac (0.9 ha)) and on private land (0.48 ac (0.2
ha)). The Lake Mathews Multiple Species Habitat Conservation Plan/
Natural Communities Conservation Plan (Lake Mathews MSHCP) assisted in
establishing this multi-jurisdictional reserve encompassing over 12,000
ac (4,856 ha) and managed for multiple species use, including Allium
munzii, in western Riverside County. The combined reserve is composed
of a Multiple Species Reserve that consists of the existing State
Ecological Reserve and the Lake Mathews HCP Mitigation Bank, Lake
Mathews/Estelle Mountain Core Stephens' Kangaroo Rat Reserve, the
Estelle Mountain Ecological Reserve owned by CDFG, and land owned by
the Bureau of Land Management (BLM) located within the Riverside County
Habitat Conservation Agency's Stephens' Kangaroo Rat Core Reserve.
Collectively, these lands comprise the existing Lake Mathews/Estelle
Mountain Existing Core ``C'' area of the Western Riverside County MSHCP
(Service 2004, p. 65). Management of the reserve focuses largely on the
Stephens' kangaroo rat (Dipodomys stephensi) and coastal California
gnatcatcher (Polioptila californica californica). The reserve is not
open to the public for recreational use, but is subject to grazing,
illegal dumping, and ORVs.
This subunit contains clay soils (not illustrated on coarse-scale
soils map) on cobble deposits in a small drainage, which creates the
space and microhabitat (PCE 1) that meets the habitat needs for Allium
munzii and comprises the physical or biological features essential to
the conservation of the species.
Subunit 1B: Dawson Canyon
The Dawson Canyon subunit (4.8 ac (1.9 ha)) is located on private
land to the east of Estelle Mountain. This occurrence, with a
significant number of plants (more than 1,000) seen in 1986, has been
described as scattered stands of Allium munzii within grassy flats and
slopes containing clay soils on cobble deposits (CNDDB 2011a, EO 5).
This subunit contains clay soils, sloping topography, and subsurface
geology (PCE 1) that provide substrate and conditions suitable for the
persistence of A. munzii and comprise the physical or biological
features essential to the conservation of the species. This subunit is
subject to threats related to road development and invasive, nonnative
plants (CNDDB 2011a).
Subunit 1C: Gavilan Plateau
The Gavilan Plateau subunit (42.2 ac (17 ha)), bisected by a road,
is located within Harford Springs County Park (north of Ida-Leona Road)
and on private land (south of Ida-Leona Road) in grassy openings on
clay soils. Populations of Allium munzii exceeded 5,000 plants at both
locations in the early 1990s (CNDDB 2011a, EO 2). The private land
portion of this subunit has been disked in the past and is threatened
by urban development (CNDDB 2011a). Several locations of A. munzii,
with small numbers of individual plants, were found on clay soils
within the County Park in surveys conducted by Western Riverside County
RCA in 2005 and 2008 (Drennen 2011, pers. comm.). The southern portion
of this subunit has not been surveyed since 1998 (CNDDB 2011a).
Mineral-rich clay soils within grassland and other native vegetative
communities (PCE 1) in this subunit provide the physical or biological
features that are essential to the conservation of this species.
Subunit 1D: Ida-Leona
The Ida-Leona subunit (4.5 acres (1.8 ha)) is located about 0.5 mi
(0.8 km) east of the Ida-Leona mine on land occupied by a private
residence. In 1999, one year after listing, a total of 12 plants were
recorded from 2 locations at an elevation of 2,223 ft (677 m) within a
coastal sage scrub-nonnative grass plant association (Greene 1999,
pers. comm.). Although this subunit was not known to be occupied at the
time of listing in 1998, we believe it was occupied in 1998 because, as
discussed in Background section, it takes at least 3 years after seed
germination for this bulb-forming plant to produce flowers (Wall 2012,
pers. comm.). This location was surveyed specifically for A. munzii by
a qualified botanist in April 1999, less than 1 year after listing; 12
flowering plants were found in 2 locations (Greene 1999, pers. comm.);
thus, based on its biology (growth timeframe) as described above,
plants would have been present in 1998. Additionally, as discussed in
the Background section, Allium munzii is often difficult to observe in
the field (e.g., plants are dormant from mid-summer through autumn) and
is easily overlooked without site-specific surveys during ideal
conditions for its life history.
The populations of A. munzii at this location are on the north-
facing slope of a hillside, range in elevation between 1,200 to 2,700
ft (366 to 823 m) AMSL, and in a small drainage (mesic microhabitat)
within native (sage scrub) and nonnative (grasses) habitat. The
surveyed population was reported to be approximately 600 ft (183 m)
from the nearest residence. Although the owners at the time of the
survey indicated that they did not intend to develop the drainage where
the species was located (Greene 1999, pers. comm.), potential threats
for this subunit include nonnative grasses and mowing for fire
abatement. The location is mapped as Lodo rocky loam, a weathered,
medium-textured soil, at 8 to 25 percent slope, consisting of a
relatively even mixture of sand, silt, and clay, with rock outcrops
(PCE 2) (Knecht 1971, p. 43). This subunit contains the physical or
biological features essential to the conservation of this species
including substrate components and conditions suitable for growth.
[[Page 23024]]
Subunit 1E: Northeast Alberhill
The Northeast Alberhill subunit (58 ac (23.5 ha)) is found on open
grassland, upslope of previously proposed developments and clay mining
operations (CNDDB 2011a, EO 16). Several colonies were mapped in
surveys in 1993 and 2003, with about 3,000 plants observed in 2003
(CNDDB 2011a EO 16). This occurrence was surveyed again in April 2011
and 25-100 plants were found; however, the population may have been
larger than reported as the buds were difficult to detect due to the
early timing of the survey (Drennen 2011, pers. comm.). Potential
threats to this subunit include nonnative grasses and road construction
(CNDDB 2011a EO 16). The physical components of this location (i.e.,
elevation range 1,706 ft to 2,325 ft (520 to 709 m) AMSL, sloping
hillside) within spaces of open grassland (microhabitat) on clay soils
(PCE 1) provide the physical or biological features essential to the
conservation of Allium munzii.
Subunit 1F: North Peak
The North Peak subunit (2.4 ac (1.0 ha)) is located at the southern
end of the Gavilan Hills unit within the North Peak Conservation Bank.
Several thousand Allium munzii plants were found in coastal sage scrub
habitat in 1993 (CNDDB 2011a, EO 15). In 1995, an estimated 6,800
plants were located at the base of a north-facing slope above a
drainage area (Michael Brandman Associates 1995, p. 3). A survey
conducted in the spring of 2008 recorded an estimated 400 plants
growing on a north-facing slope, just upslope (approximately 328 ft
(100 m)) from the drainage area (Drennen 2011, pers. comm.). These
physical or biological features, space and substrate for growth and
local microhabitat (slope and location within a drainage area) (PCE 2),
provide habitat features essential to the conservation of A. munzii.
Nonnative grasses are considered a threat to A. munzii at this
location; individual plants in this subunit were found to be more
abundant in areas with less nonnative grasses (Drennen 2011, pers.
comm.).
Unit 2: Temescal Valley
Unit 2 consists of 481 ac (195 ha) located within the geographical
area occupied at the time of listing and all subunits contain the
features essential to the conservation of the species. The Temescal
Valley Unit is located along Interstate 15 at the base of the Gavilan
Hills in western Riverside County. The Temescal Valley unit contains
the Temescal Wash, which drains the Gavilan Hills region and the
northeastern slope of the Santa Ana Mountains (Boyd 1983, p. 13). This
unit contains unique physical geographic features, including
escarpments (canyons), found along the Temescal Wash. These escarpments
are formed through erosional processes and the progressive elevation of
the Santa Ana Mountains; thus, they represent one of several distinct
land forms within the Perris Basin, which has a complex geological
history (reviewed by Dudley 1936). The so-called Alberhill clays where
Allium munzii is found in the Temescal Valley Unit are considered one
of the earliest sediments in the Perris Basin and are found on sloping
surfaces of an ancient valley wall (Dudley 1936, p. 377). Threats
identified for the Temescal Valley Unit include nonnative plants, urban
development and related infrastructure, and grazing. Therefore, the
features essential to the conservation of the species in this unit may
require special management considerations or protection to minimize
impacts resulting from these threats (see Special Management
Considerations or Protection section above).
Within the Temescal Valley Unit, we are considering excluding all
subunits contained within the Western Riverside County MSHCP planning
area under section 4(b)(2) of the Act (see Exclusions section).
Subunit 2A: Sycamore Creek
The Sycamore Creek Subunit (also known as Indian Truck Trail, north
and south) is 12.3 ac (5 ha) in area, and was historically associated
with Allium munzii populations located on a terrace escarpment, within
grassland habitat on clay soil overlying cobbles (Boyd 1988, p. 4;
CNDDB 2011a, EO 3). This location is believed to have contained the
type locality collected by Munz in 1922 (CNDDB 2011a).
This subunit previously contained CNDDB EO 8, which was extirpated
when Allium munzii bulbs were removed from areas proposed for
development of a residential complex (Sycamore Creek Project), and is
now combined with EO 3 (CNDDB 2011a). A portion of the original
population of A. munzii was preserved onsite and was placed within a
conservation easement; additional clay soils were relocated to this
easement area and another planning area for the purpose of restoring A.
munzii habitat within Riversidean sage scrub habitat (Service 2001a, p.
10; Helix Environmental Planning 2010, p. 2). Allium munzii bulbs
removed from areas proposed for development were later transplanted to
three areas that are contained within this subunit. Transplantations
were conducted in 2004, 2008, and 2009 with over 525 bulbs installed in
the conservation areas (Helix Environmental Planning 2010, pp. 3-5). In
November 2010, 310 additional bulbs were installed in four new plots
bringing the transplant total to 820 bulbs for this site (Helix
Environmental Planning 2010, pp. 5, 13). In the spring of 2011, 678
plants (83 percent) produced leaves, 533 (65 percent) produced flowers,
and 205 (25 percent) produced seeds (Helix Environmental Planning 2011,
p. 13).
The Army Corps of Engineers Clean Water Act section 404 permit
conditions and conservation measures established in the Service's
biological opinion for the Sycamore Creek Project (Service 2001a, p.
10) also require maintenance and monitoring of the transplant areas and
restoration of Riversidean sage scrub habitat supporting A. munzii;
these are included as part of the Habitat Mitigation and Monitoring
Plan for the Sycamore Creek Specific Plan (The Planning Associates
2002). Nonnative plants represent a threat at this subunit. In 2011,
invasive plant control (weeding, spot spraying) was conducted as part
of required maintenance activities (Helix Environmental Planning 2011,
p. 10). The subsurface geology, clay soils, and native habitat (PCE 1)
within the onsite conservation areas comprise the physical or
biological features essential to the conservation of A. munzii.
Subunit 2B: De Palma Road
The De Palma Road subunit (12.8 ac (5.2 ha)) is located about 1 mi
(1.6 km) southeast of the Sycamore Creek subunit along Temescal Wash.
This occurrence of Allium munzii is found on Altamont clay soils with
15 to 25 percent slopes within nonnative grasses and sage scrub
vegetation (Dudek 2011, p. 2). Grazing, displacement by nonnative
invasive plants, and development pressures have been previously
described (CNDDB 2011a, EO 7) as threats to this population given its
close proximity to Interstate 15. As a result of proposed grading
improvements to De Palma Road and a proposed Saddleback Estates
residential development, a salvage and relocation operation was
implemented in December 2007 for locations of A. munzii to be impacted
by the grading footprint of the project (Dudek 2011, p. v). The
proposed conservation area (containing three separate preserves) was
designed to encompass most of the existing A. munzii plants, while
individual plants outside the preserve areas were translocated onto a
portion of
[[Page 23025]]
the preserve not known to support this taxon (Dudek 2011, p. 2).
Subsequent to translocation, a maintenance and monitoring program was
initiated. The 2010 survey found a total of 1,195 flowering individuals
within the translocation area, and maintenance activities were
conducted including weed and rodent control (Dudek 2011, pp. v-vi). A
conservation easement was to be placed over the proposed preserve
areas; however, the proposed development did not go forward and
Riverside County is currently managing the area until the disposition
of the parcel is finalized.
This subunit includes Altamont clay soils within the terrace
escarpments on the west side of Temescal Wash. This physiographic
setting containing the substrate components (Altamont clay soils) and
suitable conditions (vegetation and microhabitat) (PCE 1) for the
growth of Allium munzii provides the physical or biological features
essential to the conservation of this species.
Subunit 2C: Alberhill Mountain
The Alberhill Mountain subunit is 300.5 ac (121.6 ha) of private
land. Allium munzii occurs on clay soils in coastal sage scrub
vegetation on the south slope directly adjacent to open pit clay mines
(CNDDB 2011a, EO 6). Extensive mining of clay in the early 1980s
resulted in the loss of two locations of plants (CNDDB 2011a), and Boyd
(Boyd 1988, p. 2) speculated that the plant population in this area was
once much larger. Surveys conducted by Western Riverside County RCA in
2008 recorded 9 localities ranging from 10 to 150 plants (Drennen 2011,
pers. comm.). Threats to this subunit include a planned electrical
subtransmission line and related infrastructure (power poles,
equipment, construction impacts) (State of California Public Utilities
Commission 2010). Potential impacts will vary depending on the exact
route selected (AMEC Earth and Environmental Inc. 2006a, p. 2).
This subunit contains Altamont clay soils (PCE 1) necessary for the
growth of Allium munzii. The minerals and unique properties of this
clay soil provide the physical or biological features essential to the
conservation of the species.
Although this subunit was not known to be occupied at the time of
listing in 1998, we believe it was occupied in 1998 because, as
discussed in Background section, it takes at least 3 years after seed
germination for this bulb-forming plant to produce flowers (Wall 2012,
pers. comm.). This location was surveyed specifically for A. munzii by
a qualified botanist in April 1999, less than 1 year after listing; 12
flowering plants were found in 2 locations (Greene 1999, pers. comm.);
thus, based on its biology (growth timeframe) as described above,
plants would have been present in 1998. Additionally, as discussed in
the Background section, Allium munzii is often difficult to observe in
the field (e.g., plants are dormant from mid-summer through autumn) and
is easily overlooked without site-specific surveys during ideal
conditions for its life history.
Subunit 2D: Alberhill Creek
The Alberhill Creek (Alberhill Marsh) subunit (155.3 ac (62.8 ha))
is located on private land in a grassland (native and nonnative)
community on a low hill adjacent to a channel of the Temescal Wash
(CNDDB 2011a, EO 18). The CNDDB EO was discovered on clay soils in
2000; however, we believe it was occupied at the time of listing given:
(1) The proximity and identical clay soil association with the larger
Subunit 2C, which is located less than 1 mi (1.6 km) to the northwest,
and (2) as discussed in the Background section, this bulb-forming plant
requires at least 3 years to produce flowers from seed. Thus, for
flowering plants to be observed 2 years after listing, we believe that
plants in the form of bulbs were present in this subunit at the time of
listing. In addition, all of the lands within this subunit are located
on the clay soils to which this species is restricted in western
Riverside County. As described above (Subunit 2C), a segment of an
electrical subtransmission line is proposed for this location. Other
threats to this subunit have not been documented, but its proximity to
Interstate 15 and associated development indicates some degree of
threat from urbanization and nonnative grasses.
Subunit 2D is part of the same terrace formation as the Alberhill
Mountain subunit, and contains the mineral-rich clay soils, subsurface
geology and surface hydrology, and topography components (PCE 1) that
provide the physical or biological features essential to the
conservation of this species.
Unit 3: Elsinore Peak
Unit 3 consists of 98.4 ac (39.8 ha). This unit location is
unchanged from our previous proposed critical habitat rule (69 FR
31569; June 4, 2004) and was occupied at the time of listing; however,
we have redefined the boundary of this unit to better match the
underlying clay soils and plant populations observed since the final
rule (70 FR 33015; June 7, 2005). About two-thirds (63.1 ac (25.5 ha))
of the Elsinore Peak unit is contained within the Cleveland National
Forest, and 35.3 ac (14.3 ha) is under State of California (State Lands
Commission) ownership within the Western Riverside County MSHCP
Conservation Area. The unit was surveyed by Western Riverside RCA in
2005 and 2008 (Drennen 2011, pers. comm.) and more comprehensively by
Boyd in 2010 (Boyd 2011c, pers. comm.).
The Elsinore Peak unit represents the southwesternmost extent of
the range of Allium munzii. Many of the occurrences found on the
Cleveland National Forest within this unit are considered to be the
least disturbed and the highest recorded elevation (3,300 to 3,500 ft
(1 to 1.07 km)) for this species (Boyd and Mistretta 1991, p. 3). The
plant populations within this unit are also unusual in that they are
found on cobble deposits with thinner Bosanko clay soils (PCE 2) (Boyd
and Mistretta 1991, p. 3). In 1991, Boyd and Mistretta (1991, p. 2)
reported three stands of A. munzii at Elsinore Peak of more than 1,000
individual plants, with the largest an estimated 5,000 plants. Nine
localities were observed in a 2008 survey, with populations ranging
from 5 to 100 plants (Drennen 2011, pers. comm.). A 2010 survey at
Elsinore Peak was conducted by Boyd with approximately 23 general point
localities recorded on both U.S. Forest Service (USFS) and State lands
(Boyd 2011c, pers. comm.). The subsurface and surface elements that
define this subunit, including clay soils, sloping hillsides, and
microhabitats, provide the physical or biological features essential to
the conservation of A. munzii.
Several threats to Allium munzii populations within this unit were
identified at the time of listing, including road grading, ORV
activity, and nonnative annual grasses; recreational activity and
invasive species were identified as the two main threats to occurrences
on USFS land in the 2005 Final Environmental Impact Statement prepared
for the Cleveland National Forest Land Management Plan (USFS 2005, p.
160). A species management guide for A. munzii was prepared in 1992
that identified a number of management actions to help alleviate these
threats, including construction of fencing and barriers to protect
populations from ORV activity (Winter 1992, p. 10). Fencing, including
a gate, was installed to protect plant populations, and boulders were
placed along the roadway leading to Elsinore Peak to restrict ORV
activity and other traffic (hikers and mountain bikers) in
[[Page 23026]]
sensitive areas. This has reduced the level of impact from these
threats to the population of A. munzii plants located on USFS land in
this unit (Thomas 2011, pers. comm.).
Unit 4: South Perris and Bachelor Mountain
Unit 4 consists of 186.8 ac (75.6 ha) and is defined by occurrences
of Allium munzii found in the southern end of the Perris Basin,
including Bachelor Mountain north of Lake Skinner. We are proposing
three subunits within this unit based on their general proximity to one
another in southwestern Riverside County. All subunits within this unit
are within the geographical area occupied at the time of listing and
occupy clay soils at elevations ranging from 1,420 to 2,300 ft (432 to
701 m) AMSL (Ellstrand 1996, p. 4; CNDDB 2011a, EOs 4, 11, 12, and 14)
and contain the physical or biological features that are essential to
the conservation of the species and may require special management
considerations or protection to minimize impacts from threats described
below for each subunit.
We are considering excluding subunits of the South Perris and
Bachelor Mountain Unit that are within the planning areas of the
Western Riverside County MSHCP, the Rancho Bella Vista HCP, or the
Southwestern Riverside County Multi-species Reserve from the final
designation of Allium munzii critical habitat under section 4(b)(2) of
the Act (see Exclusions section).
Subunit 4A: Scott Road
The Scott Road subunit (32.6 ac (13.2 ha)) is in the Paloma Valley
of the South Perris Basin, between Sun City and Murrieta, east of
Interstate 215 at an elevation of about 1,500 ft (457 m) AMSL. The
habitat for this occurrence was described in 1992 as a low knoll in
rocky clay soil within native grassland and patches of coastal sage
scrub (CNDDB 2011a, EO 14). This occurrence (also called McElhinney-
Stimmel) was surveyed in 2008 and 2011 by Western Riverside RCA with
five localities reported in 2008 and one in 2011 (Drennen 2011, pers.
comm.). In 2008, Allium munzii was observed growing in openings of
dense stands of invasive grass (Avena sp.) alongside native grassland
and coastal sage scrub (Drennen 2011, pers. comm.). Nonnative plants
are considered a potential threat to this subunit. This subunit
contains the physical or biological features essential to the
conservation of A. munzii including clay soils and open patches of
native habitat at the appropriate elevation range (PCE 1) that provide
substrate and conditions suitable for growth of this species.
The subunit is currently located partially on land purchased by the
Western Riverside County RCA as a result of a conservation measure for
a subdivision development (Service 2002, p. 2) and partially within an
off-site preservation area resulting from a gas pipeline project
(Service 2001b, p. 35).
Subunit 4B: Skunk Hollow
The Skunk Hollow Subunit is 74.8 ac (30.3 ha) and is located east
of Murrieta Hot Springs at the southern end of the Perris Basin, just
south of Tucalota Creek. This occurrence is located on north-facing
slopes with clay soils, within grassy openings in coastal sage scrub
(CNDDB 2011a, EO 4) at approximately 1,420 ft (433 m) AMSL (PCE 1).
These substrate conditions, suitable for growth and development,
comprise the physical or biological features essential to the
conservation of this species.
A 1995 survey recorded a population of about 250 plants prior to
the construction of an adjacent residential development (McCollum
Associates et al. 1995, p. 21). The area occupied by Allium munzii is
currently conserved, with long-term management provided under the
Rancho Bella Vista HCP within a conservation area (Service 2000, pp. 4,
36).
Subunit 4C: Bachelor Mountain
The Bachelor Mountain subunit (79.3 ac (32.1 ha)) consists of three
occurrences (EOs 11, 12, and proposed EO 24) of Allium munzii located
north of Lake Skinner, which includes two occurrences known at the time
of listing and one occurrence not known at listing (and not yet
assigned an EO number by CNDDB) but described in surveys conducted
prior to listing that were not known to the Service at the time of
listing (69 plants in 1994 and 835 plants in 1995) (Ellstrand 1994, pp.
3-4; Ellstrand 1996, pp. 3-4). Therefore, all of Subunit 4C is within
the geographical area occupied at the time of listing. The three
occurrences are located on clay soils ranging in elevation from 1,476
to 2292 ft (450 to 699 m) AMSL, on sloping hills that, collectively,
represent one of several distinct physio-geographic features found in
the Perris Basin. Surveys in the southern part of this subunit were
conducted in 2008 and 2010. Plants were found primarily on north-facing
slopes in both native and nonnative grassland communities (Drennen
2011, pers. comm.). Threats to this subunit include thatch build-up
from herbaceous plants including Avena spp. and Brassica spp. (CNDDB
2011a EO 11). The substrate components and mineral-rich soils,
conditions suitable for the growth of A. munzii (PCE 1), comprise the
physical or biological features essential to the conservation of this
species.
All three of the CNDDB EOs located within this subunit are within
the Southwestern Riverside County Multiple Species Reserve (Reserve), a
Public/Quasi Public land designation of the Western Riverside County
MSHCP, managed by Riverside County Parks. The Reserve encompasses
coastal sage scrub, chaparral, grassland, oak woodland, and riparian
forest vegetative communities between Lake Skinner and Diamond Valley
Lake (Monroe et al. 1992, p. ES-5).
Unit 5: North Domenigoni Hills
Unit 5 consists of 8.2 ac (3.3 ha) and is occupied by Allium munzii
north of Diamond Valley Lake, in the southeastern corner of the Perris
Basin. This population is located on rocky loam soils on the northeast-
facing slope of a large prominent peak (2,160 ft (658 m)) of igneous
rocks (CNDDB 2011a, EO 10). Previously described threats for this unit
(CNDDB 2011a) include mining activities (the 1991 mapped populations
were located adjacent to an old quarry). The most recent survey result
for this occurrence is from 2008, which described the populations of A.
munzii as ``locally uncommon'' in openings of coastal sage scrub
(Drennan 2011, pers. comm.). The underlying geology, soils, and
elevation (PCE 2) provide elements suitable for the growth of A. munzii
and physical or biological features essential to the conservation of
this species. These features may require special management
considerations or protection to minimize impacts resulting from
potential threats such as invasive nonnative species.
The North Domenigoni Hills Unit occurs within the planning area of
the Southwestern Riverside County Multi-species Reserve and is managed
by Riverside County Parks. We are considering excluding this unit under
section 4(b)(2) of the Act (see Exclusions section).
Atriplex coronata var. notatior
We are proposing three units as critical habitat for Atriplex
coronata var. notatior. The areas we describe below constitute our
current best assessment of areas that meet the definition of critical
habitat for A. c. var. notatior. The units we propose as critical
habitat are: (1) San Jacinto River (Unit 1), (2) Upper Salt Creek (Unit
2), and (3) Alberhill Creek (Unit 3). The approximate area of
[[Page 23027]]
proposed revised critical habitat and land ownership within these units
is shown in Table 2 below.
[GRAPHIC] [TIFF OMITTED] TP17AP12.023
Unit 1: San Jacinto River
Unit 1 includes the locations of Atriplex coronata var. notatior
within the floodplain of the San Jacinto River at the San Jacinto
Wildlife Area (including Mystic Lake) and the floodplain of the San
Jacinto River between the Ramona Expressway and Railroad Canyon
Reservoir, which total 7,039 ac (2,849 ha). Of this total, 4,096 ac
(1,658 ha) are privately owned and 2,396 ac (970 ha) are owned by CDFG
as part of the San Jacinto Wildlife Area, which is managed primarily
for the purpose of waterfowl conservation. The remaining is other State
or local land as shown in Table 2.
The hydrological conditions of this unit are defined by
precipitation events resulting from winter storms, summer storms, and
local thunderstorms, with major flood events for the San Jacinto River
occurring almost exclusively during winter storms (Bryant 1975, pp. 13,
15; Tetra Tech and WRIME 2007, pp. 30-31; Riverside County Flood
Control and Water Conservation District History 2011). Runoff flows
into Mystic Lake from the valley and, during large flow events, from
the upper San Jacinto River (Tetra Tech and WRIME 2007, p. 28).
Overland flows across active agricultural lands into Mystic Lake can
transport sediments containing nutrients into the lake; this has
increased in recent years as smaller flow events have caused failure of
the Diversion Channel levees and flooding of agricultural lands in the
San Jacinto Gap region (Tetra Tech and WRIME 2007, Appendix A, p. 1).
During extreme rainfall events the storage capacity of the lake can be
exceeded, causing overflow back into the San Jacinto River and
subsequent transport of nutrient-laden water into the floodplain of the
river (Tetra Tech and WRIME 2007, p. 28). Proposed water quality
projects in this portion of the San Jacinto River are being considered
in an effort to convey water directly to Mystic Lake to help reduce the
nutrient loading during certain storm events (Tetra Tech and WRIME
2007, p. F-97) into the San Jacinto River and the surrounding
floodplain habitat where Atriplex coronata var. notatior occurs.
The Atriplex coronata var. notatior localities (locations of
plants) that occupy the northern portion of the San Jacinto Unit (San
Jacinto Wildlife Area including Mystic Lake) are primarily found within
alkali sink habitat, including alkali grassland and scrub (Bramlet
1996, p. 10). This native habitat is threatened by reduced water
quality, invasive and weedy plant species introduced as food sources
for waterfowl, and alteration of habitat for duck ponds (Roberts and
McMillan 1997, p. 2). This upper portion of the unit is within the
geographical area occupied at the time of listing, and the physical or
biological features essential to the conservation of the taxon may
require special management considerations or protection to minimize
impacts from the threats listed above. The most recent survey results
for A. c. var. notatior in the northern portion of the unit, from 2007
to 2010, identified 6 point locations ranging from 1 to 60 individual
plants (Western Riverside County RCA 2007, 2008, 2009, 2011; Malisch
2010, pers. comm.).
Downstream from Mystic Lake, the San Jacinto River forms a wide
fluvial plain. This floodplain is often dry due to groundwater
infiltration enhanced by low groundwater levels from excessive pumping
and limited recharge (Tetra Tech and WRIME 2007, p. 28), which alter
the seasonal flooding cycle. The lower portion of this unit, the
floodplain of the San Jacinto River between the Ramona Expressway and
Railroad Canyon Reservoir, is also within the geographical area
occupied at the time of listing. This portion of the San Jacinto
floodplain (soils and hydrologic conditions) provide the features that
are essential to the conservation of the taxon and may require special
management considerations and protection to minimize impacts from
threats including activities identified at the time of listing
(invasive weedy plant
[[Page 23028]]
species and nonagriculture-related clearing, agricultural activity)
(Bramlet 1996, p. 14, Roberts and McMillan 1997, p. 3-4; White 2009,
pers. comm.; Roberts 2010b, pers. comm.). Much of the area has been
converted to agriculture or impacted by the addition of soil amendments
(primarily manure dumping), which alters the alkaline properties of the
soil and creates conditions that increase competition from other
plants, including nonnative plants such as Brassica nigra (black
mustard) and Salsola tragus (Russian thistle) (Roberts 2010a, pers.
comm.). There are also indications that sheep grazing has affected A.
c. var. notatior habitat in the Ramona Expressway to Railroad Canyon
portion of this unit (CNDDB 2011b, EO 7).
The localities of Atriplex coronata var. notatior found within the
San Jacinto Unit (including the San Jacinto Wildlife Area) depend upon
the San Jacinto River for supporting hydrological conditions as
described above. Seasonal ponding or flooding within the floodplain of
the river inundates the alkali sink habitat, and creates a slow-moving
flow of water that provides appropriate hydrological growth and
survival conditions and allows for seed dispersal (PCE 1 and 2). These
elements provide the physical or biological features that are essential
to the conservation of A. c. var. notatior.
Within the San Jacinto River Unit, we are considering excluding
lands contained within the Western Riverside County MSHCP planning area
under section 4(b)(2) of the Act (see Exclusions section).
Unit 2: Upper Salt Creek
Unit 2 includes the Upper Salt Creek localities of Atriplex
coronata var. notatior and comprises 874 ac (354 ha), 603 ac (244 ha)
of which is privately owned and 271 ac (110 ha) is local land. This
unit is within the geographical area occupied at the time of listing
and is located in a natural depression within the old Salt Creek
tributary within the Salt Creek watershed. Salt Creek, which drains
westward toward Winchester, rejoins the San Jacinto River at Railroad
Canyon and represents one of the major tributaries to Canyon Lake
(Tetra Tech and WRIME 2007, p. 29). Historically, winter storm events
created surface runoff producing intense peak flow events and scouring
along the water supply channel; this can be seen in historical aerial
photos (such as April 1980 following severe flood events in February
1980). Currently, rainfall collects within pools on slow-drainage
alkaline soils, which contain remnants of an alkali vernal floodplain
complex with similarly adapted plants and wildlife. Much of the area is
still subject to flooding during modest flood events (RECON 1995, p.
34). The Upper Salt Creek Unit is bisected north to south by the San
Diego Aqueduct Canal and currently includes open fields and cow
pastures within the remaining alkaline vernal pool, alkaline grassland,
and alkali sink scrub habitats (RECON 1995, pp. 15, 17; CNDDB 2011b, EO
9). Additionally, historical drainage patterns in the Upper Salt Creek
Unit are disrupted by local roads, road ditches, and agricultural
drainage ditches that reduce the degree and duration of ponding during
the wet season (RECON 1995, p. 18).
Atriplex coronata var. notatior habitat within the Upper Salt Creek
Unit is threatened by agricultural activities, including dryland
farming, sheep grazing, invasion of nonnative plant species, alteration
of hydrology, fragmentation, and fire management practices (Bramlet
1992, pers. comm.; Roberts 2005, pers. comm.; Roberts and McMillan
1997, p. 4-5; CH2M Hill 2010, Appendix B pp. 2-4; CNDDB 2011b, EOs 9
and 10). A proposed right-of-way for the realignment of State Route 79
is located just outside the boundaries of this unit (Riverside County
Transportation Commission 2011).
Surveys conducted prior to listing include a 1995 report on the
distribution of wetlands and sensitive species within a large (1,400 ac
(567 ha)) portion of the Upper Salt Creek drainage system, which
summarized existing records, aerial photography, and direct
observations (RECON 1995). Approximately 33 localities of Atriplex
coronata var. notatior were reported ranging from less than 100 to
approximately 9,000 for a total of approximately 31,400 plants (RECON
1995, p. 25, Figure 6). As an illustration of the variability in
observed individual plants in this location, a final report for focused
surveys within 45 ac (18.21 ha) of mitigation land (Metropolitan Water
District of Southern California) located within the Upper Salt Creek
floodplain indicated a range of 16,500 individuals of A. c. var.
notatior in 1996 and an estimated 136,948 individuals in 2001, with an
aerial extent ranging from 9.7 acres (3.93 ha) to 12.66 ac (5.12 ha)
during the same time period (AMEC Earth and Environmental Inc. 2001, p.
3).
Comprehensive sensitive plant surveys related to this proposed
project were also conducted in the Upper Salt Creek area in 2005 and
2006 with over 100,000 individual Atriplex coronata var. notatior
plants recorded within 555 localities within this unit (CH2M Hill 2010,
p. 5-59). A less comprehensive survey in May 2009 recorded
approximately 246 individual plants in four locations within this unit
(Malisch 2010, pers. comm.).
This unit contains the physical or biological features essential to
the conservation of Atriplex coronata var. notatior including Willows-
Traver-Chino soils, alkali grassland and alkaline playa habitats, and
periodic ponding or flooding (PCE 1 and 2), which provide substrate and
conditions suitable for growth of this taxon. These physical or
biological features may require special management considerations or
protection to minimize impacts resulting from the threats as defined
above.
Within the Upper Salt Creek Unit, we are considering excluding
lands contained within the Western Riverside County MSHCP planning area
under section 4(b)(2) of the Act (see Exclusions section).
Unit 3: Alberhill Creek
The Alberhill Creek Unit comprises 107 ac (43 ha), of which 33 ac
(13.5 ha) are privately owned and 74 ac (30 ha) under local land
ownership (see Table 4). The unit occurs within the floodplain of
Alberhill Creek within an alkali playa that is dependent on the creek
for its hydrology and seasonal flooding. Alberhill Creek is part of the
larger Temescal Wash region of western Riverside County, which drains
the Gavilan Hills region and the northeastern slope of the Santa Ana
Mountains (Boyd 1983, p. 13). This floodplain is subject to periodic
flooding, which produces ponding and scouring (as observed in aerial
photos from 1980 and 2010), including seasonal overflow of water from
Lake Elsinore. These hydrologic elements, along with Willows-Travers-
Chino soils and alkali floodplain habitat in Alberhill Creek (PCE 1 and
2), comprise the physical or biological features that are essential to
the conservation of Atriplex coronata var. notatior.
Two locations of Atriplex coronata var. notatior are known to exist
in this unit (AMEC Earth and Environmental 2006b, p. 26; CNDDB 2011b,
EO16). The locality at the Nichols Road wetland (near the mouth of
Walker Canyon), which contains alkali marsh and alkali playa habitat on
Willows soils, consisted of 185 plants in 1987 (CNDDB 2011b, EO 16).
The second locality of A. c. var. notatior, also on Willows soils,
comprises nonnative grassland and alkali marsh habitat where 10 plants
were discovered in 2006 adjacent to Baker Road, just south of Nichols
Road
[[Page 23029]]
(AMEC Earth and Environmental Inc. 2006b, p. 29). The Alberhill Creek
Unit is located in an increasingly urbanized area and is subject to the
threat of human-caused disturbance, including impacts related to a
proposed subtransmission line associated with a recently completed
electrical power substation (State of California Public Utilities
Commission 2007; State of California Public Utilities Commission 2010).
As noted above (see Background section--Spatial Distribution,
Historical Range, and Population Size), there is significant natural
variability in numbers of observed individuals of Atriplex coronata
var. notatior in response to annual rainfall, extent and distribution
of flooding, and temperature. Differences in survey methodologies and
proportion of range surveyed may also contribute to differences in
annual counts of individuals and therefore reporting of locations of A.
c. var. notatior; however, both locations of A. c. var. notatior within
this subunit are found on the Willows soils of the Temescal floodplain
and are within one-quarter mile (365 meters) of each other. All of Unit
3 is therefore within the geographical area occupied at the time of
listing, and the unit provides the physical or biological features that
are essential to the conservation of this taxon and may require special
management considerations and protection.
Within the Alberhill Creek Unit, we are considering excluding lands
contained within the Western Riverside County MSHCP planning area under
section 4(b)(2) of the Act (see Exclusions section).
Effects of Critical Habitat Designation
Section 7 Consultation
Section 7(a)(2) of the Act requires Federal agencies, including the
Service, to ensure that any action they fund, authorize, or carry out
is not likely to jeopardize the continued existence of any endangered
species or threatened species or result in the destruction or adverse
modification of designated critical habitat of such species. In
addition, section 7(a)(4) of the Act requires Federal agencies to
confer with the Service on any agency action which is likely to
jeopardize the continued existence of any species proposed to be listed
under the Act or result in the destruction or adverse modification of
proposed critical habitat.
Decisions by the 5th and 9th Circuit Courts of Appeals have
invalidated our regulatory definition of ``destruction or adverse
modification'' (50 CFR 402.02) (see Gifford Pinchot Task Force v. U.S.
Fish and Wildlife Service, 378 F. 3d 1059 (9th Cir. 2004) and Sierra
Club v. U.S. Fish and Wildlife Service et al., 245 F.3d 434, 442 (5th
Cir. 2001)), and we do not rely on this regulatory definition when
analyzing whether an action is likely to destroy or adversely modify
critical habitat. Under the statutory provisions of the Act, we
determine destruction or adverse modification on the basis of whether,
with implementation of the proposed Federal action, the affected
critical habitat would continue to serve its intended conservation role
for the species.
If a Federal action may affect a listed species or its critical
habitat, the responsible Federal agency (action agency) must enter into
consultation with us. Examples of actions that are subject to the
section 7 consultation process are actions on State, Tribal, local, or
private lands that require a Federal permit (such as a permit from the
U.S. Army Corps of Engineers under section 404 of the Clean Water Act
(33 U.S.C. 1251 et seq.) or a permit from the Service under section 10
of the Act) or that involve some other Federal action (such as funding
from the Federal Highway Administration, Federal Aviation
Administration, or the Federal Emergency Management Agency). Federal
actions not affecting listed species or critical habitat, and actions
on State, Tribal, local, or private lands that are not federally funded
or authorized, do not require section 7 consultation.
As a result of section 7 consultation, we document compliance with
the requirements of section 7(a)(2) through our issuance of:
(1) A concurrence letter for Federal actions that may affect, but
are not likely to adversely affect, listed species or critical habitat;
or
(2) A biological opinion for Federal actions that may affect, and
are likely to adversely affect, listed species or critical habitat.
When we issue a biological opinion concluding that a project is
likely to jeopardize the continued existence of a listed species and/or
destroy or adversely modify critical habitat, we provide reasonable and
prudent alternatives to the project, if any are identifiable, that
would avoid the likelihood of jeopardy and/or destruction or adverse
modification of critical habitat. We define ``reasonable and prudent
alternatives'' (at 50 CFR 402.02) as alternative actions identified
during consultation that:
(1) Can be implemented in a manner consistent with the intended
purpose of the action,
(2) Can be implemented consistent with the scope of the Federal
agency's legal authority and jurisdiction,
(3) Are economically and technologically feasible, and
(4) Would, in the Director's opinion, avoid the likelihood of
jeopardizing the continued existence of the listed species and/or avoid
the likelihood of destroying or adversely modifying critical habitat.
Reasonable and prudent alternatives can vary from slight project
modifications to extensive redesign or relocation of the project. Costs
associated with implementing a reasonable and prudent alternative are
similarly variable.
Regulations at 50 CFR 402.16 require Federal agencies to reinitiate
consultation on previously reviewed actions in instances where we have
listed a new species or subsequently designated critical habitat that
may be affected and the Federal agency has retained discretionary
involvement or control over the action (or the agency's discretionary
involvement or control is authorized by law). Consequently, Federal
agencies sometimes may need to request reinitiation of consultation
with us on actions for which formal consultation has been completed, if
those actions with discretionary involvement or control may affect
subsequently listed species or designated critical habitat.
Application of the ``Adverse Modification'' Standard
The key factor related to the adverse modification determination is
whether, with implementation of the proposed Federal action, the
affected critical habitat would continue to serve its intended
conservation role for the species. Activities that may destroy or
adversely modify critical habitat are those that alter the physical or
biological features to an extent that appreciably reduces the
conservation value of critical habitat for Allium munzii and Atriplex
coronata var. notatior. As discussed above, the role of critical
habitat is to support life-history needs of these taxa and provide for
the conservation of these taxa.
Section 4(b)(8) of the Act requires us to briefly evaluate and
describe, in any proposed or final regulation that designates critical
habitat, activities involving a Federal action that may destroy or
adversely modify such habitat, or that may be affected by such
designation.
[[Page 23030]]
Activities that may affect critical habitat, when carried out,
funded, or authorized by a Federal agency, should result in
consultation for Allium munzii and Atriplex coronata var. notatior.
These activities include, but are not limited to, the following for
each of the taxa:
Allium munzii
Actions that alter the physical characteristics of mesic clay and
rocky-sandy loamy soils (within rock outcrops) and microhabitats of
these soils, or that create conditions that facilitate the spread of
invasive nonnative plants, especially nonnative annual grasses, into
these habitats would adversely affect the proposed critical habitat.
Such activities could include (but are not limited to): Grading or
disking for dryland farming, clay mining, urban and related
infrastructure development, ORV activity, animal grazing, fire
management, and alteration of hydrology (such as impoundment or
channelization). These activities could eliminate or reduce the amount
of habitat necessary to support Allium munzii, a narrow endemic taxon
restricted to clay and rocky-sandy loamy soils within localized
microhabitats.
Atriplex coronata var. notatior
Actions that alter the physical characteristics of alkali playa,
alkali scrub, and alkali grassland habitats or fragment these areas,
including reduction of water quality, alteration of the hydrology and
floodplain dynamics, or an increase in the occurrence of nonnative
plant species in these habitats would adversely affect the proposed
critical habitat. Such activities could include (but are not limited
to): urban development, manure dumping, animal grazing, grading or
disking for agriculture, ORV activity, alteration of hydrology (such as
impoundment or channelization), and soil chemistry. These activities
could eliminate or fragment habitats that provide essential soil and
hydrological characteristics to support Atriplex coronata var.
notatior.
Exemptions
Application of Section 4(a)(3)(B) of the Act
The Sikes Act Improvement Act of 1997 (Sikes Act) (16 U.S.C. 670a)
required each military installation that includes land and water
suitable for the conservation and management of natural resources to
complete an integrated natural resource management plan (INRMP) by
November 17, 2001. An INRMP integrates implementation of the military
mission of the installation with stewardship of the natural resources
found on the base. Each INRMP includes:
(1) An assessment of the ecological needs on the installation,
including the need to provide for the conservation of listed species;
(2) A statement of goals and priorities;
(3) A detailed description of management actions to be implemented
to provide for these ecological needs; and
(4) A monitoring and adaptive management plan.
Among other things, each INRMP must, to the extent appropriate and
applicable, provide for fish and wildlife management; fish and wildlife
habitat enhancement or modification; wetland protection, enhancement,
and restoration where necessary to support fish and wildlife; and
enforcement of applicable natural resource laws.
The National Defense Authorization Act for Fiscal Year 2004 (Pub.
L. 108-136) amended the Act to limit areas eligible for designation as
critical habitat. Specifically, section 4(a)(3)(B)(i) of the Act (16
U.S.C. 1533(a)(3)(B)(i)) now provides: ``The Secretary shall not
designate as critical habitat any lands or other geographic areas owned
or controlled by the Department of Defense, or designated for its use,
that are subject to an integrated natural resources management plan
prepared under section 101 of the Sikes Act (16 U.S.C. 670a), if the
Secretary determines in writing that such plan provides a benefit to
the species for which critical habitat is proposed for designation.''
There are no Department of Defense lands that meet the definition
of critical habitat for Allium munzii or Atriplex coronata var.
notatior and, as a result, no lands are being exempted under section
4(a)(3)(B) of the Act.
Exclusions
Application of Section 4(b)(2) of the Act
Section 4(b)(2) of the Act states that the Secretary shall
designate and make revisions to critical habitat on the basis of the
best available scientific data after taking into consideration the
economic impact, national security impact, and any other relevant
impact of specifying any particular area as critical habitat. The
Secretary may exclude an area from critical habitat if he determines
that the benefits of such exclusion outweigh the benefits of specifying
such area as part of the critical habitat, unless he determines, based
on the best scientific data available, that the failure to designate
such area as critical habitat will result in the extinction of the
species. In making that determination, the statute on its face, as well
as the legislative history are clear that the Secretary has broad
discretion regarding which factor(s) to use and how much weight to give
to any factor.
In considering whether to exclude a particular area from the
designation, we identify the benefits of including the area in the
designation, identify the benefits of excluding the area from the
designation, and evaluate whether the benefits of exclusion outweigh
the benefits of inclusion. If the analysis indicates that the benefits
of exclusion outweigh the benefits of inclusion, the Secretary may
exercise his discretion to exclude the area only if such exclusion
would not result in the extinction of the species.
When identifying the benefits of inclusion for an area, we consider
the additional regulatory benefits that area would receive from the
protection from adverse modification or destruction as a result of
actions with a Federal nexus; the educational benefits of mapping
essential habitat for recovery of the listed species; and any benefits
that may result from a designation due to State or Federal laws that
may apply to critical habitat.
When identifying the benefits of exclusion, we consider, among
other things, whether exclusion of a specific area is likely to result
in conservation; the continuation, strengthening, or encouragement of
partnerships; or implementation of a management plan that provides
equal or greater conservation benefits than a critical habitat
designation would provide. For example, we consider our continued
ability to seek new partnerships with future plan participants,
including the State, counties, local jurisdictions, conservation
organizations, and private landowners, which together can implement
conservation actions that we would be unable to accomplish otherwise.
If lands within approved management plan areas are designated as
critical habitat, there would likely be a negative effect on our
existing partnerships and our ability to establish new partnerships to
develop and implement these plans, particularly plans that address
landscape-level conservation of species and habitats. By excluding
these lands, we preserve our current partnerships, promote future
partnerships, and encourage additional conservation actions in the
future.
In the case of Allium munzii and Atriplex coronata var. notatior,
the benefits of critical habitat include public awareness of A. munzii
and A. c. var. notatior presence and the importance of habitat
protection, and in cases where a Federal nexus exists,
[[Page 23031]]
increased habitat protection for A. munzii and A. c. var. notatior due
to the protection from adverse modification or destruction of critical
habitat.
When we evaluate the existence of a conservation plan, we consider
a variety of factors, including, but not limited to, whether the plan
is finalized, how it provides for the conservation of the essential
physical or biological features, whether there is a reasonable
expectation that the conservation management strategies and actions
contained in a management plan will be implemented into the future,
whether the conservation strategies in the plan are likely to be
effective, and whether the plan contains a monitoring program or
adaptive management to ensure that the conservation measures are
effective and can be adapted in the future in response to new
information.
After identifying the benefits of inclusion and the benefits of
exclusion, we carefully weigh the two sides to determine whether the
benefits of exclusion outweigh those of inclusion. If our analysis
indicates that the benefits of exclusion outweigh the benefits of
inclusion, we then determine whether exclusion would result in
extinction. If exclusion of an area from critical habitat will result
in extinction, we will not exclude it from the designation.
Based on the information provided by entities seeking exclusion, as
well as any additional public comments we receive, we will evaluate
whether certain lands in the proposed revised critical habitat are
appropriate for exclusion from the final designation pursuant to
section 4(b)(2) of the Act. If the analysis indicates that the benefits
of excluding lands from the final designation outweigh the benefits of
designating those lands as critical habitat, then the Secretary may
exercise his discretion to exclude the lands from the final
designation.
We specifically solicit comments on the inclusion or exclusion of
such areas (see Public Comments section above). A detailed analysis of
our consideration to exclude these lands under section 4(b)(2) of the
Act is provided below under the Exclusions Based on Other Relevant
Impacts section.
Allium munzii
We are currently considering excluding the following 790 ac (320
ha) from the critical habitat designation for Allium munzii under
section 4(b)(2) of the Act. Table 3 below provides approximate areas
(ac, ha) of lands that meet the definition of critical habitat that we
intend to exclude under section 4(b)(2) of the Act from the final
critical habitat rule.
BILLING CODE 4310-55-P
[[Page 23032]]
[GRAPHIC] [TIFF OMITTED] TP17AP12.024
[[Page 23033]]
[GRAPHIC] [TIFF OMITTED] TP17AP12.025
Atriplex coronata var. notatior
We are considering excluding all of the following areas from the
critical habitat designation for Atriplex coronata var. notatior under
section 4(b)(2) of the Act. Table 4 below provides approximate areas
(ac, ha) of lands that meet the definition of critical habitat that we
intend to exclude under section 4(b)(2) of the Act from the final
critical habitat rule.
[GRAPHIC] [TIFF OMITTED] TP17AP12.026
Exclusions Based on Economic Impacts
Under section 4(b)(2) of the Act, we consider the economic impacts
of specifying any particular area as critical habitat. In order to
consider economic impacts, we are preparing an analysis of the economic
impacts of the proposed revised critical habitat designation and
related factors.
We prepared and finalized an analysis of the economic impacts for
the previous proposed critical habitat designation for Allium munzii
(Economic & Planning Systems, Inc. 2005). Only USFS lands at Elsinore
Peak within the Cleveland National Forest were proposed as critical
habitat in the 2004 proposed rule (69 FR 31569; June 4, 2004). The
economic analysis determined retrospective costs (costs since listing,
1998 to 2004) to the USFS of $9,938 and total prospective costs (from
2005 to 2025) of $33,849. No lands were excluded from critical habitat
in our final designation based on economic impact under section 4(b)(2)
of the Act (70 FR 33015; June 7, 2005).
We prepared and finalized an analysis of the economic impacts for
the previous proposed critical habitat designation for Atriplex
coronata var. notatior (Northwest Economic Associates 2005). Because no
lands were proposed for designation of critical habitat in the previous
proposed rule (69 FR 59844; October 6, 2004), we determined there was
no economic impact to landowners or agencies (70 FR 59952; October 13,
2005).
The prior economic analyses for Allium munzii and Atriplex coronata
var. notatior included costs coextensive with the listing of both
plants (in other words, costs attributable to listing the species as
well as costs attributable to the designation of critical habitat).
Because the Act directs the Secretary to consider the economic impacts
of specifying any particular area as critical habitat, we believe the
appropriate framework for analysis is to compare the costs associated
with actions in a world with critical habitat to those costs likely to
be incurred in the absence of critical habitat designation. Our new
analysis will therefore focus on the specific costs attributable to
designating the areas proposed in this rule as critical habitat.
We will announce the availability of a new draft economic analysis
on this proposed revised designation of critical habitat for Allium
munzii and Atriplex coronata var. notatior as soon as it is completed,
at which time we will seek public review and comment. At that time,
copies of the draft economic
[[Page 23034]]
analysis will be available for downloading from the Internet at https://www.regulations.gov, or by contacting the Carlsbad Fish and Wildlife
Office directly (see FOR FURTHER INFORMATION CONTACT section). During
the development of a final designation, we will consider economic
impacts, public comments, and other new information, and areas may be
excluded from the final critical habitat designation under section
4(b)(2) of the Act and our implementing regulations at 50 CFR 424.19.
Exclusions Based on National Security Impacts
Under section 4(b)(2) of the Act, we consider whether there are
lands owned or managed by the Department of Defense where a national
security impact might exist. In preparing this proposal, we have
determined that the lands within the proposed revised designation of
critical habitat for Allium munzii and Atriplex coronata var. notatior
are not owned or managed by the Department of Defense, and, therefore,
we anticipate no impact on national security. Consequently, the
Secretary is not currently considering exercising his discretion to
exclude any areas from the final designation based on impacts on
national security.
Exclusions Based on Other Relevant Impacts
Under section 4(b)(2) of the Act, we consider any other relevant
impacts in addition to economic impacts and impacts on national
security. We consider a number of factors, including whether the
landowners have developed any HCPs or other management plans for the
area, or whether there are conservation partnerships that would be
encouraged by designation of, or exclusion from, critical habitat. In
addition, we look at any tribal issues, and consider the government-to-
government relationship of the United States with tribal entities. We
also consider any social impacts that might occur because of the
designation.
Land and Resource Management Plans, Conservation Plans, or Agreements
Based on Conservation Partnerships
When evaluating a current land management or conservation plan
(HCPs as well as other types of plans) and the habitat management or
protection it provides, we consider a number of factors including, but
not limited to, the following:
(1) Whether the plan is complete and provides an equivalent or
higher level of protection from adverse modification or destruction
than that provided through a consultation under section 7 of the Act;
(2) Whether there is a reasonable expectation that the conservation
management strategies and actions will be implemented into the
foreseeable future, based on past practices, written guidance, or
regulations; and
(3) Whether the plan provides conservation strategies and measures
consistent with currently accepted principles of conservation biology.
Portions of the proposed revised critical habitat units for Allium
munzii and all of the proposed revised critical habitat units for
Atriplex coronata var. notatior may warrant exclusion from the
designation of critical habitat under section 4(b)(2) of the Act based
on the partnerships, management, and protection afforded under these
approved and legally operative HCPs that are equal to or more
protective than the benefits provided by, critical habitat designation.
We believe that the Western Riverside County MSHCP, the Lake
Mathews MSHCP, and the Rancho Bella Vista HCP described below fulfill
the above criteria, and are considering excluding non-Federal lands
covered by these HCPs that provide for the conservation of Allium
munzii and Atriplex coronata var. notatior. All permittee-owned or
controlled lands that fall within the boundaries of the Western
Riverside County MSHCP or other HCPs described herein are being
considered for exclusion (see Other Habitat Conservation Plans section
below).
We believe that the Southwestern Riverside County Multi-species
Reserve Cooperative Management Agreement also meets the criteria listed
above; thus we are considering excluding non-Federal lands proposed as
critical habitat for Allium munzii that are in the Reserve covered by
this agreement (see discussion below).
In this proposed revised rule, we are seeking input from the
Western Riverside County MSHCP, other HCP stakeholders (Rancho Bella
Vista HCP and Lake Mathews MSHCP), the parties to the Southwestern
Riverside County Multi-Species Reserve Cooperative Management
Agreement, and the public (see Public Comments section) as to reasons
supporting whether or not the Secretary should exercise his discretion
to exclude these areas from the final critical habitat designation.
Western Riverside County Multiple Species Habitat Conservation Plan
(Western Riverside County MSHCP)
The Western Riverside County MSHCP is a regional, multi-
jurisdictional HCP encompassing approximately 1.26 million ac (510,000
ha) of land in western Riverside County. The Western Riverside County
MSHCP is a multispecies conservation program designed to minimize and
mitigate the expected loss of habitat and associated incidental take of
covered species resulting from covered development activities in the
plan area. The Western Riverside County MSHCP addresses 146 listed and
unlisted ``covered species,'' including Allium munzii and Atriplex
coronata var. notatior, which are further considered as ``Covered
Species Adequately Conserved;'' that is, those where the species
objectives are met and that are provided take authorization through the
Natural Community Conservation Planning (NCCP) Permit (Dudek and
Associates 2003, Section 9.2 and Table 9-3). On June 22, 2004, the
Service issued a single incidental take permit under section
10(a)(1)(B) of the Act to 22 permittees under the Western Riverside
County MSHCP to be in effect for a period of 75 years (Service 2004).
The Western Riverside County MSHCP, when fully implemented, will
establish approximately 153,000 ac (61,917 ha) of new conservation
lands (Additional Reserve Lands (ARL)) to complement the approximate
347,000 ac (140,426 ha) of preexisting natural and open space areas
(Public/Quasi-Public (PQP) lands) in the plan area. These PQP lands
include those under the ownership of public agencies, primarily the
USFS and BLM, as well as permittee-owned or controlled open-space areas
managed by the State of California and Riverside County. Collectively,
the ARL and PQP lands form the overall Western Riverside County MSHCP
Conservation Area. The configuration of the 153,000 ac (61,916 ha) of
ARL is not mapped or precisely delineated (hard-lined) in the Western
Riverside County MSHCP. Instead, the configuration and composition of
the ARL are described in text within the bounds of the approximately
310,000-ac (125,453-ha) Criteria Area. The ARL lands are being acquired
and conserved as part of the ongoing implementation of the Western
Riverside County MSHCP.
Species-specific conservation objectives are included in the
Western Riverside County MSHCP for Allium munzii and Atriplex coronata
var. notatior and are described in detail below. Conservation
objectives for A. munzii include:
(1) Conserve at least 21,260 ac (8,603 ha) of suitable habitat to
include at least 2,070 ac (838 ha) of clay soils;
(2) Conserve at least 13 localities (populations within EOs) within
the Temescal Valley and the southwestern portion of the plan area; and
[[Page 23035]]
(3) Conduct Narrow Endemic Plan Species surveys as discussed below
(Dudek and Associates 2003, pp. 9-126-9-127).
Conservation objectives identified in the Western Riverside County
MSHCP for Atriplex coronata var. notatior include:
(1) Conserve at least 6,900 ac (2,792 ha) of suitable habitat
including grasslands, playas, and vernal pools;
(2) Conserve the Alberhill Creek locality and three core areas
located along the San Jacinto River and in the upper Salt Creek
drainage;
(3) Conduct surveys as discussed below;
(4) Conserve the floodplain along the San Jacinto River consistent
with objective 1, including maintaining floodplain processes; and
(5) Conserve the floodplain along Salt Creek, generally in its
existing condition, including maintaining floodplain processes (Dudek
and Associates 2003, pp. 9-137-9-138).
Allium munzii
In our analysis of the effects to Allium munzii for the issuance of
the Western Riverside County MSHCP permit, we acknowledged that
specific conservation objectives would be provided in the Western
Riverside County MSHCP to ensure that suitable habitat and known
populations of A. munzii would persist (Service 2004, p. 326). To this
effect, for narrow endemic species such as A. munzii, the Western
Riverside County MSHCP states:
``The MSHCP is a Criteria-based plan, focused on preserving
individual species through Conservation. Conservation is based on
the particular habitat requirements of each species as well as the
known distribution data for each species. The existing MSHCP
database does not, however, provide the level of detail sufficient
to determine the extent of the presence or distribution of Narrow
Endemic Plant Species within the MSHCP Plan Area. Since Conservation
planning decisions for these species will have a substantial effect
on the status of these species, additional information regarding the
presence of these species must be gathered during the long-term
implementation of the MSHCP to ensure that appropriate Conservation
of these species occurs'' (Dudek and Associates 2003, p. 6-28).
The Western Riverside County MSHCP defines Allium munzii as a
Narrow Endemic Plant Species and requires surveys for this taxon as
part of the review process for public and private projects in certain
areas where one or more permittees have discretionary authority for
project approval (Dudek and Associates 2003, pp. 6-28-6-29). These
surveys are required where projects are proposed in suitable habitat
within defined boundaries of the Criteria Area (Dudek and Associates
2003, Figure 6-1, p. 6-30). Where survey results are positive, project
proposals with the potential to affect a Narrow Endemic Plant Species
are subject to avoidance, minimization, and mitigation strategies
(Dudek and Associates 2003, p. 6-29). In addition, the Western
Riverside County MSHCP indicates that, for Narrow Endemic Plant Species
populations identified as part of this survey process (including A.
munzii), impacts to 90 percent of those portions of the property that
provide for long-term conservation value for these species will be
avoided until it is demonstrated that conservation objectives
(discussed below) are met (Dudek and Associates 2003, p. 6-38). The
information from these surveys is to be used to prioritize areas for
acquisition into the Western Riverside County MSHCP (Service 2004, p.
28). Surveys conducted from 2005 through 2011 have confirmed 9 extant
populations within 13 CNDDB-defined EOs (Western Riverside County RCA
2011, p. 31).
We stated in our biological opinion (analysis of effects) of the
Western Riverside County MSHCP that:
(1) All 16 known localities (or CNDDB-defined EOs) would be
included in the Conservation Area;
(2) We anticipated that occurrences determined to be important to
the overall conservation of the species will be considered for
inclusion in the Additional Reserve Lands; and
(3) At least some of the avoided areas may be maintained as open
space habitat (Service 2004, p. 327).
In addition, the Western Riverside County MSHCP identified two
CNDDB-defined EOs partially within the Conservation Area (EOs 2 and 9)
and two that are currently located outside the Conservation Area (EOs 5
and 16) that will be added to the Conservation Area. Finally, as noted
above, the Western Riverside County MSHCP provides flexibility for
criteria refinement, such that if an area is currently outside the
reserve design defined by the Western Riverside County MSHCP, but is
later determined to be important for conservation, then it could be
added to the reserve as Additional Reserve Lands or Acquisition Lands.
Atriplex coronata var. notatior
Surveys are also required for Atriplex coronata var. notatior in
conjunction with the Western Riverside County MSHCP implementation in
order to meet the permit issuance criteria for the HCP (Dudek and
Associates 2003, p. 6-63). For A. c. var. notatior, surveys are
required within defined boundaries of the Criteria Area (Dudek and
Associates 2003, Figure 6-2, p. 6-64). As with Narrow Endemic Plant
Species, in locations with positive survey results, 90 percent of those
portions of the property that provide long-term conservation value for
the identified species will be avoided until the species-specific
conservation objectives for these species are met (Dudek and Associates
2003, p. 6-65). We stated in our analysis of the effects of the Western
Riverside County MSHCP that it provides the flexibility to include
those locations that contain large numbers of individuals or are
determined to be important to the conservation of A. c. var. notatior
in the Additional Reserve Lands (Dudek and Associates 2003, p. 6-70;
Service 2004, p. 353).
Under the Western Riverside County MSHCP, surveys for Atriplex
coronata var. notatior are required every 8 years to verify occupancy
for at least 75 percent of known locations. If a decline in
distribution below this threshold is observed, management activities
are triggered, as appropriate, to meet the species-specific objectives
identified in the plan (Dudek and Associates 2003, Table 9.2; Service
2004, p. 355). Surveys conducted by the Western Riverside County RCA
from 2006 to 2010 confirmed 2 of 4 CNDDB-defined EOs within the three
critical habitat units (Units 1, 2, and 3) (Western Riverside County
RCA 2011, p. 33).
The Western Riverside County MSHCP provides a comprehensive
habitat-based approach to the protection of covered species, including
Allium munzii and Atriplex coronata var. notatior, by focusing on lands
essential for the long-term conservation of the covered species and
appropriate management of those lands (Western Riverside County
Regional Conservation Authority et al. 2003, p. 51).
The Secretary is considering exercising his discretion to exclude
626 ac (253 ha) that meet the definition of critical habitat for Allium
munzii in Units 1 through 5, and 8,020 ac (3,246 ha) that meet the
definition of critical habitat for Atriplex coronata var. notatior in
Units 1 through 3. The lands being considered for exclusion are
permittee-owned or -controlled lands within the Western Riverside
County MSHCP.
In the 1998 final listing rule for Allium munzii and Atriplex
coronata var. notatior, the present or threatened destruction,
modification, or curtailment of its habitat or range including urban
development, agriculture, and clay mining for A.
[[Page 23036]]
munzii, and agriculture, urban development, alteration of hydrology for
A. c var. notatior, were identified as the primary threats to these
taxa (63 FR 54982; October 13, 1998). The Western Riverside County
MSHCP helps to address these threats to A. munzii and A. c. var.
notatior (Service 2008; Service 2009) through a regional planning
effort, and outlines species-specific objectives and criteria for the
conservation of these taxa (Dudek and Associates 2003, pp. 9-126-9-127;
pp. 9-137-9-138). We are considering excluding areas covered by the
Western Riverside County MSHCP based on the protections provided
through our partnerships, to the extent consistent with the
requirements of section 4(b)(2) of the Act. We encourage any public
comment regarding our consideration to exclude these areas in the final
critical habitat designation (see Public Comments section above).
Other Habitat Conservation Plans
Some units and subunits proposed as critical habitat for Allium
munzii are within smaller, individual HCPs that were approved prior to
the Western Riverside County MSHCP. These include the Lake Mathews
MSHCP (part of Subunit 1A) and the Rancho Bella Vista HCP (Subunit 4B).
In addition, parts of Subunit 4C and Unit 5 are contained within the
Southwestern Riverside County Multi-species Reserve. These lands are
within the boundaries of the Western Riverside County MSHCP but their
conservation and management actions are authorized through separate
section 10(a)(1)(B) permits or section 7(b)(4) and section 7(o)(2) of
the Act.
Lake Mathews Multiple Species Habitat Conservation Plan (Lake Mathews
MSHCP)
The Lake Mathews MSHCP established a 2,544-ac (1,029-ha) mitigation
bank adjacent to the existing 2,565-ac (1,038-ha) State Ecological
Reserve (Service 2004, p. 60). These lands, encompassing over 12,000 ac
(4,856 ha), all contribute to the establishment of a reserve for
multiple species, including Allium munzii, in western Riverside County.
The reserve encompasses over 12,000 ac (4,856 ha) and consists of the
State Ecological Reserve and the Lake Mathews HCP Mitigation Bank, Lake
Mathews/Estelle Mountain Core Stephens' Kangaroo Rat Reserve, the
Estelle Mountain Ecological Reserve owned by CDFG, and land owned by
BLM within the Riverside County Habitat Conservation Agency's Stephens'
Kangaroo Rat Core Reserve (Service 2004, p. 60). Collectively, these
lands comprise the Lake Mathews/Estelle Mountain Existing Core ``C''
area of the Western Riverside County MSHCP. We are considering
excluding 2.3 ac (approximately 1 ha) of Subunit 1A located within the
Lake Mathews MSHCP.
The Riverside County Habitat Conservation Agency manages the Lake
Mathews/Estelle Mountain Reserve. The Service is an active partner with
this agency and has developed and is implementing Partners for Fish and
Wildlife Program projects within this reserve, primarily to control and
manage nonnative plants.
Rancho Bella Vista Habitat Conservation Plan (Rancho Bella Vista HCP)
The Rancho Bella Vista HCP boundary occurs within the Western
Riverside County MSHCP area boundary and contains Subunit 4B (74.8 ac
(30.3 ha)). The section 10(a)(1)(B) permit associated with the Rancho
Bella Vista HCP authorized Pacific Bay Properties to develop the 798-ac
(323-ha) site that included 102.3 ac (41.4 ha) of habitat (Service
2004, p. 66). The Rancho Bella Vista HCP conservation actions relevant
to Allium munzii habitat include preserving 86 ac (35 ha) of
Riversidean sage scrub and 28.8 ac (11.6 ha) of disturbed Riversidean
sage scrub, 6.2 ac (2.5 ha) of riparian and wetland habitats, and 41 ac
(16.6 ha) of nonnative grassland (Service 2004, p. 67).
Long-term management of the Rancho Bella Vista HCP conservation
lands includes the following types of activities:
(1) Control access and, where necessary, limit access by people,
vehicles, and domestic pets to conserved habitats and preclude access
to highly sensitive resources;
(2) Monitor target species, including Allium munzii, and provide
species management of all covered species;
(3) Identify and rank, in order of priority, opportunities for
habitat restoration and enhancement within the conserved habitats;
(4) Monitor conserved lands for the occurrence of alien invasive
plants and animals and provide the prompt control of such species;
(5) Map the locations of nonnative plant species within and
immediately adjacent to conserved habitats and schedule for removal,
monitoring, or control as necessary;
(6) Develop a fire management program in consultation with the
County of Riverside Fire Marshal and wildlife agencies to minimize
impacts to conserved habitats from fire management programs and
adjacent land uses; and
(7) Develop public information materials and programs including:
(a) A brochure that describes the natural resources, areas of
special interest, and prohibited activities within conserved habitats;
(b) A landscape and fuel break planning brochure for homeowners and
homeowner associations located adjacent to conserved habitats; and
(c) Nature trails along or through portions of conserved habitats
(provided impacts are avoided or mitigated) (Service 2000, p. 4-5).
Southwestern Riverside County Multi-species Reserve
Subunit 4C (79.3 ac (32.1 ha)) and Unit 5 (8.2 ac (3.3 ha)) are
contained within the Southwestern Riverside County Multi-species
Reserve (Reserve). This Reserve was created in 1992, prior to the
listing of Allium munzii, as a mitigation measure for impacts resulting
from the Diamond Valley Lake Reservoir. The Reserve comprises about
13,000 ac (5,261 ha), approximately 9,400 ac (3,804 ha) of which are
owned by the Metropolitan Water District, 2,500 ac (1,012 ha) by the
Riverside County Habitat Conservation Agency, 360 ac (146 ha) by BLM,
and 600 ac (243 ha) by the Riverside County Parks and Open Space
District (Service 2004, p.61), which manages the reserve. The
Southwestern Riverside County Multi-species Reserve is largely located
within the area north of Lake Skinner and south of Diamond Valley Lake
and includes the Domenigoni Mountains and South Hills (Service 2004, p.
61).
The Southwestern Riverside County Multi-species Reserve is managed
through a Cooperative Management Agreement; the Service is a party to
this agreement and a member of the five-member committee that makes
management decisions (Monroe et al. 1992, Appendix B). Management
strategies defined for the entire Reserve include:
(1) Protection of habitat from human disturbance through fencing,
construction of fire breaks, and patrols to prevent unauthorized
access;
(2) Activities to promote the recovery of native plant and animal
communities by managing fire and controlling grazing; and
(3) Management for biodiversity including maintaining a mosaic of
different-aged habitats to meet the needs of many species (Monroe 1992,
pp. ES-5-ES-6).
The 2008 Multi-species Reserve Management Plan (Moen 2008, Appendix
10) identifies enhancement and monitoring goals, objectives, and
strategies for Allium munzii. These
[[Page 23037]]
include: (1) Estimating area occupied by A. munzii within the reserve
by mapping each occupied area annually, (2) estimating individual
plants within the known populations, and (3) enhancing habitat
suitability within occupied areas by annually removing thatch and
biomass from nonnative vegetation and determining the efficacy of each
treatment (Moen 2008, Appendix 10, pp. 1-2).
Peer Review
In accordance with our joint policy on peer review published in the
Federal Register on July 1, 1994 (59 FR 34270), we will seek the expert
opinions of at least three appropriate and independent specialists
regarding this proposed rule. The purpose of peer review is to ensure
that our critical habitat designation is based on scientifically sound
data, assumptions, and analyses. We have invited these peer reviewers
to comment during this public comment period on our specific
assumptions and conclusions in this proposed revised designation of
critical habitat.
We will consider all comments and information received during this
comment period on this proposed rule during our preparation of a final
determination. Accordingly, the final decision may differ from this
proposal.
Public Hearings
Section 4(b)(5) of the Act provides for one or more public hearings
on this proposal, if requested. Requests must be received within 45
days after the date of publication of this proposed rule in the Federal
Register. Such requests must be sent to the address shown in the FOR
FURTHER INFORMATION CONTACT section. We will schedule public hearings
on this proposal, if any are requested, and announce the dates, times,
and places of those hearings, as well as how to obtain reasonable
accommodations, in the Federal Register and local newspapers at least
15 days before the hearing.
Required Determinations
Regulatory Planning and Review--Executive Order 12866
The Office of Management and Budget (OMB) has determined that this
rule is not significant and has not reviewed this proposed rule under
Executive Order 12866 (Regulatory Planning and Review). OMB bases its
determination upon the following four criteria:
(1) Whether the rule will have an annual effect of $100 million or
more on the economy or adversely affect an economic sector,
productivity, jobs, the environment, or other units of the government.
(2) Whether the rule will create inconsistencies with other Federal
agencies' actions.
(3) Whether the rule will materially affect entitlements, grants,
user fees, loan programs, or the rights and obligations of their
recipients.
(4) Whether the rule raises novel legal or policy issues.
Regulatory Flexibility Act (5 U.S.C. 601 et seq.)
Under the Regulatory Flexibility Act (RFA; 5 U.S.C. 601 et seq.) as
amended by the Small Business Regulatory Enforcement Fairness Act
(SBREFA) of 1996 (5 U.S.C 801 et seq.), whenever an agency is required
to publish a notice of rulemaking for any proposed or final rule, it
must prepare and make available for public comment a regulatory
flexibility analysis that describes the effects of the rule on small
entities (small businesses, small organizations, and small government
jurisdictions). However, no regulatory flexibility analysis is required
if the head of the agency certifies the rule will not have a
significant economic impact on a substantial number of small entities.
The SBREFA amended the RFA to require Federal agencies to provide a
certification statement of the factual basis for certifying that the
rule will not have a significant economic impact on a substantial
number of small entities.
At this time, we lack the available economic information necessary
to provide an adequate factual basis for the required RFA finding.
Therefore, we defer the RFA finding until completion of the new draft
economic analysis prepared under section 4(b)(2) of the Act and
Executive Order 12866. This new draft economic analysis will provide
the required factual basis for the RFA finding. Upon completion of the
new draft economic analysis, we will announce availability of the draft
economic analysis of the proposed designation in the Federal Register
and reopen the public comment period for the proposed designation. We
will include with this announcement, as appropriate, an initial
regulatory flexibility analysis or a certification that the rule will
not have a significant economic impact on a substantial number of small
entities accompanied by the factual basis for that determination.
We have concluded that deferring the RFA finding until completion
of the new draft economic analysis is necessary to meet the purposes
and requirements of the RFA. Deferring the RFA finding in this manner
will ensure that we make a sufficiently informed determination based on
adequate economic information and provide the necessary opportunity for
public comment.
Energy Supply, Distribution, or Use--Executive Order 13211
Executive Order 13211 (Actions Concerning Regulations That
Significantly Affect Energy Supply, Distribution, or Use) requires
agencies to prepare Statements of Energy Effects when undertaking
certain actions. The construction of an electrical subtransmission line
and substation project (Southern California Edison Valley-Ivyglen
Subtransmission Line and Fogarty Substation) is underway in the greater
Perris basin (Worthy 2011, pers. comm.). However, we do not expect the
designation of this proposed revised critical habitat for Allium munzii
and Atriplex coronata var. notatior to significantly affect this
project based on the components described in the Mitigation and
Monitoring Plan for this project, which include siting permanent
project elements (i.e., roads and poles) away from known locations of
special-status species and communities, identifying environmentally
sensitive areas such as rare plant populations, monitoring of known
locations of special-status plant populations prior to or during the
construction period, to include monitoring during construction and for
1 year following construction to assess the effectiveness of protection
measures, and limiting removal of native vegetation communities (State
of California Public Utilities Commission 2010, pp. 6-2-6-4). The
project is being constructed by Southern California Edison, which is a
Participating Special Entity (or PSE) under the Western Riverside
County MSHCP, and which has agreed to consult with CDFG, the Service,
and the Western Riverside County RCA and follow the provisions set
forth in the Western Riverside County MSHCP if direct or indirect
impacts to special-status plants cannot be avoided (State of California
Public Utilities Commission 2010, p. 6-5). Therefore, this action is
not a significant energy action, and no Statement of Energy Effects is
required. However, we will further evaluate this issue as we conduct
our economic analysis, and review and revise this assessment as
warranted.
Unfunded Mandates Reform Act (2 U.S.C. 1501 et seq.)
In accordance with the Unfunded Mandates Reform Act (2 U.S.C. 1501
et seq.), we make the following findings:
(1) This rule will not produce a Federal mandate. In general, a
Federal
[[Page 23038]]
mandate is a provision in legislation, statute, or regulation that
would impose an enforceable duty upon State, local, or tribal
governments, or the private sector, and includes both ``Federal
intergovernmental mandates'' and ``Federal private sector mandates.''
These terms are defined in 2 U.S.C. 658(5)-(7). ``Federal
intergovernmental mandate'' includes a regulation that ``would impose
an enforceable duty upon State, local, or tribal governments'' with two
exceptions. It excludes ``a condition of Federal assistance.'' It also
excludes ``a duty arising from participation in a voluntary Federal
program,'' unless the regulation ``relates to a then-existing Federal
program under which $500,000,000 or more is provided annually to State,
local, and tribal governments under entitlement authority,'' if the
provision would ``increase the stringency of conditions of assistance''
or ``place caps upon, or otherwise decrease, the Federal government's
responsibility to provide funding,'' and the State, local, or tribal
governments ``lack authority'' to adjust accordingly. At the time of
enactment, these entitlement programs were: Medicaid; Aid to Families
with Dependent Children work programs; Child Nutrition; Food Stamps;
Social Services Block Grants; Vocational Rehabilitation State Grants;
Foster Care, Adoption Assistance, and Independent Living; Family
Support Welfare Services; and Child Support Enforcement. ``Federal
private sector mandate'' includes a regulation that ``would impose an
enforceable duty upon the private sector, except (i) a condition of
Federal assistance or (ii) a duty arising from participation in a
voluntary Federal program.''
The designation of critical habitat does not impose a legally
binding duty on non-Federal Government entities or private parties.
Under the Act, the only regulatory effect is that Federal agencies must
ensure that their actions do not destroy or adversely modify critical
habitat under section 7. While non-Federal entities that receive
Federal funding, assistance, or permits, or that otherwise require
approval or authorization from a Federal agency for an action, may be
indirectly impacted by the designation of critical habitat, the legally
binding duty to avoid destruction or adverse modification of critical
habitat rests squarely on the Federal agency. Furthermore, to the
extent that non-Federal entities are indirectly impacted because they
receive Federal assistance or participate in a voluntary Federal aid
program, the Unfunded Mandates Reform Act would not apply, nor would
critical habitat shift the costs of the large entitlement programs
listed above onto State governments.
(2) We do not believe that this rule will significantly or uniquely
affect small governments. Small governments would be affected only to
the extent that any programs having Federal funds, permits, or other
authorized activities must ensure that their actions would not
adversely affect the critical habitat. Therefore, a Small Government
Agency Plan is not required. However, we will further evaluate this
issue as we conduct our economic analysis, and review and revise this
assessment if appropriate.
Takings--Executive Order 12630
In accordance with Executive Order 12630 (``Government Actions and
Interference with Constitutionally Protected Private Property
Rights''), this rule is not anticipated to have significant takings
implications. As discussed above, the designation of critical habitat
affects only Federal actions. Although private parties that receive
Federal funding, assistance, or require approval or authorization from
a Federal agency for an action may be indirectly impacted by the
designation of critical habitat, the legally binding duty to avoid
destruction or adverse modification of critical habitat rests squarely
on the Federal agency. Due to current public knowledge of the species'
protections under the Act both within and outside of the proposed
areas, we do not anticipate that property values will be affected by
the critical habitat designation. However, we have not yet completed
the new economic analysis for this proposed revised rule. Once the
economic analysis is available, we will review and revise this
preliminary assessment as warranted, and prepare a Takings Implication
Assessment.
Federalism--Executive Order 13132
In accordance with Executive Order 13132 (Federalism), this
proposed rule does not have significant Federalism effects. A
Federalism summary impact statement is not required. In keeping with
Department of the Interior and Department of Commerce policy, we
requested information from, and coordinated development of, this
proposed critical habitat designation with appropriate State resource
agencies in California. The designation of critical habitat in areas
currently occupied by Allium munzii or Atriplex coronata var. notatior
may impose nominal additional regulatory restrictions to those
currently in place and, therefore, is likely to have little incremental
impact on State and local governments and their activities. The
designation may have some benefit to these governments because the
areas that contain the physical or biological features essential to the
conservation of the species are more clearly defined, and the elements
of the features necessary to the conservation of the species are
specifically identified. This information does not alter where and what
federally sponsored activities may occur. However, it may assist local
governments in long-range planning (rather than having them wait for
case-by-case section 7 consultations to occur).
Where State and local governments require approval or authorization
from a Federal agency for actions that may affect critical habitat,
consultation under section 7(a)(2) would be required. While non-Federal
entities that receive Federal funding, assistance, or permits, or that
otherwise require approval or authorization from a Federal agency for
an action, may be indirectly impacted by the designation of critical
habitat, the legally binding duty to avoid destruction or adverse
modification of critical habitat rests squarely on the Federal agency.
Civil Justice Reform--Executive Order 12988
In accordance with Executive Order 12988 (Civil Justice Reform),
the Office of the Solicitor has determined that the rule does not
unduly burden the judicial system and that it meets the requirements of
sections 3(a) and 3(b)(2) of the Order. We have proposed designating
critical habitat in accordance with the provisions of the Act. This
proposed rule uses standard property descriptions and identifies the
elements of physical or biological features essential to the
conservation of Allium munzii and Atriplex coronata var. notatior
within the designated areas to assist the public in understanding the
habitat needs of these taxa.
Paperwork Reduction Act of 1995 (44 U.S.C. 3501 et seq.)
This rule does not contain any new collections of information that
require approval by OMB under the Paperwork Reduction Act of 1995 (44
U.S.C. 3501 et seq.). This rule will not impose recordkeeping or
reporting requirements on State or local governments, individuals,
businesses, or organizations. An agency may not conduct or sponsor, and
a person is not required to respond to, a collection of information
unless it displays a currently valid OMB control number.
[[Page 23039]]
National Environmental Policy Act (42 U.S.C. 4321 et seq.)
It is our position that, outside the jurisdiction of the U.S. Court
of Appeals for the Tenth Circuit, we do not need to prepare
environmental analyses pursuant to the National Environmental Policy
Act (NEPA; 42 U.S.C. 4321 et seq.) in connection with designating
critical habitat under the Act. We published a notice outlining our
reasons for this determination in the Federal Register on October 25,
1983 (48 FR 49244). This position was upheld by the U.S. Court of
Appeals for the Ninth Circuit (Douglas County v. Babbitt, 48 F.3d 1495
(9th Cir. 1995), cert. denied 516 U.S. 1042 (1996)).]
Clarity of the Rule
We are required by Executive Orders 12866 and 12988 and by the
Presidential Memorandum of June 1, 1998, to write all rules in plain
language. This means that each rule we publish must:
(1) Be logically organized;
(2) Use the active voice to address readers directly;
(3) Use clear language rather than jargon;
(4) Be divided into short sections and sentences; and
(5) Use lists and tables wherever possible.
If you feel that we have not met these requirements, send us
comments by one of the methods listed in the ADDRESSES section. To
better help us revise the rule, your comments should be as specific as
possible. For example, you should tell us the numbers of the sections
or paragraphs that are unclearly written, which sections or sentences
are too long, the sections where you feel lists or tables would be
useful, etc.
Government-to-Government Relationship With Tribes
In accordance with the President's memorandum of April 29, 1994
(Government-to-Government Relations with Native American Tribal
Governments; 59 FR 22951), Executive Order 13175 (Consultation and
Coordination with Indian Tribal Governments), and the Department of the
Interior's manual at 512 DM 2, we readily acknowledge our
responsibility to communicate meaningfully with recognized Federal
Tribes on a government-to-government basis. In accordance with
Secretarial Order 3206 of June 5, 1997 (American Indian Tribal Rights,
Federal-Tribal Trust Responsibilities, and the Endangered Species Act),
we readily acknowledge our responsibilities to work directly with
tribes in developing programs for healthy ecosystems, to acknowledge
that tribal lands are not subject to the same controls as Federal
public lands, to remain sensitive to Indian culture, and to make
information available to Tribes.
We determined that there are no tribal lands within the
geographical area occupied by Allium munzii or Atriplex coronata var.
notatior at the time of listing that contain the features essential to
the conservation of these taxa, and no tribal lands outside the
geographical area occupied by A. munzii or A. c. var. notatior at the
time of listing that are essential for the conservation of these taxa.
Therefore, we are not proposing to designate critical habitat for A.
munzii and A. c. var. notatior on tribal lands.
References Cited
A complete list of references cited in this rulemaking is available
on the Internet at https://www.regulations.gov and upon request from the
Field Supervisor, Carlsbad Fish and Wildlife Office (see FOR FURTHER
INFORMATION CONTACT).
Authors
The primary authors of this package are the staff members of the
Carlsbad Fish and Wildlife Office.
List of Subjects in 50 CFR Part 17
Endangered and threatened species, Exports, Imports, Reporting and
recordkeeping requirements, Transportation.
Proposed Regulation Promulgation
Accordingly, we propose to amend part 17, subchapter B of chapter
I, title 50 of the Code of Federal Regulations, as set forth below:
PART 17--ENDANGERED AND THREATENED WILDLIFE AND PLANTS
1. The authority citation for part 17 continues to read as follows:
Authority: 16 U.S.C. 1361-1407; 16 U.S.C. 1531-1544; 16 U.S.C.
4201-4245; Pub. L. 99-625, 100 Stat. 3500; unless otherwise noted.
2. Amend Sec. 17.12(h) by revising the entry for ``Allium munzii
(Munz's onion)'' under Flowering Plants on the List of Endangered and
Threatened Plants to read as follows:
Sec. 17.12 Endangered and threatened plants.
* * * * *
(h) * * *
--------------------------------------------------------------------------------------------------------------------------------------------------------
Species
-------------------------------------------------------- Historic range Family Status When listed Critical Special
Scientific name Common name habitat rules
--------------------------------------------------------------------------------------------------------------------------------------------------------
Flowering Plants
* * * * * * *
Allium munzii.................... Munz's onion........ U.S.A. (CA)........ Alliaceae.......... E 650 NA NA
* * * * * * *
--------------------------------------------------------------------------------------------------------------------------------------------------------
2. Amend Sec. 17.96(a) as follows:
a. Under Family Liliaceae, remove the designation of critical
habitat for ``Allium munzii (Munz's onion)'';
b. Under Family Alliaceae, add a designation of critical habitat
for ``Allium munzii (Munz's onion)'' to read as set forth below; and
c. Under Family Chenopodiaceae, revise the designation of critical
habitat for ``Atriplex coronata var. notiatior (San Jacinto Valley
crownscale)'' to read as set forth below:
Sec. 17.96 Critical habitat--plants.
(a) Flowering plants.
* * * * *
Family Alliaceae: Allium munzii (Munz's onion)
(1) Critical habitat units are depicted for Riverside County,
California, on the maps below.
(2) Within these areas, the primary constituent elements of the
physical or biological features essential to the conservation of Allium
munzii consist of one of the following two components:
(i) Clay soil series of sedimentary origin (e.g., Altamont, Auld,
Bosanko, Porterville), or clay lenses (pockets of clay soils) of such
that may be found as unmapped inclusions in other soil series, or soil
series of sedimentary or
[[Page 23040]]
igneous origin with a clay subsoil (e.g., Cajalco, Las Posas,
Vallecitos):
(A) Found on level or slightly sloping landscapes or terrace
escarpments;
(B) Generally between the elevations of 1,200 to 2,700 ft (366 to
823 m) above mean sea level;
(C) Within intact natural surface and subsurface structures that
have been minimally altered or unaltered by ground-disturbing
activities (for example, disked, graded, excavated, or recontoured);
(D) Within microhabitats that receive or retain more moisture than
surrounding areas, due in part to factors such as exposure, slope, and
subsurface geology; and
(E) Part of open native or nonnative grassland plant communities
and clay soil flora, including southern needlegrass grassland, mixed
grassland, and open coastal sage scrub or occasionally in cismontane
juniper woodlands.
(ii) Outcrops of igneous rocks (pyroxenite) on rocky-sandy loam or
clay soils within Riversidean sage scrub, generally between the
elevations of 1,200 to 2,700 ft (366 to 823 m) above mean sea level.
(3) Critical habitat does not include manmade structures (such as
buildings, aqueducts, runways, roads, and other paved areas) and the
land on which they are located existing within the legal boundaries on
the effective date of this rule.
BILLING CODE 4310-55-P
(4) Note: Index Map for Allium munzii follows:
[[Page 23041]]
[GRAPHIC] [TIFF OMITTED] TP17AP12.027
[[Page 23042]]
(5) Subunit 1A, Estelle Mountain and Subunit 1B, Dawson Canyon:
Critical habitat for Allium munzii (Munz's onion), Riverside County,
California.
(i) [Reserved for textual description of Subunit 1A and Subunit
1B.]
(ii) Note: Map of Subunit 1A and 1B follows:
[GRAPHIC] [TIFF OMITTED] TP17AP12.028
[[Page 23043]]
(6) Subunit 1C, Gavilan Plateau and Subunit 1D, Ida-Leona: Critical
habitat for Allium munzii (Munz's onion), Riverside County, California.
(i) [Reserved for textual description of Subunit 1C and Subunit
1D.]
(ii) Note: Map of Subunit 1C and 1D follows:
[GRAPHIC] [TIFF OMITTED] TP17AP12.029
[[Page 23044]]
(7) Subunit 1E, Northeast Alberhill: Critical habitat for Allium
munzii (Munz's onion), Riverside County, California.
(i) [Reserved for textual description of Subunit 1E.]
(ii) Note: Map of Subunit 1E follows:
[GRAPHIC] [TIFF OMITTED] TP17AP12.030
[[Page 23045]]
(8) Subunit 1F, North Peak: Critical habitat for Allium munzii
(Munz's onion), Riverside County, California.
(i) [Reserved for textual description of Subunit 1F.]
(ii) Note: Map of Subunit 1F follows:
[GRAPHIC] [TIFF OMITTED] TP17AP12.031
[[Page 23046]]
(9) Subunit 2A, Sycamore Creek and Subunit 2B, De Palma Road:
Critical habitat for Allium munzii (Munz's onion), Riverside County,
California.
(i) [Reserved for textual description of Subunit 2A and Subunit
2B.]
(ii) Note: Map of Subunit 2A and Subunit 2B follows:
[GRAPHIC] [TIFF OMITTED] TP17AP12.032
[[Page 23047]]
(10) Subunit 2C, Alberhill Mountain: Critical habitat for Allium
munzii (Munz's onion), Riverside County, California.
(i) [Reserved for textual description of Subunit 2C.]
(ii) Note: Map of Subunit 2C follows:
[GRAPHIC] [TIFF OMITTED] TP17AP12.033
[[Page 23048]]
(11) Subunit 2D, Alberhill Creek: Critical habitat for Allium
munzii (Munz's onion), Riverside County, California.
(i) [Reserved for textual description of Subunit 2D.]
(ii) Note: Map of Subunit 2D follows:
[GRAPHIC] [TIFF OMITTED] TP17AP12.034
[[Page 23049]]
(12) Unit 3, Elsinore Peak: Critical habitat for Allium munzii
(Munz's onion), Riverside County, California.
(i) [Reserved for textual description of Unit 3.]
(ii) Note: Map of Unit 3 follows:
[GRAPHIC] [TIFF OMITTED] TP17AP12.035
[[Page 23050]]
(13) Subunit 4A, Scott Road: Critical habitat for Allium munzii
(Munz's onion), Riverside County, California.
(i) [Reserved for textual description of Subunit 4A.]
(ii) Note: Map of Subunit 4A follows:
[GRAPHIC] [TIFF OMITTED] TP17AP12.036
[[Page 23051]]
(14) Subunit 4B, Skunk Hollow: Critical habitat for Allium munzii
(Munz's onion), Riverside County, California.
(i) [Reserved for textual description of Subunit 4B.]
(ii) Note: Map of Subunit 4B follows:
[GRAPHIC] [TIFF OMITTED] TP17AP12.037
[[Page 23052]]
(15) Subunit 4C, Bachelor Mountain: Critical habitat for Allium
munzii (Munz's onion), Riverside County, California.
(i) [Reserved for textual description of Subunit 4C.]
(ii) Note: Map of Subunit 4C follows:
[GRAPHIC] [TIFF OMITTED] TP17AP12.038
[[Page 23053]]
(16) Unit 5, North Domenigoni Hills: Critical habitat for Allium
munzii (Munz's onion), Riverside County, California.
(i) [Reserved for textual description of Unit 5.]
(ii) Note: Map of Unit 5 follows:
[GRAPHIC] [TIFF OMITTED] TP17AP12.039
* * * * *
Family Chenopodiaceae: Atriplex coronata var. notatior (San Jacinto
Valley crownscale)
(1) Critical habitat units are depicted for Riverside County,
California, on the maps below.
(2) Within these areas, the primary constituent elements of the
physical or biological features essential to the conservation of
Atriplex coronata var. notatior consist of two components:
(i) Wetland habitat including floodplains and vernal pools:
(A) Associated with native vegetation communities, including alkali
playa, alkali scrub, and alkali grasslands, and
(B) Characterized by seasonal inundation or localized flooding,
including infrequent, large-scale flood events, with low pollutant
loads; and
(ii) Slow-draining alkali soils including the Willows, Domino,
Traver, Waukena, and Chino soil series with:
(A) Low permeability,
(B) Low nutrient availability, and
(C) Seasonal ponding and evaporation.
(3) Critical habitat does not include manmade structures (such as
buildings, aqueducts, runways, roads, and other paved areas) and the
land on which they are located existing within the legal
[[Page 23054]]
boundaries on the effective date of this rule.
(4) Note: Index Map for Atriplex coronata var. notatior follows:
[GRAPHIC] [TIFF OMITTED] TP17AP12.040
[[Page 23055]]
(5) Unit 1, San Jacinto River: Critical habitat for Atriplex
coronata var. notatior (San Jacinto Valley crownscale), Riverside
County, California.
(i) [Reserved for textual description of Unit 1.]
(ii) Note: Map of Unit 1 follows:
[GRAPHIC] [TIFF OMITTED] TP17AP12.041
[[Page 23056]]
(6) Unit 2, Upper Salt Creek: Critical habitat for Atriplex
coronata var. notatior (San Jacinto Valley crownscale), Riverside
County, California.
(i) [Reserved for textual description of Unit 2.]
(ii) Note: Map of Unit 2 follows:
[GRAPHIC] [TIFF OMITTED] TP17AP12.042
[[Page 23057]]
(7) Unit 3, Alberhill Creek: Critical habitat for Atriplex coronata
var. notatior (San Jacinto Valley crownscale), Riverside County,
California.
(i) [Reserved for textual description of Unit 3.]
(ii) Note: Map of Unit 3 follows:
[GRAPHIC] [TIFF OMITTED] TP17AP12.043
* * * * *
Dated: April 3, 2012.
Eilleen Sobek,
Acting Assistant Secretary for Fish and Wildlife and Parks.
[FR Doc. 2012-8664 Filed 4-16-12; 8:45 am]
BILLING CODE 4310-55-C