Endangered and Threatened Wildlife and Plants; Designation of Critical Habitat for the Diamond Darter (Crystallaria cincotta, 52363-52387 [2013-20449]
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Vol. 78
Thursday,
No. 163
August 22, 2013
Part V
Department of the Interior
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Fish and Wildlife Service
50 CFR Part 17
Endangered and Threatened Wildlife and Plants; Designation of Critical
Habitat for the Diamond Darter (Crystallaria cincotta); Final Rule
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Federal Register / Vol. 78, No. 163 / Thursday, August 22, 2013 / Rules and Regulations
Virginia Field Office (see ADDRESSES
section). If you use a
telecommunications device for the deaf
(TDD), call the Federal Information
Relay Service (FIRS) at 800–877–8339.
SUPPLEMENTARY INFORMATION:
DEPARTMENT OF THE INTERIOR
Fish and Wildlife Service
50 CFR Part 17
[Docket No. FWS–R5–ES–2013–0019;
4500030114]
RIN 1018–AZ40
Endangered and Threatened Wildlife
and Plants; Designation of Critical
Habitat for the Diamond Darter
(Crystallaria cincotta)
Fish and Wildlife Service,
Interior.
ACTION: Final rule.
AGENCY:
We, the U.S. Fish and
Wildlife Service (Service), designate
critical habitat for the diamond darter
(Crystallaria cincotta), a small fish in
West Virginia, under the Endangered
Species Act (Act). In total,
approximately 197.1 river kilometers
(122.5 river miles) in Kanawha and Clay
Counties, West Virginia, and Edmonson,
Hart, and Green Counties, Kentucky, are
being designated as critical habitat. The
effect of this regulation is to designate
critical habitat for the diamond darter
under the Act.
DATES: This rule becomes effective on
September 23, 2013.
ADDRESSES: This final rule is available
on the Internet at https://
www.regulations.gov and at the West
Virginia Field Office. Comments and
materials received, as well as supporting
documentation used in the preparation
of this rule, are available for public
inspection, by appointment, during
normal business hours at: U.S. Fish and
Wildlife Service, West Virginia Field
Office, 694 Beverly Pike, Elkins, West
Virginia 26241. The Field Office can be
reached by telephone 304–636–6586 or
by facsimile 304–636–7824.
The coordinates or plot points or both
from which the critical habitat maps are
generated are included in the
administrative record for this critical
habitat designation and are available at
https://www.fws.gov/
westvirginiafieldoffice,
www.regulations.gov at Docket No.
FWS–R5–ES–2013–0019, and at the
West Virginia Field Office (see FOR
FURTHER INFORMATION CONTACT). Any
additional tools or supporting
information that we developed for this
critical habitat designation are also
available at the U.S. Fish and Wildlife
Service Web site and Field Office set out
above, and may also be included at
www.regulations.gov.
FOR FURTHER INFORMATION CONTACT: John
Schmidt, Acting Field Supervisor, West
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SUMMARY:
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Executive Summary
Why we need to publish a rule. This
is a final rule to designate critical
habitat for the diamond darter. Under
the Endangered Species Act of 1973, as
amended (16 U.S.C. 1531 et seq.) (Act),
we must designate critical habitat, to the
maximum extent prudent and
determinable, for any species we
determine to be endangered or
threatened. Designation of critical
habitat can only be completed by
issuing a rule.
We listed the diamond darter as an
endangered species on July 26, 2013 (78
FR 45074). On July 26, 2012, we
published in the Federal Register a
proposed critical habitat designation for
the diamond darter (77 FR 43906).
This rule consists of: A final rule to
designate critical habitat for the
diamond darter. Section 4(b)(2) of the
Act states that the Secretary shall
designate 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.
Here we are designating, in total,
approximately 197.1 river kilometers
(km) (122.5 river miles (mi)) as critical
habitat for the species. The critical
habitat is located in Kanawha and Clay
Counties, West Virginia, and in
Edmonson, Hart, and Green Counties,
Kentucky.
We have prepared an economic
analysis of the designation of critical
habitat. We have prepared an analysis
of the economic impacts of the critical
habitat designation and related factors.
We announced the availability of the
draft economic analysis (DEA) in the
Federal Register on March 29, 2013 (78
FR 19172), allowing the public to
provide comments on our analysis. We
have incorporated the comments and
have completed the final economic
analysis (FEA) concurrently with this
final determination.
Peer review and public comment. We
sought comments from independent
specialists to ensure that our
designation is based on scientifically
sound data and analyses. We asked
knowledgeable individuals with the
scientific expertise to review our
technical assumptions, analysis, and
whether we had used the best available
data. These peer reviewers generally
concurred with our methods and
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conclusions, and they provided
additional information, clarifications,
and suggestions to improve this final
rule. The information we received from
the peer review process is incorporated
in this final revised designation. We
also considered all comments and
information received from the public
during the comment periods and
incorporated those comments, as
appropriate, into this final rule.
Previous Federal Actions
The diamond darter was first
identified as a candidate for protection
under the Act in the November 9, 2009,
Federal Register (74 FR 57804). As a
candidate, it was assigned a listing
priority number (LPN) of 2. Candidate
species are assigned LPNs based on the
magnitude and immediacy of threats
and their taxonomic status. The lower
the LPN, the higher the priority is for
determining appropriate action for the
species using our available resources.
An LPN of 2 reflects that the threats to
the diamond darter are both imminent
and high in magnitude. It also reflects
the taxonomic classification of the
diamond darter as a full species. We
retained the LPN of 2 in our subsequent
Notices of Review dated November 10,
2010 (75 FR 69222), and October 26,
2011 (76 FR 66370). On July 26, 2012
(77 FR 43906), we published a proposed
rule to list the diamond darter as
endangered. On July 26, 2013 (78 FR
45074), we published a final rule to list
the diamond darter as endangered.
Background
The diamond darter is a small fish
that is a member of the perch family
(Percidae). The diamond darter is
overall translucent and is a silvery
white on the underside of the body and
head. It has four wide, olive-brown
saddles on the back and upper side
(Welsh et al. 2008, p. 1). Diamond
darters are most active during the night
and may stay partially buried in the
stream substrates during the day (Welsh
2008, p. 10; Welsh 2009c, p. 1). Adult
diamond darters are benthic
invertivores, feeding primarily on
stream bottom-dwelling invertebrates
(NatureServe 2008, p. 8). The diamond
darter was historically distributed
throughout the Ohio River Basin
including the Muskingum River in
Ohio; the Ohio River in Ohio, Kentucky,
and Indiana; the Green River in
Kentucky; and the Cumberland River
Drainage in Kentucky and Tennessee.
The diamond darter has been extirpated
from all these streams and is now
known to occur only within the lower
Elk River in West Virginia. More
detailed information on the diamond
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darter, including its taxonomy, species
description, and current and historical
distribution, and a summary of its life
history and habitat can be found in the
final listing rule published on July 26,
2013 (78 FR 45074).
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Summary of Comments and
Recommendations
We requested written comments from
the public on the proposed designation
of critical habitat for the diamond darter
during two comment periods. The first
comment period opened with the
publication of the proposed rule (77 FR
43906) on July 26, 2012, and closed on
September 25, 2012. In a notice
published on March 29, 2013 (78 FR
19172), we also requested comments on
the proposed critical habitat designation
and associated DEA during a comment
period that opened March 29, 2013, and
closed on April 29, 2013. We did not
receive any requests for a public
hearing. We also contacted appropriate
Federal, State, and local agencies,
scientific organizations, and other
interested parties, and invited them to
comment on the proposed rule and DEA
during these comment periods.
During the first comment period, we
received 11 letters that provided
comments specific to the proposed
critical habitat designation. During the
second comment period, we received 10
comment letters addressing the
proposed critical habitat designation or
the DEA. Comments received were
grouped into general issues specifically
relating to the proposed critical habitat
designation for the diamond darter, and
are addressed in the following summary
and incorporated into the final rule as
appropriate. Comments addressing only
the proposed listing are addressed
separately in the final listing rule (78 FR
45074, July 26, 2013).
Peer Review
In accordance with our peer review
policy published on July 1, 1994 (59 FR
34270), we solicited expert opinion
from five knowledgeable individuals
with scientific expertise on the diamond
darter and its habitat, biological needs,
and threats. We received individual
responses from three of the peer
reviewers. The response from one peer
reviewer was incorporated into
comments submitted by his employer,
the West Virginia Division of Natural
Resources (WVDNR). Those comments
are addressed below under Comments
from States.
We reviewed all comments received
from the peer reviewers for substantive
and new information regarding critical
habitat for the diamond darter. Two of
the peer reviewers explicitly stated that:
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(1) They concurred with the proposed
critical habitat designation; (2) the
proposed rule appropriately designated
the lower 45 km (28 mi) of the Elk River
as critical habitat; and (3) scientific
evidence provided in the proposed rule
supported our conclusion that this reach
of river is needed to protect the only
remaining population of the diamond
darter. One peer reviewer also
commented that the reach of the Green
River proposed for unoccupied critical
habitat was a logical choice for
designation, in that it was more likely
than any other historical habitat to offer
the potential for reestablishment of a
second population of the diamond
darter. Another peer reviewer suggested
that additional areas should be
designated as critical habitat.
(1) Comment: The only known
collection of a young diamond darter
was at the extreme lower end of the
proposed critical habitat on the Elk
River in West Virginia. Although the
extent of diamond darter larval drift is
unknown, it may include portions of the
Kanawha River below the mouth of the
Elk River, which is not included in the
proposed designation. The extent of
potential downstream larval drift should
be considered in the critical habitat
designation. Additional research is
needed to define how far larval drift
occurs and what larvae are eating in the
wild.
Our Response: We concur that it is
important to consider all the diamond
darter’s life stages, including the larval
stage, when designating critical habitat.
However, very little is known about the
natural history of the larval and juvenile
life stages of the diamond darter. As the
commenter stated, the only known
record of a young diamond darter
captured in the wild was from benthic
trawl surveys conducted in the Elk
River somewhere near the confluence
with the Kanawha River in West
Virginia. Despite repeated requests to
the researcher and his staff who
captured the young diamond darter, we
have been unable to more precisely
determine the exact location of this
capture or the habitat conditions at the
capture location. Additionally, no
scientific data is available on how long
diamond darter larvae remain in a
pelagic phase (drifting in open water) or
how far they may drift downstream after
they hatch. We are also unaware of any
scientific data available as to where
diamond darters breed in the Elk River.
We concur that additional research is
needed to quantify diamond darter
larval and breeding requirements.
However, we have used the best
available scientific data to define the
extent of these life history requirements.
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Section 3(5) of the Act requires the
Service to specify the ‘‘specific areas’’
within the geographical area occupied
by the species at the time of listing that
are essential to the species’ conservation
or those areas outside the geographical
areas occupied by the species at the
time of listing that are essential for the
species’ conservation. Therefore, we
have designated critical habitat based on
the best available data at this time.
In both our proposed and final critical
habitat designation for the Elk River, we
included some areas upstream and
downstream of known capture locations
that have suitable habitat for the
species. These areas are contiguous with
known and documented capture sites,
have similar habitat characteristics,
have no barriers to dispersal, and are
within general darter dispersal
capabilities. This should allow for some
upstream migrations of breeding and
spawning adult diamond darters, as
well as some downstream migration of
larvae. However, we do not have
scientific data available to be able to
determine whether the aforementioned
capture location of the juvenile
diamond darter is downstream of or
within the critical habitat designation.
The reach of the Elk River downstream
of the designated critical habitat to the
confluence with the Kanawha River is
affected by impoundment from the
Winfield Lock and Dam on the Kanawha
River, and is dredged by the U.S. Army
Corps of Engineers (ACOE). Therefore,
this area was not designated as critical
habitat because it did not contain the
required physical and biological
features (PBFs). We have incorporated
additional discussion about the
uncertainty surrounding the location of
the juvenile diamond darter capture, as
well information about the potential for
larval drift, in the final rule. Please refer
to our response to comment #1 in the
final listing rule (78 FR 45074, July 26,
2013) for more information on this
topic.
We also note in the final critical
habitat rule that 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. Similarly, critical habitat
designations made on the basis of the
best available scientific data at the time
of designation will not control the
direction and substance of future
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recovery plans, habitat conservation
plans (HCPs), or other species
conservation planning efforts if new
information available at the time of
these planning efforts calls for a
different outcome. When additional
information becomes available about
diamond darter larval requirements, or
if the location of the previous capture
can be more precisely determined, we
will fully consider that information
during future diamond darter
consultation and recovery efforts, and
may revise the critical habitat
designation, if necessary.
(2) Comment: The Service should
consider designating the lower freeflowing portion of the Big South Fork of
the Cumberland River as unoccupied
critical habitat, similar to the Green
River. Although the Big South Fork of
the Cumberland River may not be quite
as high in quality as the Green River, it
meets the criteria for designation as
cited, particularly in supporting rare
and sensitive species, including
streamline chubs (Erimystax dissimilis)
and tuxedo darters (Etheostoma
lemniscatum).
Our Response: We concur that the
lower portions of the Big South Fork of
the Cumberland River currently have
suitable habitat for the diamond darter
in that the river is free-flowing and has
riffle-pool complexes and areas with
suitable substrates. It also supports
other rare species with similar lifehistory requirements, and the National
Park Service provides some protections.
Based on this information, we evaluated
this area for inclusion in the designation
as unoccupied critical habitat. To be
included in the unoccupied critical
habitat designation, an area must have
historical darter occurrences that have
been confirmed to be diamond darter.
Confirmation of the historical
occurrences is completed through
examination of available museum
specimens.
One specimen of a Crystallaria
species was known to be collected from
the Big South Fork of the Cumberland
River around 1870, but very little
information is available about the actual
specimen. We note that it was one of the
earliest collections of any Crystallaria
species, and occurred at a time when
many fishes from the Ohio River Basin
were first being captured, identified,
and described. Cope, who originally
collected this specimen, did not
formally publish any records of his
Crystallaria capture in the Big South
Fork of the Cumberland River (Comisky
and Etnier 1972, p. 143). The first
reference to this specimen occurred in
1906 when Fowler began curating and
cataloguing Cope’s collection of percid
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specimens after his death (Fowler 1906,
p. 524). In a subsequent taxonomic
review of fish from Michigan, Fowler
determined that some of Cope’s other
Crystallaria specimens had been
incorrectly identified (Fowler 1918, pp.
48–49). This is not surprising given the
advances in fish taxonomy that occurred
between 1870 and 1918. Thus, it is
possible that Cope’s Big South Fork of
the Cumberland River Crystallaria
specimen was also incorrectly
identified. However, we searched
published literature and found no
records of Fowler or any subsequent
taxonomists confirming or refuting
Cope’s original identification of this
specimen, or any written descriptions or
illustrations of this specimen that would
have allowed us to verify its accuracy.
Additionally, we have been unable to
locate this specimen.
In 1918, Fowler noted that some of
Cope’s specimens were no longer extant,
and that some were in poor preservation
(Fowler 1918, pp. 2–51). The Big South
Fork of the Cumberland River
Crystallaria specimen is apparently one
of those specimens that was lost or
degraded since its original collection,
and is no longer extant. Therefore, it
cannot be inspected and verified.
Conversely, museum specimens from
surveys conducted in 1890 in other
portions of the Cumberland River
watershed are extant and have been
independently reviewed and verified to
be the diamond darter (Welsh and Wood
2008, p. 6). However, as described
above, we do not have confirmed
historical records that the diamond
darter existed in the Big South Fork of
the Cumberland River. Therefore, the
Big South Fork of the Cumberland River
did not meet the inclusion criteria for
unoccupied critical habitat. However,
excluding this area from critical habitat
designation does not mean that it may
not be important or appropriate for
future diamond darter recovery efforts.
Comments From States
Section 4(i) of the Act states, ‘‘the
Secretary shall submit to the State
agency a written justification for his
failure to adopt regulations consistent
with the agency’s comments or
petition.’’ We received comments from
two State agencies, the WVDNR and the
West Virginia Department of
Environmental Protection (WVDEP).
Comments received from the State
regarding the proposal to designate
critical habitat are summarized below,
followed by our responses.
The WVDNR stated that the Service
provided an excellent evaluation in
support of the proposed primary
constituent elements (PCEs), and
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concurred that these components are
present in the Elk River and necessary
for the continued success of the
diamond darter. The WVDNR also
concurred with the proposed
designation of the 45-km (28-mi) reach
of the Elk River as critical habitat. The
agency confirmed that this reach of the
Elk River supported all the PCEs, and
further commented that its survey data
from Elk River tributaries supported our
conclusion that the diamond darter
rarely or never uses these tributary
areas. Although the agency commented
that the Service correctly proposed to
designate critical habitat in the Green
River based on the criteria provided, the
agency deferred any additional
comments on that portion of the
diamond darter’s habitat to the
Kentucky Department of Fish and
Wildlife Resources (KYDFWR). The
KYDFWR did not formally comment on
the proposed rule. The WVDEP
provided two substantive comments
regarding the proposed critical habitat,
as detailed below.
(3) Comment: The WVDEP asserted
that the primary cause of the diamond
darter’s decline was habitat loss and
isolation of the population through the
historical impoundment of streams the
species inhabited. The agency therefore
suggested that PCE 3, which emphasizes
the darter’s need for flows unimpeded
by impoundment, should be the first
priority PCE considered essential to the
diamond darter’s persistence.
Our Response: We concur that
impoundment was one of the most
direct and dramatic historical causes of
diamond darter habitat loss. Water
quality degradation and siltation also
played key roles. See our response to
comment #4 in the final listing rule (78
FR 45074, July 26, 2013) for more
information regarding the role of
impoundment and other factors in the
decline and extirpation of diamond
darter populations. While we agree that
impoundment is an important cause of
diamond darter habitat loss, we do not
concur that the order of the PCEs should
be changed. The diamond darter
requires all the listed PCEs to survive
and recover, and the PCEs are not listed
in order of priority. Rather, we have
listed the PCEs in an order that supports
the species’ basic life-history
requirements. To support the diamond
darter, there must first be a stream
located in the historical range of the
species. The stream must also be of the
correct size (stream order) and have the
correct substrates. For example, small
headwater streams, or naturally slowmoving streams with predominately silt
substrates, even if unimpounded, would
not support the diamond darter.
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Therefore, our PCEs describe first the
type and location of stream habitat the
diamond darter requires, second the
type of substrate, and third the need for
relatively natural flows unimpeded by
impoundment. We have thus retained
the original order of the PCEs.
(4) Comment: The WVDEP
commented that the concept of
embeddedness described in the
proposed rule is inconsistent with the
species’ habitat requirements. The
agency stated that, because the diamond
darter occupies habitats with ample
sand, some embeddedness of the larger
particles in these areas is expected and
quite necessary. The agency further
suggested that we clarify the concepts of
siltation versus sedimentation since it
would appear that the diamond darter is
susceptible to the effects of siltation,
which is the accumulation of fines, or
particles smaller than sand, while being
dependent upon a relative abundance of
sand to fulfill life-history functions. The
agency suggested that PCE 2 should be
clarified with regard to these two issues.
Our Response: We concur with the
WVDEP that the diamond darter is
susceptible to the effects of siltation,
which is the accumulation of fines, or
particles smaller than sand, while being
dependent upon a relative abundance of
natural sand to fulfill life-history
functions. We have, therefore, reviewed
our use of the terms ‘‘siltation’’ and
‘‘sedimentation’’ in the final critical
habitat rule and clarified that the
diamond darter requires substrates that
are not embedded with fine silts or
clays. See our response to comment #5
in the final listing rule (78 FR 45074,
July 26, 2013) for additional information
on our definitions of the terms
‘‘substrate embeddedness,’’ ‘‘siltation,’’
and ‘‘sedimentation’’ and on the
relationship of these terms to the
diamond darter’s life-history
requirements.
Public Comments
We received comments addressing the
proposed critical habitat designation
from eight organizations and one
individual. Four organizations, the West
Virginia Chamber of Commerce
(WVCC), the West Virginia Oil and
Natural Gas Association (WVONGA),
the West Virginia Coal Association
(WVCA), and the West Virginia Forestry
Association (WVFA), were critical of the
proposed rule and provided substantive
comments in that regard. Each of these
four organizations submitted comments
during each of the two comment
periods. Four other organizations, The
Nature Conservancy (TNC), West
Virginia Rivers Coalition (WVRC),
Center for Biological Diversity (CBD),
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and Kentucky Waterways Alliance
(KYWA), and the one individual were
strongly supportive of the proposed
critical habitat designation. The KYWA
confirmed that the Green River contains
the PCEs required to support the
diamond darter, including connected
riffle-pool complex habitats that are
unaffected by any impoundments with
clean sand and gravel substrates and
healthy and diverse benthic
macroinvertebrate prey populations.
The KYWA also confirmed the Green
River has a number of protective use
designations that provide protections
consistent with the recovery of the
diamond darter.
The CBD, on behalf of itself and 16
additional organizations, submitted
comments in support of the proposed
critical habitat designation, reiterated
information presented in the proposed
rule, and suggested that the designation
of unoccupied critical habitat in
Kentucky will greatly increase the
diamond darter’s potential for survival
and recovery. In addition,
approximately 4,840 individuals
associated with CBD provided form
letters supporting the proposed critical
habitat that reiterated the comments
provided by CBD. One individual, the
WVRC, the CBD, and associated
individuals responding by form letter,
urged the Service to act quickly to
finalize the critical habitat designation,
with the WVRC suggesting that
protection is needed now while there
still may be a viable breeding
population of diamond darters.
Additional substantive comments from
the eight organizations are detailed
below.
(5) Comment: The KYWA provided
additional supporting information on
the current and historical biological
diversity of the Green River. The
organization noted that the diamond
darter is one of the native fish species
currently missing from the system, and
that darters play an important role in
aquatic systems as indicators of good
water quality and diversity. The
organization suggested that
reintroducing the diamond darter into
the river would create a more complete
aquatic ecosystem, would help to
sustain other populations of fish, such
as muskellunge (Esox masquinongy) or
bass (Micropterus spp.), and contribute
to a healthy robust native ecosystem.
The KYWA concluded that the
organization strongly supports all efforts
to fully restore and protect all native
species to the Green River.
Our Response: We appreciate the
additional information on historical
biodiversity in the Green River, and we
have incorporated this information into
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the final rule, as appropriate. We also
concur with the assessment of potential
benefits of restoring healthy intact
aquatic ecosystems.
(6) Comment: The KYWA and TNC
described numerous ongoing efforts that
the organizations and their partners
have conducted to protect and enhance
the Green River and to educate the
public on the river’s biodiversity. These
efforts included river cleanups, the
addition of lands to Western Kentucky
University’s (WKU) Upper Green River
Biological Reserve, and the
establishment of a Watershed Watch
program under which volunteers are
trained to monitor the biological
conditions in the river. The organization
further expressed a willingness to work
with the Service and appropriate State
agencies on restoration of diamond
darter populations in the Green River.
Our Response: The KYWA and TNC
have acted proactively to protect and
restore the Green River and its aquatic
species. The Service appreciates these
efforts and the offer to assist in diamond
darter recovery. We recognize that
partnerships are essential for the
conservation of aquatic habitats and the
diamond darter, and we look forward to
continuing to work with these
organizations on Green River restoration
and diamond darter conservation.
(7) Comment: The WVCC, WVCA,
WVFA, and WVONGA all commented
that data are insufficient to
quantitatively define specific water
quality standards required by the
diamond darter. These organizations
noted that conductivity was described
as a threat to the diamond darter in the
proposed listing rule even though an
appropriate conductivity range for the
diamond darter has not yet been
established and scientific studies have
not conclusively shown that elevated
conductivity causes harm to fish
species. These organizations stated that,
if the final rule suggests ideal water
quality conditions for parameters such
as conductivity, these parameters
should be based on observations where
the diamond darter population currently
exists in the Elk River or on direct
testing on the diamond darter. Finally,
the organizations recommend that the
use of the crystal darter (Crystallaria
asprella) as a surrogate for the diamond
darter to establish water quality
parameters is not justified because the
ranges of these two species do not
overlap and the two species are
genetically distinct.
Our Response: See our responses to
comments #12 and #13 in the final
listing rule (78 FR 45074, July 26, 2013)
for a detailed response to the threat that
conductivity poses to the diamond
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darter, and our approach to describing
appropriate water quality parameters for
the diamond darter, including using
data from surrogate species.
(8) Comment: The WVCC, WVCA,
WVFA, and WVONGA all suggested that
the DEA inappropriately fails to
consider the potential economic effects
on Kanawha County, and that our
justification that the county ‘‘does not
meet the definition of small
government’’ is insufficient. They
specifically mention a sentence on page
ES–9 of the DEA.
Our Response: As described in
Section 4.2.1 of the DEA, the Economic
Analysis takes into account all
economic impacts that occur within the
study area, such as impacts to coal
mining in Unit 1. The study area
includes Kanawha County; therefore,
the economic impacts to the County are
analyzed in the DEA. The DEA sentence
the commenter mentioned refers
specifically to the DEA’s analysis of
economic impacts on small entities,
including governmental entities. The
DEA appendix (see page A–2) further
clarifies the definition of small entities
under the Small Business Regulatory
Enforcement Flexibility Act (SBREFA; 5
U.S.C. 801 et seq.) as ‘‘small
governmental jurisdictions as
governments of cities, counties, towns,
townships, villages, school districts, or
special districts with a population of
less than 50,000.’’ We note that
Kanawha County has a population of
192,179, which is more than the 50,000
population-level threshold. Therefore,
Kanawha County, by definition, cannot
be considered ‘‘small’’ under the
SBREFA. However, Chapter 4 of the
DEA, in particular Exhibit 4–1, presents
the overall economic impacts in the
Unit 1 Study Area, which includes all
impacts within Kanawha and Clay
Counties, West Virginia.
(9) Comment: The WVCC, WVONGA,
and WVCA disagreed with the DEA’s
assertion that, if time delay impacts to
the resource extraction industry were to
occur, the impacts would be attributable
to the listing of the diamond darter and
co-occurring mussel species rather than
to the designation of the diamond
darter’s proposed critical habitat. The
organizations also stated that the DEA
fails to quantify the likely impacts to the
regulated community, particularly
relative to the coal mining and oil and
natural gas production and
manufacturing industries.
Our Response: Page 4–2 of the DEA
notes that approximately 66
consultations related to coal mining and
natural gas production activities are
anticipated to occur over the next 20
years (a rate of approximately 3
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consultations annually), and that some
of these consultations may result in time
delays. In addition, section 2.3.2
presents the DEA’s methodology for
identifying incremental impacts, which
relies partly upon the Service’s
Incremental Effects Memorandum for
the Economic Analysis for the Proposed
Rule to Designate Critical Habitat for the
Diamond Darter (Incremental
Memorandum) and which is provided
as DEA Appendix D. The Incremental
Memorandum explains that areas
occupied by the diamond darter or other
co-occurring listed species are unlikely
to incur incremental impacts (those
associated solely with a critical habitat
designation) because ‘‘there is a close
relationship between the health of the
diamond darter and the health of its
habitat.’’ This means that the
conservation measures needed to avoid
adverse modification of critical habitat
would typically already be included in
any measures required to avoid
jeopardizing the continued existence of
the diamond darter. In other words,
there would be no substantial time
delays in evaluating a project that has
the potential to affect critical habitat
versus a project that has the potential to
affect the diamond darter.
As described in section 3.2.1, because
consultations related to coal mining and
natural gas production would fall
within occupied habitat, the DEA finds
that these consultations and any related
time delays would result from the
listing of the diamond darter and the
presence of co-occurring listed mussel
species, regardless of the designation of
diamond darter critical habitat. Based
on the case law and guidance from the
U.S. Office of Management and Budget
(OMB) reviewed in Chapter 2 of the
DEA, the DEA quantifies only those
economic impacts that are specifically
attributable solely to the designation of
critical habitat, and provides a narrative
description of other forecast impacts
that may stem from diamond darter
conservation efforts requested under the
Act’s jeopardy standard. Accordingly,
the DEA qualitatively describes, but
does not quantify, these potential
impacts to coal mining and natural gas
production activities.
(10) Comment: The WVONGA and the
WVCC stated that oil and natural gas
exploration and drilling have surged
within the Study Area. Based on this
anticipated increased activity, the
organizations expressed concern that
the DEA fails to consider future impacts
of the proposed critical habitat
designation to oil and natural gas
exploration and drilling, including the
adverse outcome of increased regulatory
actions that will impact the construction
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of stream crossings. The organizations
did not provide detailed information on
trends within the oil and natural gas
industry to support the comment.
Our Response: As discussed in
section 3.2.1 of the DEA, there is
considerable uncertainty about future
demand levels for oil and natural gas
activity within the study area. If reliable
projections of the demand for oil and
natural gas were available, we would
incorporate this information into the
economic analysis. When drafting the
DEA, we contacted WVONGA to obtain
more detailed or reliable projections of
the demand for oil and gas in the Study
Area. However, WVONGA did not
respond to our requests for information.
In addition, the comment letters
provided on the DEA did not provide
any detailed information that would
allow us to estimate future trends in the
demand for oil and gas within the Study
Area. Therefore, absent such
projections, we rely on historical
permitting data to forecast future levels
of economic activity related to oil and
natural gas exploration and drilling
within the Study Area.
(11) Comment: The WVCC, WVCA,
WVONGA, and WVFA stated that the
DEA does not appropriately consider all
economic impacts on small business
entities. The organizations disagreed
with the Service’s amended
determination certifying that, ‘‘if
promulgated, the proposed critical
habitat designation would not have a
significant economic impact on a
substantial number of small business
entities. Therefore, an initial regulatory
flexibility analysis is not required.’’ The
organizations further stated that the
amended determination should be
reconsidered to adequately account for
the complete economic impact on small
businesses as required under the
Regulatory Flexibility Act (RFA; 5
U.S.C. 601 et seq.), as amended by
SBREFA. The WVFA also expressed
concern that small businesses do not
have sufficient unfilled working hours
to manage the consultation process that
would be contracted to third party
vendors.
Our Response: Section 7 of the Act is
the regulatory mechanism requiring
Federal agencies, in consultation with
the Service, to insure that any action
authorized, funded, or carried out by the
agency is not likely to jeopardize the
continued existence of any threatened
or endangered species or result in the
destruction or adverse modification of
critical habitat. Therefore, as discussed
in our proposed rule and notice of
availability of the DEA, it is the
Service’s interpretation of the definition
of a ‘‘directly regulated entity’’ that only
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Federal action agencies are subject to a
regulatory requirement (i.e., to avoid
adverse modification) as the result of
the critical habitat designation. Federal
agencies are not considered small
entities under the RFA as amended by
SBREFA. Accordingly, the Service has
determined that small businesses are
not directly regulated by this
designation of critical habitat.
Therefore, the Service may certify that
the proposed critical habitat rule will
not have a significant economic impact
on a substantial number of small
entities, and thus no additional analysis
is required.
However, we acknowledge that in
some cases third-party proponents of
the action subject to Federal permitting
or funding may participate in a section
7 consultation and thus may be
indirectly affected. While these entities
are not directly regulated, the DEA
provides information about the potential
number of third parties participating in
section 7 consultations on an annual
basis and the associated perconsultation cost. This information is
included to ensure a robust examination
of the effects of the proposed diamond
darter critical habitat. For example, the
DEA estimates that 258 small entities
may be affected over the next 20 years.
This equates to an average of
approximately 13 entities being affected
per year. The large majority of these
affected entities (190 or 82 percent)
would be agriculture and timbering
entities in Kentucky that would be
receiving assistance through the Natural
Resources Conservation Service (NRCS).
We note that participation in NRCS
assistance programs is voluntary.
Potentially affected small timbering and
agricultural entities could choose not to
participate in these programs and thus
not be affected by the critical habitat
designation.
In addition, NRCS assistance
programs are typically designed to
restore ecological conditions and
improve land management practices.
Funded activities include assistance to
landowners to install riparian buffers,
improve water quality, and control
nutrient and sediment inputs into
streams. Most of these activities would
provide ecological benefits to the
diamond darter while also providing
economic benefits to the small entity
that is receiving Federal assistance.
Finally, NRCS comments on the
combined proposed listing and critical
habitat rule (NRCS 2013) indicated a
desire to develop programmatic
measures to avoid and minimize any
potential adverse effects to the diamond
darter in Kentucky, similar to the
approach that was recently completed
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in West Virginia. The development of
programmatic measures would reduce
regulatory uncertainty and the costs
associated with consultation for both
the Federal agencies and the 190
potentially affected small entities below
the level currently estimated in the
DEA.
The remaining 68 potentially affected
small entities would be associated with
resource extraction and other instream
work. This equates to an average of
fewer than four affected small entities
per year. The DEA further estimates
costs associated with each of these
activity types. The DEA Exhibit A–1
estimates incremental costs of between
$880 and $8,800 per entity; this cost is
an impact of less than 0.1 percent to
each entity’s annual revenue. While we
recognize that each of the four entities
affected per year may consider the cost
to be significant, the Service does not
consider the total number of entities and
the associated potential costs to be
substantial or significant, respectively,
under SBREFA. Based on our
interpretation of the directly regulated
entities under the RFA and the
evaluation of potential impacts to third
parties that may be affected by this
designation, the Service concludes that
the designation of diamond darter
critical habitat as proposed will not
have a significant economic impact on
a substantial number of small entities.
(12) Comment: The CBD suggested
that the Service should consider the
economic benefits of protecting habitat
for the diamond darter, including
ecosystem services, the protection of
clean water and the reduced cost of
water treatment for drinking supplies,
and the environmental justice benefits
of protecting human health from
mining. The CBD further stated that the
Elk River is one of the most biodiverse
rivers in West Virginia and the Service
should also consider the economic
benefits of preserving the State’s natural
heritage.
Our Response: Section 4.4 of the DEA
discusses the economic benefits of
critical habitat designation. Quantifying
and monetizing the conservation and
ancillary benefits associated with the
proposed critical habitat designation
requires information on the incremental
change in the probability of diamond
darter conservation that is expected to
result solely from the critical habitat
designation. As described in DEA
Chapters 3 and 4, given the baseline
protections provided to the species
(including the proposed listing of the
diamond darter), and the characteristics
of the specific projects anticipated to
occur over the 20-year timeframe of the
analysis, the designation of critical
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habitat is unlikely to result in future
project modifications. Based on the case
law and guidance from OMB reviewed
in Chapter 2, the DEA quantifies only
those economic effects (both benefits
and costs) that are specifically
attributable solely to the designation of
critical habitat. In addition, the CBD did
not provide information that would
assist the Service in quantifying such
benefits. As a result, economic or
environmental justice benefits are not
expected to occur as a result of the
critical habitat designation and are,
therefore, not quantified in the DEA.
Summary of Changes From the
Proposed Rule
This final rule incorporates
appropriate changes to our proposed
critical habitat based on the comments
we received, as discussed above, and
newly available scientific data.
Substantive changes include new or
additional information on: (1) The
potential space required to provide for
larval drift; (2) current conservation
efforts conducted by private
organizations in the Green River; and (3)
recent survey efforts on the distribution
of the diamond darter in the Elk River.
We also clarify (1) that we excluded
areas from designation as unoccupied
critical habitat if extant museum
specimens were not available that could
be independently verified as the
diamond darter; (2) the text of PCE 2
and associated discussions to indicate
that the diamond darter requires stream
substrates that are not embedded with
and are relatively free from silts and
clays, while being dependent on a
natural abundance of sand in the
substrate; and (3) the use of the terms
‘‘siltation’’ and ‘‘sedimentation.’’
Although the discussion of our PCEs is
somewhat different from that in our
proposed rule, the analysis and our
conclusions are a logical outgrowth of
the proposed rule commenting process,
and none of the information changed
our determination of critical habitat for
the diamond darter.
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
(a) Essential to the conservation of the
species, and
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(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
that are 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 resources 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
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) of the Act 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 the first prong of the Act’s
definition of critical habitat, 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 physical or
biological features (1) which are
essential to the conservation of the
species and (2) which may require
special management considerations or
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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, soil type) that are
essential to the conservation of the
species. The PCEs are those specific
elements of the physical or biological
features that provide for a species’ lifehistory processes and are essential to
the conservation of the species.
Under the second prong of the Act’s
definition of critical habitat, we can
designate critical habitat in 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. 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 and commercial 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
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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) section 9
of the Act’s prohibitions on taking any
individual of the species, including
taking caused by actions that affect
habitat. 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 this species.
Similarly, critical habitat designations
made on the basis of the best available
data 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 addition, we recognize that climate
change may cause changes in the
arrangement of occupied habitat and
stream reaches. The synergistic
interaction between climate change and
habitat fragmentation results in a greater
threat to biodiversity than climate
change alone (Hannah and Lovejoy
2003, p. 4). Current climate change
predictions for the central Appalachians
indicate that aquatic habitats will be
subject to increased temperatures and
drought stress, especially during the
summer and early fall. There will likely
be an increase in the variability of
stream flow, and the frequency of
extreme events, such as drought, severe
storms, and flooding is likely to increase
statewide (Buzby and Perry 2000, p.
1774; Byers and Norris 2011, p. 20).
Species with limited ranges and that
have either natural or anthropomorphic
barriers to movement, such as the dams
that fragment and isolate diamond
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darter habitat, have been found to be
especially vulnerable to the effects of
climate change (Byers and Norris 2011,
p. 18).
Precise estimates of the location and
magnitude of impacts from global
climate change and increasing
temperatures cannot be made from the
currently available information. Nor are
we currently aware of any climate
change information specific to the
habitat of the diamond darter that
would indicate what areas may become
important to the species in the future.
However, among the most powerful
strategies for the long-term conservation
of biodiversity is establishment of
networks of intact habitats and
conservation areas that represent a full
range of ecosystems and include
multiple, robust examples of each type.
The principles of resiliency and
redundancy are at the core of many
conservation planning efforts, and are
increasingly important as the stresses of
climate change erode existing habitats
(Byers and Norris 2011, p. 24).
Therefore, we have attempted to
incorporate these principles into our
determination of critical habitat by
delineating two units that are
representative of the range of habitats
currently and previously occupied by
the species.
Physical or Biological Features
In accordance with section 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 by the species at the time of
listing to designate as critical habitat,
we consider the physical or biological
features 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.
We derive the specific physical or
biological features essential for the
diamond darter from studies of this
species’ habitat, ecology, and life history
as described in the Critical Habitat
section of the proposed rule to list the
diamond darter as endangered and
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designate critical habitat published in
the Federal Register on July 26, 2012
(77 FR 43906), and in the information
presented below. Additional
information can be found in the final
listing rule published in the Federal
Register on July 26, 2013 (78 FR 45074).
Because diamond darters are rare, very
little information is available with
which to quantitatively define the
optimal conditions or range of suitable
conditions for a specific biological or
physical feature needed by the species.
When species-specific information is
limited, we rely on information from the
crystal darter and other similar darter
species. Because the crystal darter is in
the same genus, shares many similar
life-history traits, and was previously
considered the same species as the
diamond darter, information on this
species can reasonably be used to
suggest factors or conditions that may
also be important to the diamond darter.
All of the available information is
sufficient for us to qualitatively discuss
the PBFs needed to support the species.
Based on this review, we have
determined that the diamond darter
requires the following physical or
biological features:
Space for Individual and Population
Growth and for Normal Behavior
The diamond darter inhabits
moderate to large, warmwater streams
with clean sand and gravel substrates
(Simon and Wallus 2006, p. 52).
Moderate- to large-sized warmwater
streams are defined as fourth- to eighthorder streams with a drainage area
exceeding 518 square kilometers (km2)
(200 square miles (mi2)), and water
temperatures exceeding 20 °C (68 °F) at
some point during the year (Winger
1981, p. 40; Oliverio and Anderson
2008, p. 12). In the Elk River, adult
diamond darters have been collected in
transition areas between riffles and
pools where substrates were greater than
40 percent sand and gravel (Welsh et al.
2004, p. 6; Osier 2005, p. 11; Welsh and
Wood 2008, pp. 62–68). These habitat
characteristics are similar to those
described for the crystal darter (Welsh et
al. 2008, p. 1).
Many studies have found that the
crystal darter does not occur in areas
with large amounts of silt, clay, detritus,
or submerged vegetation (George et al.
1996, p. 71; Shepard et al. 1999 in Osier
2005, p. 11; NatureServe 2008, p. 1).
Substrates with high levels of silt are
unsuitable for the diamond darter.
Siltation has been shown to negatively
impact fish growth, survival, and
reproduction (Berkman and Rabeni
1987, p. 285). Siltation is the pollution
of water by fine particulate terrestrial
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material, with a particle size dominated
by silt or clay. It refers both to the
increased concentration of suspended
sediments and to the increased
accumulation (temporary or permanent)
of fine sediments on stream bottoms.
Both the diamond darter and the crystal
darter are noted to be particularly
susceptible to the effects of siltation and
may have been extirpated from
historical habitats due to excessive
siltation (Grandmaison et al. 2003, pp.
17–18).
Siltation can result from increased
sedimentation and erosion along
streambanks and roads and deposition
caused by land-based disturbances
(Rosgen 1996, pp. 1–3). Additionally,
coal mining, oil and gas development,
timber harvesting, and all-terrain
vehicle use have been identified as
land-based disturbances that are sources
of increased erosion and siltation within
the Elk River watershed (U.S.
Environmental Protection Agency
2001b, pp. 1–1, 3–4, 6; WVDEP 2008b,
p. 1). Streambank erosion and the
resulting sedimentation and siltation
can also be a source of increased
channel instability (Rosgen 1996, pp. 1–
3). Geomorphically stable streams
transport sediment while maintaining
their horizontal and vertical dimensions
(width/depth ratio and cross-sectional
area), pattern (sinuosity), longitudinal
profile (riffles, runs, and pools), and
substrate composition, whereas unstable
streams cannot maintain these features
(Rosgen 1996, pp. 1–3 to 1–6). Thus,
geomorphically stable streams maintain
the riffles, pools, and silt-free substrates
necessary to provide typical habitats for
the diamond darter. Based on this
information, geomorphically stable
streams with clean sand and gravel
substrates and low levels of silt are a
critical component of diamond darter
habitat.
Fragmentation and destruction of
habitat has reduced the range of the
diamond darter to only one stream and
has isolated the last remaining
population, reducing the currently
available space for rearing and
reproduction. Small, isolated
populations may have reduced adaptive
capability and an increased likelihood
´
of extinction (Gilpin and Soule 1986,
pp. 32–34; Noss and Cooperrider 1994,
p. 61). Continuity of water flow and
connectivity between remaining suitable
habitats is essential in preventing
further fragmentation of the species’
habitat and population. Free movement
of water within the stream allows
darters to move between available
habitats. This is necessary to provide
sufficient space for the population to
grow and to promote genetic flow
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throughout the population. Continuity
of habitat helps to maintain space for
spawning, foraging, and resting sites,
and also permits improvement in water
quality and water quantity by allowing
unobstructed water flow throughout the
connected habitats. Thus, free
movement of water that provides
connectivity between habitats is
necessary to support diamond darter
populations.
Little information is available on the
amount of space needed by either the
diamond darter or the crystal darter for
population growth and normal behavior.
Many individuals of other darter species
that use similar habitat types have been
found to remain in one habitat area
during short-term mark-and-recapture
studies. However, upstream and
downstream movements of other darters
between riffles and between riffles and
pools have been documented. Withinyear movements typically ranged from
36 to 420 meters (m) (118.1 to 1,378.0
feet (ft)), and movements of up to 4.8 km
(3.0 mi) have been documented (May
1969, pp. 86–87, 91; Freeman 1995, p.
363; Roberts and Angermeier 2007, pp.
422, 424–427).
In addition, a number of researchers
have suggested that Crystallaria move
upstream to reproduce, and that freefloating young-of-the-year disperse
considerable distances downstream
during spring high water where they
eventually find suitable habitat to grow
and mature (Stewart et al. 2005, p. 472;
Hrabik 2012, p. 1). This suggests that
Crystallaria may make long-distance
movements in large rivers. This type of
migratory behavior has been
documented in bluebreast darters
(Etheostoma camurum) (Trautman 1981,
pp. 673–675). This species inhabits
moderate to large-sized streams with
low turbidity and is typically found in
riffles, similar to the diamond darter.
Trautman (1981, pp. 673–675) found
that bluebreast darters were welldistributed throughout a 51–km (32–mi)
reach of river during the breeding
season, but that there was a reduction in
numbers in the upper half of this reach
starting in September and continuing
through late winter to early spring.
There was a corresponding increase in
numbers in the lower half of the reach
during this time. Individual darters
captured in the spring were documented
to have moved 152 m (500 ft) in a single
day. In September and October,
Trautman captured bluebreast darters in
deep, low-velocity pools, which are not
typical habitats for the species. He
concluded that bluebreast and other
darter species migrated upstream in
spring and downstream in the fall
(Trautman 1981, pp. 673–675).
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After hatching, diamond darter larvae
are pelagic and drift within the water
column (Osier 2005, p. 12; Simon and
Wallus 2006, p. 56; NatureServe 2008,
p. 1). The larva may drift downstream
until they reach slower water conditions
such as pools, backwaters, or eddies
(Lindquist and Page 1984, p. 27). It is
not known how long diamond darters or
crystal darters remain in this pelagic
phase. The only known record of a
young diamond darter captured in the
wild was from benthic trawl surveys
conducted in the Elk River somewhere
near the confluence with the Kanawha
River. We have been unable to
determine the exact location of this
capture, so we cannot determine how
far downstream from known adult
darter capture locations this young was
found (Cincotta 2009a, p. 1). For more
information on diamond darter larva
drift, please see the Summary of
Biological Status and Threats section of
the final listing rule (78 FR 45074, July
26, 2013).
Based on this information, free
movement between habitat types within
a significant length of stream may be
important to provide sufficient space to
support genetic mixing and normal
behavior of the diamond darter,
including potential upstream
movements during the breeding period
and downstream larval drift.
Based on the biological information
and needs discussed above, we identify
connected riffle-pool complexes in
moderate- to large-sized (fourth- to
eighth-order), warmwater streams that
are geomorphically stable with
moderate current, clean sand and gravel
substrates, and low levels of siltation to
be physical or biological features
essential to the conservation of the
diamond darter.
Food, Water, Air, Light, Minerals, or
Other Nutritional or Physiological
Requirements
Feeding habits of the diamond darter
in the wild are not known. However,
diamond darters kept in captivity were
fed and survived on live blackworms,
daphnia, and dragonfly larvae, frozen
bloodworms, and adult brine shrimp
(Ruble et al. 2010, p. 4). When in
captivity, diamond darters were also
observed resting on the bottom of the
tank and taking food from slightly above
their position, in front of them, or off
the bottom (Welsh 2009c, p. 1).
Diamond darters may also use an
ambush foraging tactic by burying in the
substrate and darting out at prey
(Robinson 1992 and Hatch 1997 in Osier
2005, pp. 12–13; NatureServe 2008, p. 1;
Ruble 2011c, p. 1). Researchers,
therefore, expect that, similar to the
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crystal darter, adult diamond darters are
benthic invertivores (NatureServe 2008,
p. 8). Adult crystal darters eat midge
and caddisfly larvae, and water mites in
lesser quantities (Osier 2005, p. 13).
Similarly, juvenile and young crystal
darters feed on immature stages of
aquatic insects such as mayflies,
craneflies, blackflies, caddisflies, and
midges (Simon and Wallus 2006, pp.
56–57). Juvenile diamond darters
hatched in captivity had teeth and a
large gape width, which suggests that
the larvae may feed on other smaller
fish larvae (Ruble et al. 2010, p. 15).
Researchers were unable to confirm this
hypothesis due to poor survivorship of
the diamond darter larvae and lack of
available smaller fish larvae to provide
as a potential food source (Ruble et al.
2010, pp. 12–14). Juveniles may also eat
zooplankton prey, which is more typical
for pelagic larval percids (Rakes 2011, p.
1). This information suggests that loose
sand and gravel substrates suitable for
ambush feeding behavior and healthy
populations of benthic invertebrates and
fish larvae for prey items are required to
support the feeding requirements of the
diamond darter.
Like most other darters, the diamond
darter depends on clean water and
perennial stream flows to successfully
complete its life cycle (Page 1983, pp.
160–170). Sufficient water quality and
quantity is required to support normal
reproduction, growth, and survival.
Because so few diamond darters have
been captured, available data are
insufficient to quantitatively define the
standards for water quantity or quality
that are required to support the species.
However, some data available from
areas that are known to support the
diamond darter or the closely related
crystal darter provide examples of
suitable conditions.
Water quantity, including depth and
current velocity, are known to be
important habitat characteristics that
determine whether an area is suitable to
support a specific species of fish (Osier
2005, p. 3). Sites where Crystallaria
have been captured are consistently
described as having moderate to strong
velocities (Grandmaison et al. 2003, p.
4; Osier 2005, p. 15). Moderate to strong
velocities contribute to the clean-swept
substrates and lack of silt commonly
reported in documented crystal darter
habitat (Osier 2005, p. 11). In the Elk
River, the diamond darter has been
collected from transition areas between
riffles and pools at depths from 50 to
150 centimeters (cm) (20 to 59 inches
(in)) and in moderate to strong velocities
that are typically greater than 20 cm/
second (sec) (8 in/sec) (Osier 2005, p.
31). Similarly, the crystal darter has
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been described as generally inhabiting
waters deeper than 60 cm (24 in) with
strong currents typically greater than 32
cm/sec (13 in/sec) (Grandmaison et al.
2003, p. 4). Crystal darters were
collected in Arkansas in water from 114
to 148 cm (45 to 58 in) deep with
current velocities between 46 and 90
cm/sec (18 and 35 in/sec) (George et al.
1996 in Grandmaison et al. 2003, p. 4).
Many of the measurements were taken
at base or low flows when it is easiest
to conduct fish surveys. Current
velocity, water depth, and stream
discharge are interrelated and variable,
dependent on seasonal and daily
patterns of rainfall (Bain and Stevenson
1999, p. 77; Grandmaison et al. 2003, p.
4). Therefore, velocities and depths at
suitable habitat sites may change over
time, or diamond darters may also move
to other locations within a stream as
seasonal and daily velocity and depth
conditions change.
Water quality is also important to the
persistence of the diamond darter.
Specific water quality requirements
(such as temperature, dissolved oxygen,
pH, and conductivity) for the species
have not been determined, but existing
data provide some examples of
conditions where Crystallaria were
present. It is not known whether
existing water quality conditions at
capture sites are adequate to protect all
life stages of Crystallaria species.
Diamond darters were successfully
maintained in captivity when water
temperatures did not go below 2 °C
(35.6 °F) in the winter or above 25 °C
(77 °F) in the summer (Ruble et al. 2010,
p. 4). In Arkansas, crystal darter capture
areas had dissolved oxygen levels that
ranged from 6.81 to 11.0 parts per
million; pH levels from 5.7 to 6.6;
specific conductivities from 175 to 250
mS/cm, and water temperatures from
14.5 to 26.8 °C (58 to 80 °F) (George et
al. 1996, p. 71). In general, optimal
water quality conditions for warmwater
fishes are characterized as having
moderate stream temperatures, high
dissolved oxygen concentrations, and
near-neutral pH levels. They are also
characterized as lacking harmful levels
of conductivity or pollutants including
inorganic contaminants like iron,
manganese, selenium, and cadmium;
and organic contaminants such as
human and animal waste products,
pesticides and herbicides, fertilizers,
and petroleum distillates (Winger 1981,
pp. 36–38; Alabama Department of
Environmental Management 1996, pp.
13–15; Maum and Moulton undated, pp.
1–2). Good water quality that is not
degraded by inorganic or organic
pollutants, low dissolved oxygen, or
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excessive conductivity is an important
habitat component for the diamond
darter.
Impoundment was one of the most
direct and dramatic historical causes of
diamond darter habitat loss.
Impoundment of rivers for navigation
may have been the final factor resulting
in extirpation of the diamond darter
from many of its historical habitats.
Impoundment alters the quantity and
flow of water in rivers, reduces or
eliminates riffle habitats, reduces
current velocities, and increases the
amount of fine particles in the substrate
(Rinne et al. 2005, pp. 3–5, 432–433).
Diamond darters have been extirpated
from many areas as a result of these
effects (Grandmaison et al. 2003, p. 18;
Trautman 1981, p. 25). Excessive water
withdrawals can also reduce current
velocities, reduce water depth, increase
temperatures, concentrate pollution
levels, and result in deposition of fine
particles in the substrate, making the
areas less suitable to support the
diamond darter (Pennsylvania State
University 2010, p. 9; Freeman and
Marcinek 2006, p. 445). An ample and
unimpeded supply of flowing water that
closely resembles natural peaks and
lows typically maintains riffle habitats,
transports nutrients and food items,
moderates water temperatures and
dissolved oxygen levels, removes fine
sediments that could damage spawning
or foraging habitats, and dilutes nonpoint-source pollutants. Therefore, an
unimpeded flowing water supply is
essential to the diamond darter.
Based on the biological information
and needs discussed above, we identify
perennial streams with moderate
velocities, seasonally moderated
temperatures, good water quality, loose
sand and gravel substrates, and healthy
populations of benthic invertebrates and
fish larvae for prey items to be physical
or biological features essential to the
conservation for the diamond darter. We
also identify an ample and unimpeded
supply of flowing water that closely
resembles natural peaks and lows to be
essential to the conservation for the
diamond darter.
Cover or Shelter
Adult diamond darters and crystal
darters typically have been captured in
riffle-pool transition areas with
predominately (greater than 20 percent
each) sand and gravel substrates (Osier
2005, pp. 51–52). Diamond darters will
bury in these types of substrates for
cover and shelter. Individuals observed
in captivity were frequently seen either
completely buried in the substrate
during the day or partially buried with
only the head (eyes and top of the
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snout) out of the substrate. However,
individuals were often on top of the
substrate at night time (Welsh 2009c, p.
1). Burying occurred by the individual
rising slightly up above the substrate
and then plunging headfirst into the
sand and using its tail motion to burrow
(Welsh 2009c, p. 1). This type of
burying behavior has also been reported
in the crystal darter (Osier 2005, p. 11;
NatureServe 2008, p. 1).
Substrates that are heavily embedded
with silts and clays may impede this
behavior. Embeddedness is the degree
that cobble or gravel substrates are
impacted by being surrounded or
covered by fine silt and clay materials
(Shipman 2000, p. 12). Embedded
substrates are not easily dislodged, and
would therefore be difficult for the
diamond darter to burrow into for cover.
Heavily embedded substrates can be the
result of human activities increasing the
amount of sedimentation and siltation
occurring in the stream (Shipman 2000,
p. 12). While some definitions of
embeddedness include sands as ‘‘fines’’
that increase embeddedness, naturally
sandy streams are not considered
embedded. However, a sandpredominated stream that is the result of
anthropogenic activities that have
buried the natural course substrates is
considered embedded (Barbour et al.
1999, pp. 5–13; Shipman 2000, p. 12).
The diamond darter requires substrates
unembedded with silts and clays with a
naturally high percentage of sands
intermixed with loose gravel to fulfill
these life-history requirements.
Variability in the substrate and
available habitat is also an important
sheltering requirement for the diamond
darter. Darters may shift to different
habitat types during different life
phases, or due to changing
environmental conditions such as high
water or warm temperatures (Osier
2005, p. 7). Deeper or sheltered habitats
may provide refuge during warm
weather, and it has been suggested that
Crystallaria species may use deeper
pools during the day (Osier 2005, p. 10).
Substrate variety, such as the presence
of boulders or woody materials, may
provide velocity shelters for young
darters during high flows (Osier 2005, p.
4). Larval and young diamond darters
may also use pools (Rakes 2013, p. 1).
Darter larva may be poorly developed
skeletally and unable to hold position or
swim upstream where stronger currents
exist (Lindquist and Page 1984, p. 27).
The slower velocity habitats found in
pools may provide darter larva with
refuge from strong currents and allow
them to find cover and forage (Lindquist
and Page 1984, p. 27).
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Based on the biological information
and needs discussed above, we identify
riffle-pool transition areas with
relatively silt-free sand and gravel
substrates, as well as access to a variety
of other substrate and habitat types,
including pool habitats, to be physical
or biological features essential to the
conservation for the diamond darter.
Sites for Breeding, Reproduction, or
Rearing (or Development) of Offspring
Very little information is available on
reproductive biology and early life
history of the diamond darter (Welsh et
al. 2008, p. 1; Ruble and Welsh 2010, p.
1), and to date, only one young-of-theyear of this species has been found in
the wild. We have not been able to
obtain specific information on this
collection, which probably occurred in
2007 in the Elk River near the
confluence with the Kanawha River,
West Virginia (Cincotta 2009a, p. 1).
However, research on reproductive
biology of the species is being
conducted by Conservation Fisheries
Inc. (CFI) in partnership with the U.S.
Geological Service (USGS) West
Virginia Cooperative Fish and Wildlife
Research Unit at West Virginia
University. Five individual diamond
darters, consisting of at least three
females, one male, and one of
undetermined sex, have been held in
captivity at the CFI facility and were
maintained in simulated stream
conditions. Water temperature and
daylight were also adjusted throughout
the seasons to simulate natural
fluctuations that would be experienced
in the wild (Ruble and Welsh 2010, p.
2).
Spawning began when water
temperatures were consistently above 15
°C and ceased when temperatures
reached 22 °C (Ruble 2011b, p. 2).
Females showed signs of being gravid
from late March to May (Ruble et al.
2010, pp. 11–12). Both eggs and hatched
larvae were observed in April (Ruble et
al. 2010, pp. 11–12; Ruble 2011, p. 1).
Peak breeding time is likely mid-April
when water temperatures range from 15
to 20 °C (59 to 68 °F) (Ruble et al. 2010,
p. 12). Although incubation time is
difficult to determine because most eggs
that survived already showed
considerable development, it is
estimated that, at 15 °C (59 °F), hatch
time is 7 to 9 days (Ruble et al. 2010,
p. 11). Although eggs were produced
every year, no young have survived and
matured (Ruble et al. 2010, pp. 11–12;
Ruble 2011b, p. 1).
Because no young have been
successfully maintained in captivity and
no studies of wild populations are
available, we are not able to quantify the
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range of water quality conditions
needed for successful reproduction.
Factors that can impair egg viability
include high temperatures, low oxygen
levels, siltation, and other water quality
conditions (Ruble 2011b, p. 2).
Inadequate water flow through the
substrate or low oxygen levels within
the substrate can lead to poor egg
development or poor larval condition
(Ruble 2011b, p. 2).
In addition to information from the
CFI diamond darter reproduction study,
there is some information available on
crystal darter reproduction (Welsh et al.
2008, p. 1). In Arkansas, the
reproductive season was from late
January through mid-April, which
roughly correlates with early April in
the Ohio River Basin (George et al. 1996,
p. 75; Simon and Wallus 2006, p. 52).
Evidence suggests that females are
capable of multiple spawning events
and producing multiple clutches of eggs
in one season (George et al. 1996, p. 75).
Spawning occurs in the spring when the
crystal darters lay their eggs in side
channel riffle habitats over sand and
gravel substrates in moderate current.
Adult darters do not guard their eggs
(Simon and Wallus 2006, p. 56).
Embryos develop in the clean interstitial
spaces of the coarse substrate (Simon
and Wallus 2006, p. 56). After hatching,
the larvae are pelagic and drift within
the water column (Osier 2005, p. 12;
Simon and Wallus 2006, p. 56;
NatureServe 2008, p. 1).
Based on the biological information
and needs discussed above, we identify
streams with naturally fluctuating and
seasonally moderated water
temperatures, high dissolved oxygen
levels, and clean, relatively silt-free
sand and gravel substrates to be
physical or biological features essential
to the conservation for the diamond
darter.
Habitats That Are Protected From
Disturbance or Are Representative of the
Historical, Geographical, and Ecological
Distributions of a Species
As described above, clean, stable
substrates, good water quality, and
healthy benthic invertebrate
populations are habitat features
essential to the diamond darter. Direct
disturbance, alteration, or fill of
instream habitat can degrade these
essential features; kill or injure adult
fish, young, or eggs; destabilize the
substrates leading to increased
sedimentation and erosion; and reduce
the amount of available food and habitat
to support fish populations. These
impacts make the area less suitable for
fish such as the diamond darter (Reid
and Anderson 1999, pp. 235–245;
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Levesque and Dube 2007, pp. 396–402;
Welsh 2009d, p. 1; Penkal and Phillips
2011, pp. 6–7). Direct disturbance and
instream construction can also increase
substrate compaction and silt deposition
within the direct impact area and
downstream. This reduces water flow
through the substrate, and increases
substrate embeddedness (Reid and
Anderson 1999, p. 243; Levesque and
Dube 2007, pp. 396–397; Penkal and
Phillips 2011, pp. 6–7). This can impede
the normal burrowing behavior of the
diamond darter, which is required for
successful foraging and shelter, degrade
spawning habitat, result in the
production of fewer and smaller eggs,
and impair egg and larvae development
(Reid and Anderson 1999, pp. 244–245;
Levesque and Dube 2007, pp. 401–402).
Intact riparian vegetation is also an
important component of aquatic habitats
that support the diamond darter. Darters
are particularly susceptible to impacts
associated with disturbance to riparian
vegetation such as alteration of instream
habitat characteristics and increased
sedimentation and siltation (Jones et al.
1999, pp. 1461–1462; Pusey and
Arthington 2003, p. 1). Removal of
riparian vegetation can lead to decreases
in fish species, such as the diamond
darter, that do not guard eggs or that are
dependent on swift, shallow water that
flows over relatively sediment-free
substrates (Jones et al. 1999, p. 1462).
Thus, avoiding disturbances to
streambeds and banks is important to
maintaining stable substrates, food
availability, successful reproduction,
and habitat suitability for the diamond
darter.
All current and historical capture
locations of the diamond darter are from
moderate- to large-sized (fourth- to
eighth-order), warmwater streams
within the Ohio River Watershed
(Welsh 2008, p. 3; Southeast Aquatics
Resources Partnership 2011, pp. 1–19).
The species was historically distributed
in at least four major drainages
throughout the watershed and is now
likely extirpated from Ohio, Kentucky,
and Tennessee. The current range is
restricted to a small segment of one river
within West Virginia. Therefore, the
current range of the species is not
representative of the historical or
geographical distribution of the species
and is not sufficient for the conservation
of the diamond darter. Given that the
current distribution is restricted to
approximately 45 km (28 mi) within one
river, the species is vulnerable to the
threats of reduced fitness through
genetic inbreeding, and extinction from
a combination of cumulative effects or
a single catastrophic event such as a
toxic chemical spill (Gilpin and Soule
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1986, pp. 23–33; Noss and Cooperrider
1994, p. 61). In addition, because the
current range is isolated from other
suitable habitats due to the presence of
dams and impoundments, the species
has limited ability to naturally expand
its current range and recolonize
previously occupied habitats (Warren et
al. 2000 in Grandmaison et al. 2003, p.
18). A species’ distribution that includes
populations in more than one moderate
to large river within the Ohio River
watershed would provide some
protection against these threats and
would be more representative of the
historical geographic distribution of the
species.
Based on the biological information
and needs discussed above, we identify
stable, undisturbed streambeds and
banks, and ability for populations to be
distributed in multiple moderate- to
large-sized (fourth- to eighth-order)
streams throughout the Ohio River
watershed to be physical or biological
features essential to the conservation for
the diamond darter.
Primary Constituent Elements for the
Diamond Darter
Under the Act and its implementing
regulations, we are required to identify
the physical or biological features
(PBFs) essential to the conservation of
the diamond darter in areas occupied at
the time of listing, focusing on the
features’ primary constituent elements
(PCEs). The PCEs are those specific
elements of the PBFs that provide for a
species’ life-history processes and are
essential to the conservation of the
species.
Based on our current knowledge of
the PBFs and habitat characteristics
required to sustain the species’ lifehistory processes, we determine that the
PCEs specific to the diamond darter are:
(1) PCE 1—A series of connected
riffle-pool complexes with moderate
velocities in moderate- to large-sized
(fourth- to eighth-order), geomorphically
stable streams within the Ohio River
watershed.
(2) PCE 2—Stable, undisturbed sand
and gravel stream substrates, that are
relatively free of and not embedded
with silts and clays.
(3) PCE 3—An instream flow regime
(magnitude, frequency, duration, and
seasonality of discharge over time) that
is relatively unimpeded by
impoundment or diversions such that
there is minimal departure from a
natural hydrograph.
(4) PCE 4—Adequate water quality
characterized by seasonally moderated
temperatures, high dissolved oxygen
levels, and moderate pH, and low levels
of pollutants and siltation. Adequate
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water quality is defined as the quality
necessary for normal behavior, growth,
and viability of all life stages of the
diamond darter.
(5) PCE 5—A prey base of other fish
larvae and benthic invertebrates
including midge, caddisfly, and mayfly
larvae.
Special Management Considerations or
Protections
When designating critical habitat, we
assess whether the specific areas within
the geographical area occupied by the
species at the time of listing contain
features which are essential to the
conservation of the species, and which
may require special management
considerations or protection. The area
we are designating as currently
occupied critical habitat for the
diamond darter is not under special
management or protection provided by
a legally operative management plan or
agreement specific to conservation of
the diamond darter, and has not been
designated as critical habitat for other
species under the Act. This unit will
require some level of management to
address the current and future threats to
the PBFs of the diamond darter. Various
activities in or adjacent to the critical
habitat unit described in this rule may
affect one or more of the PCEs and may
require special management
considerations or protection. Some of
these activities include, but are not
limited to, resource extraction (coal
mining, timber harvests, and natural gas
and oil development activities),
construction and maintenance projects,
stream bottom disturbance from sewer,
gas, and water lines, removal of riparian
vegetation, and other sources of nonpoint-source pollution.
Management activities that could
ameliorate these threats include, but are
not limited to: use of best management
practices designed to reduce
sedimentation, erosion, and streambank
destruction; development of alternatives
that avoid and minimize streambed
disturbances; implementation of
regulations that control the amount and
quality of point-source discharges; and
reduction of other watershed and
floodplain disturbances that release
sediments or other pollutants. Special
management consideration or protection
may be required to eliminate, or to
reduce to negligible levels, the threats
affecting the physical or biological
features of each unit. Additional
discussion of threats facing individual
units is provided in the individual unit
descriptions below.
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Criteria Used To Identify Critical
Habitat
As required by section 4(b)(2)(A) of
the Act, we use the best scientific data
available to designate critical habitat.
We reviewed the available information
pertaining to the habitat requirements of
the species. In accordance with the Act
and its implementing regulation at 50
CFR 424.12(e), we considered 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. As discussed in more
detail below, we are designating as
critical habitat all habitat that is
occupied by the species at the time of
listing in 2013; that is, the lower Elk
River. This river reach constitutes the
entire current range of the species. We
are also designating one specific area
outside the geographical area occupied
by the species at the time of listing, but
that was historically occupied, because
we have determined this area is
essential for the conservation of the
species.
For our evaluation of critical habitat,
we reviewed available literature,
reports, and field notes prepared by
biologists, as well as historical and
current survey results. We also spoke to
fisheries experts and conservation
professionals that are familiar with
darters or the current status of aquatic
systems within the current and
historical range of the diamond darter.
To identify currently occupied
habitats, we delineated known capture
sites and reviewed habitat assessments
and mapping efforts that have been
conducted on the Elk River. Known
occurrences of the diamond darter are
extremely localized, and the species can
be difficult to locate. Because it is
reasonably likely that this rare and
cryptic species is present in suitable
habitats outside the immediate locations
of the known captures, we considered
the entire reach between the uppermost
and lowermost known collection
locations as occupied habitat. We also
included some areas of the mainstem
Elk River that have not been specifically
surveyed for diamond darters but have
been determined to have suitable habitat
for the species based on species-specific
habitat assessments (Osier 2005, pp. ii–
50). These areas are contiguous with
known capture sites, have similar
habitat characteristics, have no barriers
to dispersal, and are within general
darter dispersal capabilities including
upstream spawning movements and
downstream larval drift. In addition,
river habitats are highly dependent on
upstream and downstream habitat
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conditions for their maintenance, so
these contiguous areas upstream and
downstream are critical to maintaining
habitat conditions of known capture
sites.
Because we have not been able to
obtain a precise location of the young
diamond darter that was captured in the
Elk River somewhere near the
confluence with the Kanawha River,
this capture was not included in the
analysis. We cannot be sure whether the
capture location of this young diamond
darter is downstream of or within the
critical habitat designation for this unit.
Areas of the Elk River downstream of
the unit near the confluence with the
Kanawha River that do not currently
provide the PCEs required to support
the species, and no longer have suitable
habitat characteristics, were not
included. Specifically, the reach of the
Elk River downstream of the unit to the
confluence with the Kanawha River is
affected by impoundment from the
Winfield Lock and Dam on the Kanawha
River. It is also routinely dredged for
commercial navigation by the ACOE.
The portion of the Elk River upstream
of the designated unit may provide
suitable habitat for the diamond darter,
but we have no records of diamond
darters being captured in this reach. The
upper Elk River reach does contain the
favorable general habitat characteristics
of riffle-pool complexes with sand and
gravel substrates, and there are no
barriers to upstream fish movement
(Service 2008, entire). However, only
limited survey efforts and no diamond
darter species-specific habitat
assessments have been conducted that
would allow us to further refine our
assessment of whether this area contains
any of the PCEs necessary to support the
species. Surveys at four shoals in this
upstream reach were conducted in 2012,
and no diamond darters were located
(Welsh et al. 2012, p. 10). Additional
survey efforts may further define
whether the upstream area is occupied
by the diamond darter or which, if any,
PCEs are present that may require
special management considerations. As
a result, we are not proposing to
designate additional critical habitat
upstream of King Shoals.
We have not included Elk River
tributaries as part of the designation
because we have no records of the
diamond darter occurring in those
locations, and there have been no
species-specific habitat assessments in
the tributaries documenting that these
areas are suitable to support the species.
We then considered whether
occupied habitat was adequate for the
conservation of the species. As just
described, currently occupied habitats
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of the diamond darter are highly
localized and isolated, and are restricted
to one reach of the Elk River. The range
has been severely curtailed, and
population size is small. Small isolated
aquatic populations are subject to
chance catastrophic events and to
changes in human activities and land
use practices that may result in their
elimination. Threats to the diamond
darter are imminent and are present
throughout the entire range of the
species. As described in the final listing
rule (78 FR 45074, July 26, 2013), these
threats are compounded by its limited
distribution and isolation, making the
species extremely vulnerable to
extinction; therefore, it is unlikely that
currently occupied habitat is adequate
for its conservation (Soule 1980, pp.
157–158; Noss and Cooperrider 1994, p.
61; Hunter 2002, pp. 97–101; Allendorf
and Luikart 2007, pp. 117–146). Larger,
more dispersed populations can reduce
the threat of extinction due to habitat
fragmentation and isolation (Harris
1984, pp. 93–104; Noss and Cooperrider
1994, pp. 264–297; Warren et al. 2000
in Grandmaison et al. 2003, p. 18). For
these reasons, we find that conservation
of the diamond darter requires
expanding its range into suitable,
currently unoccupied portions of its
historical habitat. The inclusion of
essential, unoccupied areas will provide
habitat for population reintroduction
and will improve the species’ status
through added redundancy, resiliency,
and representation.
To identify areas of unoccupied
habitat that should be designated as
critical habitat, we first selected rivers
that had historical records confirmed to
be of the diamond darter. By examining
available museum specimens, we were
able to independently verify the
accuracy of the historical record. For
rivers that had more than one historical
capture, approximate capture locations
were mapped so that the minimum
previously occupied extent could be
established. We then identified areas of
contiguous habitat that still contained
characteristics sufficient to support the
life history of the species. Areas that no
longer provided suitable habitat, were
impounded, or did not contain a series
of connected riffle-pool complexes were
eliminated from consideration. For river
reaches that passed this initial screen,
we then applied the following criteria to
identify the unoccupied, potential
critical habitat: (1) The reach supports
fish species with habitat preferences
similar to the diamond darter such as
the shoal chub (Macrhybopsis
hyostoma) and the streamline chub; (2)
the reach supports diverse populations
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of fish and mussels including other
sensitive, rare, or threatened and
endangered species; and (3) the reach
has special management or protections
in place such as being a designated wild
river or exceptional use waters under
State law. Only one reach that we
identified, in the Green River of
Kentucky, met all three criteria.
Applying these criteria, we confirmed
that the identified area had high-quality
habitats sufficient to support the species
and could be managed for the
conservation of the species. No other
areas were identified that met all three
criteria.
Next, we delineated the upstream and
downstream boundaries of the unit on
the Green River: The Green River
immediately downstream of Green River
Lake (River Mile 308.8 to 294.8) is
excluded from the designated critical
habitat unit due to artificially variable
flow, temperature, and dissolved oxygen
conditions resulting from periodic
discharges from Green River Dam. Fish
community data collected between
Greensburg and Green River Dam
indicate a general trend of increasing
species richness and abundance from
Tebb’s Bend (approximately 2.7 km (1.7
mi) below the dam) downstream to
Roachville Ford (approximately 22.7 km
(14.1 mi) below the dam). Also, some
relatively intolerant benthic fish species
present at Roachville Ford and other
sites downstream within The Nature
Conservancy’s designated Green River
Bioreserve are absent at Tebb’s Bend,
including mountain madtom (Noturus
eleutherus), spotted darter (Etheostoma
maculatum), and Tippecanoe darter
(Etheostoma tippecanoe) (Thomas et al.
2004, p. 10). In contrast with Roachville
Ford and other downstream sites, cobble
and gravel substrates at Tebb’s Bend are
coated with a black substance
characteristic of manganese and iron,
which precipitates out and is deposited
on the streambed following
hypolimnetic discharge from reservoirs
(Thomas 2012, p. 1). Because fish
community structure and habitat
conditions at Roachville Ford are more
similar to other downstream locations
that are not affected by impoundment,
this location (River Mile 294.8)
represents the upstream limit of the
designated critical habitat section,
which continues downstream to Cave
Island (River Mile 200.3) within
Mammoth Cave National Park (NP).
Downstream of Cave Island, the Green
River becomes affected by
impoundment from the ACOE Lock and
Dam #6. The lock and dam was
constructed in 1906 and was disabled in
1950. Although the lock has been
disabled and is becoming unstable, the
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dam still partially impedes water flow,
resulting in a system with slower,
warmer water and a loss of riffle and
shoal habitat types (Grubbs and Taylor
2004, p. 26; Olson 2006, pp. 295–297).
The delineation between the portions of
the river affected by Lock and Dam #6
and those that retain free-flowing
characteristics occurs distinctly at Cave
Island (Grubbs and Taylor 2004, pp. 19–
26). There is a marked decrease in
benthic macroinvertebrates that are
intolerant of siltation below this point,
which is attributable to slower current
velocities and a lack of shallow riffles
and associated course sediments
(Grubbs and Taylor 2004, p. 26). For
these reasons, Cave Island was selected
as the downstream limit of the critical
habitat designation in this unit.
Once we determined the areas of the
Elk and Green Rivers that met our
criteria, we used ArcGIS software and
the National Hydrography Dataset
(NHD) to delineate the specific river
reaches being designated. These areas
include only Elk River and Green River
mainstem stream channels within the
ordinary high-water line. We set the
upstream and downstream limits of
each critical habitat unit by identifying
landmarks (islands, confluences,
roadways, crossings, dams) that clearly
delineated each river reach. Stream
confluences are often used to delineate
the boundaries of a unit for an aquatic
species because the confluence of a
tributary typically marks a significant
change in the size or habitat
characteristics of the stream. Stream
confluences are logical and recognizable
termini. When a named tributary was
not available, or if another landmark
provided a more recognizable boundary,
another landmark was used. In the unit
descriptions, distances between the
upstream or downstream extent of a
stream segment are given in kilometers
rounded to one decimal point and
equivalent miles. Distances for the Elk
River were measured by tracing the
course of the stream as depicted by the
NHD. Distances for the Green River
were measured using river miles as
designated by the Kentucky Division of
Water, which were generated using the
NHD.
When determining critical habitat
boundaries within this final rule, we
made every effort to avoid including
developed areas such as lands covered
by buildings, pavement, and other
structures because such lands lack
physical or biological features essential
for the conservation of the diamond
darter. 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 final rule have been
excluded by text in the rule and are not
designated as critical habitat. Therefore,
a Federal action involving these lands
will not trigger section 7 consultation
with respect to critical habitat and the
requirement of no adverse modification
unless the specific action would affect
the physical or biological features in the
adjacent critical habitat. The
designation of critical habitat does not
imply that streams outside of critical
habitat do not play an important role in
the conservation of the diamond darter.
The critical habitat designation is
defined by the map or maps, as
modified by any accompanying
regulatory text, presented at the end of
this document in the rule portion. We
include more detailed information on
the boundaries of the critical habitat
designation in the preamble of this
document. We will make the
coordinates or plot points or both on
which each map is based available to
the public on https://
www.regulations.gov at Docket No.
FWS–R5–ES–2013–0019, on our Web
site at https://www.fws.gov/
westvirginiafieldoffice/, and
at the West Virginia Field Office (see
FOR FURTHER INFORMATION CONTACT
above).
Final Critical Habitat Designation
We are designating two units as
critical habitat for the diamond darter.
The critical habitat areas we describe
below constitute our current best
assessment of areas that meet the
definition of critical habitat for the
diamond darter. Those units are: (1) The
lower Elk River; and (2) the Green River.
Table 1 shows the occupancy of the
units and the ownership of the
designated areas for the diamond darter.
TABLE 1—OCCUPANCY AND OWNERSHIP OF DESIGNATED DIAMOND DARTER CRITICAL HABITAT UNITS.
Federal,
State, or other
public
ownership
km (mi)
Private
ownership
km (mi)
Total
length km
(mi)
Unit
Location
Occupied?
1 ...................................
2 ...................................
lower Elk River ...................................
Green River ........................................
yes .......................
no .........................
45.0* (28.0)
16.3 (10.1)
***
135.8 (84.4)
45.0 (28.0)
152.1 (94.5)
Total** ...................
.............................................................
..............................
............................
............................
197.1 (122.5)
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* As described below, this includes a combination of State ownership and easements. The State considers the easement area under its jurisdiction. These are the best data available to us for calculating river mile ownership in the Elk River. Therefore, we have included this habitat
under public ownership.
** Totals may not sum due to rounding.
*** None.
We present brief descriptions of each
unit and reasons why each unit meets
the definition of critical habitat below.
The critical habitat units include the
stream channels of the rivers within the
ordinary high-water line. As defined in
33 CFR 329.11, the ordinary high-water
line on nontidal rivers is the line on the
shore established by the fluctuations of
water and indicated by physical
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characteristics such as a clear, natural
water line impressed on the bank;
changes in the character of soil;
destruction of terrestrial vegetation; the
presence of litter and debris; or other
appropriate means that consider the
characteristics of the surrounding areas.
In West Virginia, the State owns the bed
and banks of streams between the
ordinary low-water marks, and is vested
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with a public easement between the
ordinary low-water and high-water
marks (George 1998, p. 461). The water
is also under State jurisdiction (WVSC
§ 22–26–3). In Kentucky, adjoining
landowners also own the land under
streams (e.g., the stream channel or
bottom) in the designated unit, but the
water is under State jurisdiction.
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Unit 1: Lower Elk River, Kanawha and
Clay Counties, West Virginia
Unit 1 represents the habitat
supporting the only remaining occupied
diamond darter population. This
population could provide a source to
repopulate other areas within the
diamond darter’s historical range. Unit
1 includes 45.0 km (28.0 mi) of the Elk
River from the confluence with King
Shoals Run near Wallback Wildlife
Management Area downstream to the
confluence with an unnamed tributary
entering the Elk River on the right
descending bank adjacent to Knollwood
Drive in Charleston, West Virginia. As
described above, all the habitat within
this unit is under public control or
ownership (see table 1 above). The State
of West Virginia owns or has a public
easement on the streambed and banks of
the Elk River up to the ordinary highwater mark (George 1998, p. 461). The
water is also publicly owned. The
majority of lands adjacent to this unit
are privately owned. There are two areas
of public land adjacent to the unit: the
3,996-hectare (ha) (9,874-acre (ac))
Morris Creek Wildlife Management
Area, which is leased and managed by
the WVDNR (2007, p. 9), and Coonskin
Park, an approximately 405-ha (1,000ac) park owned by Kanawha County
(Kanawha County Parks and Recreation
2008, p. 1).
Live diamond darters have been
documented throughout this unit,
including near the towns of Clendenin,
Elk View, Blue Creek, Walgrove, Mink
Shoals, Reamer Hill, and at sites
between Broad Run and Burke Branch.
This unit contains space for individual
and population growth and for normal
behavior; food, water, air, light,
minerals, or other nutritional or
physiological requirements; cover or
shelter; and sites for breeding,
reproduction, or rearing (or
development) of offspring, and is
essential to the conservation of the
species. Diamond darter habitat
assessments have documented that this
reach of the Elk River contains 28 rifflepool transition areas with moderate
currents and sand and gravel substrates
that are suitable for the diamond darter
(PCEs 1 and 2) (Osier 2005, p. 34).
Connectivity between these habitats
provides access to various spawning,
foraging, and resting sites, to allow for
larval drift, and promote gene flow (PCE
1). This reach of the Elk River also has
a natural flow regime that is relatively
unimpeded by impoundment (PCE 3),
and has healthy benthic
macroinvertebrate populations (PCE 5)
(WVDEP 1997, pp. 20–89). However,
water quality within this unit is
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impaired due to high levels of fecal
coliform bacteria and iron (PCE 4)
(WVDEP 2010, p. 16).
Within this unit, the diamond darter
and its habitat may require special
management considerations or
protection to address threats from
resource extraction (coal mining, timber
harvesting, and natural gas and oil
development); impoundment; water
diversion or withdrawals; construction
and maintenance projects; stream
bottom disturbance from sewer, gas, and
water line crossings; lack of adequate
riparian buffers; sewage discharges, and
non-point-source pollution. Special
management to address water quality
degradation is particularly important
since prolonged water quality
impairments can also affect the
availability of relatively silt-free sand
and gravel substrates (PCE 2) and
healthy populations of fish larvae and
benthic invertebrates that provide a prey
base for the diamond darter (PCE 5).
Unit 2: Green River, Edmonson, Hart,
and Green Counties, Kentucky
Unit 2, although it is not currently
occupied by the diamond darter,
represents the best remaining
historically occupied habitat for future
diamond darter reintroductions that will
improve the species’ redundancy,
resiliency, and representation essential
for its conservation. Unit 2 includes
152.1 km (94.5 mi) of the Green River
from Roachville Ford near Greensburg
(River Mile 294.8) downstream to the
end of Cave Island in Mammoth Cave
NP (River Mile 200.3). Approximately
16.3 km (10.1 mi) of this unit is
publically owned (see table 1 above)
and is contained within the 20,750-ha
(51,274.1-ac) Mammoth Cave NP. The
remainder of the unit, 135.8 km (84.4
mi), is privately owned. With the
exception of the lands owned by
Mammoth Cave NP, the lands within
the Green River watershed are also
privately owned. Through the U.S.
Department of Agriculture’s (USDA)
Conservation Reserve Program (CRP)
and other conservation programs, TNC
owns or has easements on
approximately 794.4 ha (1,962.9 ac)
within the watershed, either adjacent to
or in close proximity to the river. In
addition, WKU owns or manages 1,300
ac (526.1 ha) along the Green River in
Hart County as part of the Upper Green
River Biological Preserve (WKU 2012, p.
1).
This unit is within the historical
range of the species, but is not currently
considered occupied. The Green River
historically supported approximately
170 species of fish, including the
diamond darter. Between 1890 and
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1929, diamond darters were recorded
from three locations within this unit:
adjacent to Cave Island in Edmonson
County, and near Price Hole and
Greensburg, in Green County.
The Green River is a seventh-order,
warmwater stream with a total drainage
area of 23,879.7 km2 (9,220 mi2). The
largely free-flowing 160.3-km (100-mi)
section of the Green River from the
Green River Dam downstream to its
confluence with the Nolin River in
Mammoth Cave NP is among the most
significant aquatic systems in the
United States in terms of aquatic species
diversity and endemism. This reach of
the Green River currently supports over
150 species of fish and 70 species of
freshwater mussels, including 9
federally endangered mussel species,
but there is no designated critical
habitat in this section of the Green River
(Thomas et al. 2004, p. 5; USDA 2006,
p. 16). Populations of fish species that
have similar habitat preferences as the
diamond darter, such as the shoal chub
and streamline chub are present
throughout this reach (Thomas 2012, p.
1).
The entire reach of the Green River
within this unit is designated by
Kentucky as both Outstanding State
Resource Waters and Exceptional
Waters. Outstanding State Resource
Waters are those surface waters
designated by the Kentucky Energy and
Environment Cabinet (KYEEC) as
containing federally threatened and
endangered species. Exceptional Waters
are waterbodies whose quality exceeds
that necessary to support propagation of
fish, shellfish, wildlife, and recreation.
These waters support excellent fish and
macroinvertebrate communities (KYEEC
2012, p. 1). The entire reach of the river
within Mammoth Cave NP, including
the 16.3 km (10.1 mi) that are
designated as critical habitat, is also
designated as a Kentucky Wild River.
These rivers have exceptional quality
and aesthetic character and are
designated by the State General
Assembly in recognition of their
unspoiled character, outstanding water
quality, and natural characteristics
(KYEEC 2012, p. 1). Each Wild River is
actually a linear corridor encompassing
all visible land on each side of the river
up to a distance of 609.6 m (2,000 ft).
To protect the features and quality of
Wild Rivers, land use changes are
regulated by a permit system, and
certain highly destructive land use
changes, such as strip mining and
clearcutting, are prohibited within
corridor boundaries (KYEEC 2012, p. 1).
As described in the Criteria Used To
Identify Critical Habitat section above,
the inclusion of this unoccupied area is
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essential for the conservation of the
diamond darter. This area will provide
currently suitable habitat for a
population reintroduction that will
allow expansion of diamond darter
populations into historically occupied
habitat, adding to the species’
redundancy, resiliency, and
representation. While not required
under section 3(5)(A)(ii) of the Act, this
area also contains all of the PCEs. This
reach of the Green River is a moderateto-large warmwater stream with a series
of connected riffle-pool complexes that
is unaffected by impoundment (PCEs 1
and 3). The reach has good water quality
and supports fish species that have
similar habitat requirements including
clean sand and gravel substrates, low
levels of siltation, and healthy benthic
macroinvertebrate populations for prey
items (PCEs 2, 3, 4, and 5).
The reach of the Green River being
designated as critical habitat is the focus
of many ongoing conservation efforts.
The Nature Conservancy has designated
this area as the Green River Bioreserve
(Thomas et al. 2004, p. 5), and the
KYDFWR identified this portion of the
Green River as a Priority Conservation
Area in its Comprehensive Wildlife
Conservation Strategy (USDA 2006, p.
35). Since 2001, more than 40,568.6 ha
(100,000 ac) within the watershed have
been enrolled in CRP (USDA 2010, p. 3).
The goal of this program is to work with
private landowners to greatly reduce
sediments, nutrients, pesticides, and
pathogens from agricultural sources that
could have an adverse effect on the
health of the Green River system (USDA
2006, p. 16). These organizations along
with the Service, KYWA, WKU,
Kentucky State University, the ACOE,
private landowners, and other partners
are also working toward conserving
natural resources in this watershed by
restoring riparian buffers, constructing
fences to keep livestock out of the river,
managing dam operations at the Green
River Reservoir to more closely mimic
natural discharges, and conducting
long-term ecological research on fish
and invertebrates (Hensley 2012, p. 1;
TNC 2012, p. 1; WKU 2012, p. 1). The
feasibility of removing Lock and Dam #6
has also been evaluated, but no decision
on this proposal has been made yet
(Olson 2006, pp. 295–297). There are
also a number of ongoing efforts to
educate the public on the biodiversity
the river supports. These efforts include
river cleanups and the establishment of
a Watershed Watch program under
which volunteers are trained to monitor
the biological conditions in the river.
Land use within this watershed is
primarily agriculture and forestry and
also some oil and gas development.
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Management may be needed to address
resource extraction (timber harvests,
natural gas and oil development
activities); water discharges or
withdrawals; construction and
maintenance projects; stream bottom
disturbance from sewer, gas, and water
line crossings; lack of adequate riparian
buffers; sedimentation, sewage
discharges, and non-point-source
pollution.
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 or threatened species or
result in the destruction or adverse
modification of designated critical
habitat of such species.
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 (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 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 the Service. 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 ACOE 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.
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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 or destroy or adversely
modify critical habitat, or both, we
provide reasonable and prudent
alternatives to the project, if any are
identifiable, that would avoid the
likelihood of jeopardy or destruction or
adverse modification of critical habitat,
or both. 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.
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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 the diamond
darter. As discussed above, the role of
critical habitat is to support life-history
needs of the species and provide for the
conservation of the species.
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.
Activities that may affect critical
habitat, when carried out, funded, or
authorized by a Federal agency, should
result in consultation for the diamond
darter. These activities include, but are
not limited to:
(1) Actions that would alter the
geomorphology of stream habitats. Such
activities could include, but are not
limited to, instream excavation or
dredging, impoundment,
channelization, removal of riparian
vegetation, road and bridge
construction, discharge of mine waste or
spoil, and other discharges of fill
materials. These activities could cause
aggradation or degradation of the
streambed or significant bank erosion,
result in entrainment or burial of these
fishes, and cause other direct or
cumulative adverse effects to the
species.
(2) Actions that would significantly
alter the existing flow regime or water
quantity. Such activities could include,
but are not limited to, impoundment,
water diversion, water withdrawal, and
hydropower generation. These activities
could eliminate or reduce the habitat
necessary for growth and reproduction
of the diamond darter.
(3) Actions that would significantly
alter water chemistry or water quality
(for example, dissolved oxygen,
temperature, pH, contaminants, and
excess nutrients). Such activities could
include, but are not limited to,
hydropower discharges or the release of
chemicals, biological pollutants, or toxic
effluents into surface water or
connected groundwater at a point
source or by dispersed release (non-
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point source). These activities could
alter water conditions beyond the
tolerances of these fish and result in
direct or cumulative adverse effects to
the species.
(4) Actions that would significantly
alter streambed material composition
and quality by increasing sediment
deposition or embeddedness. Such
activities could include, but are not
limited to, certain construction projects,
oil and gas development, mining, timber
harvest, and other watershed and
floodplain disturbances if they release
sediments or nutrients into the water.
These activities could eliminate or
reduce habitats necessary for the growth
and reproduction of these fish by
causing excessive siltation or
nutrification.
Exemptions
Application of Section 4(a)(3) of the Act
Section 4(a)(3)(B)(i) of the Act (16
U.S.C. 1533(a)(3)(B)(i)) provides that:
‘‘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 [INRMP] 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 with a completed INRMP within
the proposed critical habitat
designation.
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. The statute on its face, as well
as the legislative history, is clear that
the Secretary has broad discretion
regarding which factor(s) to use and
how much weight to give to any factor
in making that determination.
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Under section 4(b)(2) of the Act, we
may exclude an area from designated
critical habitat based on economic
impacts, impacts on national security,
or any other relevant impacts. 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.
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. To consider economic impacts,
we prepared a DEA of the proposed
critical habitat designation and related
factors (Industrial Economics Inc.
2013a, entire). The draft analysis, dated
February 27, 2013, was made available
for public review from March 29, 2013,
through April 29, 2013 (78 FR 19172).
Following the close of the comment
period, a final analysis (dated June
2013) of the potential economic effects
of the designation (FEA) was developed
taking into consideration the public
comments and any new information
(Industrial Economics Inc. 2013b,
entire).
The intent of the FEA is to quantify
the economic impacts of all potential
conservation efforts for the diamond
darter. The economic impact of the final
critical habitat designation is analyzed
by comparing scenarios ‘‘with critical
habitat’’ and ‘‘without critical habitat.’’
The ‘‘without critical habitat’’ scenario
represents the baseline for the analysis,
considering protections already in place
for the species (e.g., listing under the
Act as well as other Federal, State, and
local authorities). The baseline therefore
represents the costs incurred regardless
of whether critical habitat is designated.
The ‘‘with critical habitat’’ scenario
describes the incremental impacts
associated specifically with the
designation of critical habitat for the
species, and which are not expected to
occur absent the designation of critical
habitat for the species. In other words,
the incremental costs are those
attributable solely to the designation of
critical habitat above and beyond the
baseline costs. These are the costs we
consider in the final designation of
critical habitat. The FEA looks at
baseline impacts occurring due to listing
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the species, and forecasts both baseline
and incremental impacts likely to occur
with the designation of critical habitat.
The FEA also addresses how potential
economic impacts are likely to be
distributed, including an assessment of
any local or regional impacts of habitat
conservation and the potential effects of
conservation activities on government
agencies, private businesses, and
individuals. The FEA measures lost
economic efficiency associated with
residential and commercial
development and public projects and
activities, such as economic impacts on
water management and transportation
projects, Federal lands, small entities,
and the energy industry. Decisionmakers can use this information to
assess whether the effects of the
designation might unduly burden a
particular group or economic sector.
Finally, the FEA looks at costs that may
occur in the 20 years following the
designation of critical habitat, which
was determined to be the appropriate
period for analysis because limited
planning information was available for
most activities to forecast activity levels
for projects beyond a 20-year timeframe.
The FEA quantifies economic impacts of
diamond darter conservation efforts
associated with the following categories
of activity: (1) Resource extraction (coal
mining, gravel and rock mining, and oil
and natural gas exploration) and
utilities; (2) timber management,
agriculture, and grazing; (3) other
instream work (dredging,
channelization, diversions, dams,
instream construction of boat docks,
etc.); (4) transportation (roads,
highways, bridges); and (5) water
quality/sewage management.
The FEA concludes that the types of
conservation efforts requested by the
Service during section 7 consultation
regarding the diamond darter were not
expected to change due to critical
habitat designation. The results of
consultation under the adverse
modification and jeopardy standards are
likely to be similar because there is a
close relationship between the health of
the diamond darter and the health of its
habitat. Alterations of habitat that
diminish the value (e.g., actions that
alter hydrology, water quality, or
suitability of substrate) and the amount
of diamond darter habitat would likely
affect its population size and ability to
recruit young, would likely cause
further range declines, and could
appreciably reduce the species’
likelihood of survival and recovery in
the wild. Such habitat alterations could,
therefore, constitute jeopardy to the
species. In most cases, the results of
consultation on projects in occupied
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diamond darter habitat under the
adverse modification and jeopardy
standards are likely to be similar
because the diamond darter’s entire life
history is reliant on the presence of all
the PCEs being present within one
contiguous stream reach. Thus, project
modifications that minimize impacts to
the species to avoid jeopardy would
coincidentally minimize impacts to
critical habitat.
In addition, although one of the
critical habitat units for the diamond
darter is unoccupied, incremental
impacts of the critical habitat
designation will be limited because the
unit is currently occupied by nine
federally endangered mussels.
Management recommendations made to
avoid adverse effects during previous
mussel consultations included using
enhanced sedimentation and erosion
control measures, avoiding water
quality degradation through the use of
spill and run-off prevention and control
measures, avoiding instream
disturbances through the use of project
alternatives such as directional drilling,
conducting project activities away from
the river, and minimizing disturbances
to and fill of lands adjacent to the river
and stream tributaries. These
recommendations are similar to the
types of management recommendations
that would be used to avoid adverse
modifications to diamond darter critical
habitat.
The FEA concludes that incremental
impacts of critical habitat designation
are limited to additional administrative
costs of consultations and that indirect
incremental impacts are unlikely to
result from the designation of critical
habitat for the diamond darter. The
present value of the total direct
(administrative) incremental cost of
critical habitat designation is $800,000
assuming a 7 percent discount rate, or
$70,000 on an annualized basis.
Transportation activities are likely to be
subject to the greatest incremental
impacts at $320,000 over 20 years,
followed by timber management,
agriculture, and grazing activities
collectively at $260,000; resource
extraction activities at $150,000; other
instream work at $50,000; and water
quality/sewage management at $18,000.
These numbers represent present value
at a 7 percent discount rate and may not
total due to rounding.
Our economic analysis did not
identify any disproportionate costs that
are likely to result from the designation.
Consequently, the Secretary is not
exerting his discretion to exclude any
areas from this designation of critical
habitat for the diamond darter based on
economic impacts.
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A copy of the FEA with supporting
documents may be obtained by
contacting the West Virginia Field
Office (see ADDRESSES) or by
downloading from the Internet at
https://www.regulations.gov.
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
final rule, we have determined that no
lands within the designation of critical
habitat for the diamond darter are
owned or managed by the Department of
Defense, and therefore we anticipate no
impact on national security.
Consequently, the Secretary is not
exerting her discretion to exclude any
areas from this 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 any
conservation partnerships 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.
In preparing this final rule, we have
determined that there are currently no
HCPs or other management plans for the
diamond darter, and the final
designation does not include any tribal
lands or trust resources. We anticipate
no impact on tribal lands, partnerships,
or HCPs from this critical habitat
designation. Accordingly, the Secretary
is not exercising his discretion to
exclude any areas from this final
designation based on other relevant
impacts.
Required Determinations
Regulatory Planning and Review
(Executive Orders 12866 and 13563)
Executive Order (E.O.) 12866 provides
that the Office of Information and
Regulatory Affairs (OIRA) in the Office
of Management and Budget will review
all significant rules. The OIRA has
determined that this rule is not
significant.
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Executive Order 13563 reaffirms the
principles of E.O. 12866 while calling
for improvements in the nation’s
regulatory system to promote
predictability, to reduce uncertainty,
and to use the best, most innovative,
and least burdensome tools for
achieving regulatory ends. The E.O.
directs agencies to consider regulatory
approaches that reduce burdens and
maintain flexibility and freedom of
choice for the public where these
approaches are relevant, feasible, and
consistent with regulatory objectives.
The E.O. 13563 emphasizes further that
regulations must be based on the best
available science and that the
rulemaking process must allow for
public participation and an open
exchange of ideas. We have developed
this rule in a manner consistent with
these requirements.
Regulatory Flexibility Act (5 U.S.C. 601
et seq.)
Under the RFA (5 U.S.C. 601 et seq.),
as amended by SBREFA of 1996 (5
U.S.C 801 et seq.), whenever an agency
must 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 an 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.
In this final rule, we are certifying that
the critical habitat designation for the
diamond darter will not have a
significant economic impact on a
substantial number of small entities.
The following discussion explains our
rationale.
According to the Small Business
Administration, small entities include
small organizations, such as
independent nonprofit organizations;
small governmental jurisdictions,
including school boards and city and
town governments that serve fewer than
50,000 residents; as well as small
businesses. Small businesses include
manufacturing and mining concerns
with fewer than 500 employees,
wholesale trade entities with fewer than
100 employees, retail and service
businesses with less than $5 million in
annual sales, general and heavy
construction businesses with less than
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$27.5 million in annual business,
special trade contractors doing less than
$11.5 million in annual business, and
agricultural businesses with annual
sales less than $750,000. To determine
if potential economic impacts on these
small entities are significant, we
consider the types of activities that
might trigger regulatory impacts under
this rule, as well as the types of project
modifications that may result. In
general, the term ‘‘significant economic
impact’’ is meant to apply to a typical
small business firm’s business
operations.
To determine if the rule could
significantly affect a substantial number
of small entities, we consider the
number of small entities affected within
particular types of economic activities
(e.g., resource extraction; timber
management, agriculture, and grazing;
instream activities; transportation; and
water quality and sewer management).
We apply the ‘‘substantial number’’ test
individually to each industry to
determine if certification is appropriate.
However, the SBREFA does not
explicitly define ‘‘substantial number’’
or ‘‘significant economic impact.’’
Consequently, to assess whether a
‘‘substantial number’’ of small entities is
affected by this designation, this
analysis considers the relative number
of small entities likely to be impacted in
an area. In some circumstances,
especially with critical habitat
designations of limited extent, we may
aggregate across all industries and
consider whether the total number of
small entities affected is substantial. In
estimating the number of small entities
potentially affected, we also consider
whether the activities have any Federal
involvement.
Designation of critical habitat only
affects activities authorized, funded, or
carried out by Federal agencies. Some
kinds of activities are unlikely to have
any Federal involvement and so will not
be affected by critical habitat
designation. In areas where the species
is present, Federal agencies already are
required to consult with us under
section 7 of the Act on activities they
authorize, fund, or carry out that may
affect the diamond darter. Federal
agencies also must consult with us if
their activities may affect critical
habitat. Designation of critical habitat,
therefore, could result in an additional
economic impact on small entities due
to the requirement to reinitiate
consultation for ongoing Federal
activities (see Application of the
‘‘Adverse Modification Standard’’
section).
In our final economic analysis of the
critical habitat designation, we
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evaluated the potential economic effects
on small business entities resulting from
conservation actions related to the
listing of the diamond darter and the
designation of critical habitat. The
analysis is based on the estimated
impacts associated with the rulemaking
as described in Chapters 3 through 4
and Appendix A of the analysis and
evaluates the potential for economic
impacts from resource extraction; timber
management, agriculture, and grazing;
instream activities; transportation; and
water quality and sewer management.
We determined from our analysis
(Appendix A in FEA) that there will be
minimal additional economic impacts to
small entities resulting from the
designation of critical habitat, because
almost all of the potential costs related
to modification of activities and
conservation that were identified in the
economic analysis represent baseline
costs that would be realized in the
absence of critical habitat. The
economic analysis estimates that
approximately 245 small entities may be
affected over the next 20 years. This
equates to fewer than 13 entities
affected per year. The large majority of
these affected entities (190 or 82
percent) are agriculture and timbering
entities in Kentucky that receive
assistance through the NRCS.
Participation in NRCS assistance
programs is voluntary. The remaining
68 potentially affected small entities are
associated with resource extraction and
other instream work. This equates to an
average of fewer than four affected small
entities per year. The FEA estimates
incremental costs of between $880 and
$8,800 per affected entity engaging in
resource extraction or other instream
work; this cost equals an impact of less
than 0.1 percent to each entity’s annual
revenue. All of these costs are derived
from the added effort associated with
considering adverse modification in the
context of section 7 consultations.
In summary, we considered whether
this designation would result in a
significant economic effect on a
substantial number of small entities.
Based on the above reasoning and
currently available data, we conclude
that this rule would not result in a
significant economic impact on a
substantial number of small entities.
Therefore, we are certifying that the
designation of critical habitat for the
diamond darter will not have a
significant economic impact on a
substantial number of small entities,
and a regulatory flexibility analysis is
not required.
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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
OMB has provided guidance for
implementing this E.O. that outlines
nine outcomes that may constitute ‘‘a
significant adverse effect’’ when
compared to not taking the regulatory
action under consideration. The FEA
considered the potential effects of the
diamond darter critical habitat
designation on coal, oil, and gas
development. The FEA found that some
limited impacts to these energy
development activities are anticipated,
but they will mostly be limited to the
administrative costs of consultation.
Therefore, reductions in energy
production are not anticipated, and
consultation costs are not anticipated to
increase the cost of energy production
or distribution in the United States in
excess of one percent. None of the nine
outcome thresholds of impact are
exceeded, and the economic analysis
finds that none of these criteria are
relevant to this analysis. Thus, based on
information in the economic analysis,
energy-related impacts associated with
diamond darter conservation activities
within critical habitat are not expected.
As such, the designation of critical
habitat is not expected to significantly
affect energy supplies, distribution, or
use. Therefore, this action is not a
significant energy action, and no
Statement of Energy Effects is required.
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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
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
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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
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. The FEA concludes
incremental impacts may occur due to
administrative costs of section 7
consultations for projects in the
following categories that have a Federal
nexus: resource extraction; timber
management, agriculture, and grazing;
instream activities; transportation; and
water quality and sewer management.
Small governments will be affected only
to the extent that they must ensure that
their actions that involve Federal
funding or authorization will not
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adversely affect the critical habitat. This
rule will not produce a Federal mandate
of $100 million or greater in any year;
that is, it is not a ‘‘significant regulatory
action’’ under the Unfunded Mandates
Reform Act. Consequently, we do not
believe that the critical habitat
designation would significantly or
uniquely affect small government
entities. As such, a Small Government
Agency Plan is not required.
Takings—Executive Order 12630
In accordance with E.O. 12630
(Government Actions and Interference
with Constitutionally Protected Private
Property Rights), we have analyzed the
potential takings implications of
designating critical habitat for the
diamond darter in a takings
implications assessment. 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. The takings
implications assessment concludes that
this designation of critical habitat for
the diamond darter does not pose
significant takings implications for
lands within or affected by the
designation.
Federalism—Executive Order 13132
In accordance with E.O. 13132
(Federalism), this rule does not have
significant Federalism effects. A
federalism impact summary 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
critical habitat designation with
appropriate State resource agencies in
West Virginia and Kentucky. We
received comments from the State of
West Virginia and have addressed them
in the Summary of Comments and
Recommendations section of the rule.
The designation of critical habitat in
areas currently occupied by the
diamond darter imposes no additional
restrictions to those currently in place
and therefore has little incremental
impact on State and local governments
and their activities. The designation
may have some benefit to these
governments in that the areas that
contain the PBFs essential to the
conservation of the species are more
clearly defined, and the elements of the
features of the habitat necessary to the
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Federal Register / Vol. 78, No. 163 / Thursday, August 22, 2013 / Rules and Regulations
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 E.O. 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 applicable
standards set forth in sections 3(a) and
3(b)(2) of the Executive Order. We are
designating critical habitat in
accordance with the provisions of the
Act. To assist the public in
understanding the habitat needs of the
species, the rule identifies the elements
of PBFs essential to the conservation of
the diamond darter. The designated
areas of critical habitat are presented on
maps, and the rule provides several
options for the interested public to
obtain more detailed location
information, if desired.
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.
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 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)).
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), E.O. 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
Species
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FISHES
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Darter, diamond .......
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TN, WV)
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Author(s)
The primary author of this document
is staff from the West Virginia Field
Office (see ADDRESSES).
List of Subjects in 50 CFR Part 17
Endangered and threatened species,
Exports, Imports, Reporting and
recordkeeping requirements,
Transportation.
Regulation Promulgation
Accordingly, we amend part 17,
subchapter B of chapter I, title 50 of the
Code of Federal Regulations, as set forth
below:
PART 17—[AMENDED]
1. The authority citation for part 17
continues to read as follows:
■
Authority: 16 U.S.C. 1361–1407; 1531–
1544; 16 U.S.C. 4201–4245; unless otherwise
noted.
2. Amend § 17.11(h) by revising the
entry for ‘‘Darter, diamond’’ under
‘‘Fishes’’ in the List of Endangered and
Threatened Wildlife to read as follows:
■
§ 17.11 Endangered and threatened
wildlife.
*
*
*
(h) * * *
*
*
*
*
Crystallaria cincotta
A complete list of all references cited
in this rule is available on the Internet
at https://www.regulations.gov or upon
request from the Field Supervisor, West
Virginia Field Office (see ADDRESSES
section).
Status
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*
E
*
815
*
*
*
Entire ......................
*
Frm 00022
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*
Scientific name
*
References Cited
Vertebrate
population
where
endangered or
threatened
Historic range
Common name
available to tribes. We determined that
there are no tribal lands occupied by the
diamond darter at the time of listing that
contain the PBFs essential to
conservation of the species, and that
there are no tribal lands unoccupied by
the diamond darter that are essential for
the conservation of the species.
Therefore, we are not designating
critical habitat for the diamond darter
on tribal lands.
Fmt 4701
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Critical
habitat
Special
rules
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17.95(e)
NA
*
Federal Register / Vol. 78, No. 163 / Thursday, August 22, 2013 / Rules and Regulations
§ 17.95
Critical habitat—fish and wildlife.
*
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(e) Fishes.
*
*
*
*
*
Diamond Darter (Crystallaria cincotta)
(1) Critical habitat units are depicted
for Kanawha and Clay Counties, West
Virginia, and Edmonson, Hart, and
Green Counties, Kentucky, on the maps
below.
(2) Within these areas, the primary
constituent elements of the physical or
biological features essential to the
conservation of diamond darter consist
of five components:
(i) A series of connected riffle-pool
complexes with moderate velocities in
moderate- to large-sized (fourth- to
eighth-order), geomorphically stable
streams within the Ohio River
watershed.
(ii) Stable, undisturbed sand and
gravel stream substrates that are
relatively free of and not embedded
with silts and clays.
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(6) Unit 1: Lower Elk River, Kanawha
and Clay Counties, West Virginia.
(i) Unit 1 includes 45.0 km (28.0 mi)
of the Elk River from the confluence
with King Shoals Run near Wallback
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(iii) An instream flow regime
(magnitude, frequency, duration, and
seasonality of discharge over time) that
is relatively unimpeded by
impoundment or diversions such that
there is minimal departure from a
natural hydrograph.
(iv) Adequate water quality
characterized by seasonally moderated
temperatures, high dissolved oxygen
levels, and moderate pH, and low levels
of pollutants and siltation. Adequate
water quality is defined as the quality
necessary for normal behavior, growth,
and viability of all life stages of the
diamond darter.
(v) A prey base of other fish larvae
and benthic invertebrates including
midge, caddisfly, and mayfly larvae.
(3) Critical habitat does not include
manmade structures (such as bridges,
docks, aqueducts and other paved areas)
and the land on which they are located
existing within the legal boundaries on
the effective date of this rule.
(4) Critical habitat map units. Data
layers defining map units were created
with U.S. Geological Survey National
Hydrography Dataset Geographic
Information System data. Esri’s ArcGIS
10.1 software was used to determine
longitude and latitude in decimal
degrees for the river reaches. The
projection used in mapping was
Universal Transverse Mercator (UTM),
NAD 83, Zone 16 North for the Green
River, Kentucky, unit; and UTM, NAD
83, Zone 17 North for the Elk River,
West Virginia, unit. The following data
sources were referenced to identify
features used to delineate the upstream
and downstream reaches of critical
habitat units: USGS 7.5′ quadrangles
and topographic maps, NHD data, 2005
National Inventory of Dams, Kentucky
Land Stewardship data, pool and shoal
data on the Elk River, Esri’s Bing Maps
Road. The maps in this entry, as
modified by any accompanying
regulatory text, establish the boundaries
of the critical habitat designation. The
coordinates or plot points or both on
which each map is based are available
to the public at the field office Internet
site (https://www.fws.gov/
westvirginiafieldoffice/),
https://www.regulations.gov at Docket
No. FWS–R5–ES–2013–0019, and at the
Service’s West Virginia Field Office.
You may obtain field office location
information by contacting one of the
Service regional offices, the addresses of
which are listed at 50 CFR 2.2.
(5) Note: Index map of critical habitat
locations for the diamond darter in West
Virginia and Kentucky follows:
Wildlife Management Area downstream
to the confluence with an unnamed
tributary entering the Elk River on the
right descending bank adjacent to
Knollwood Drive in Charleston, West
Virginia.
(ii) Note: Map of Unit 1 (lower Elk
River) follows:
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3. In § 17.95, amend paragraph (e) by
adding an entry for ‘‘Diamond Darter
(Crystallaria cincotta),’’ in the same
alphabetical order that the species
appears in the table at § 17.11(h), to read
as follows:
■
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Federal Register / Vol. 78, No. 163 / Thursday, August 22, 2013 / Rules and Regulations
(ii) Note: Map of Unit 2 (Green River)
follows:
ER22AU13.006
near Greensburg (River Mile 294.8)
downstream to the downstream end of
Cave Island in Mammoth Cave National
Park (River Mile 200.3).
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(7) Unit 2: Green River, Edmonson,
Hart, and Green Counties, Kentucky.
(i) Unit 2 includes 152.1 km (94.5 mi)
of the Green River from Roachville Ford
Federal Register / Vol. 78, No. 163 / Thursday, August 22, 2013 / Rules and Regulations
*
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Dated: August 6, 2013.
Rachel Jacobson,
Principal Deputy Assistant Secretary for Fish
and Wildlife and Parks.
*
[FR Doc. 2013–20449 Filed 8–21–13; 8:45 am]
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52387
Agencies
[Federal Register Volume 78, Number 163 (Thursday, August 22, 2013)]
[Rules and Regulations]
[Pages 52363-52387]
From the Federal Register Online via the Government Printing Office [www.gpo.gov]
[FR Doc No: 2013-20449]
[[Page 52363]]
Vol. 78
Thursday,
No. 163
August 22, 2013
Part V
Department of the Interior
-----------------------------------------------------------------------
Fish and Wildlife Service
-----------------------------------------------------------------------
50 CFR Part 17
Endangered and Threatened Wildlife and Plants; Designation of Critical
Habitat for the Diamond Darter (Crystallaria cincotta); Final Rule
Federal Register / Vol. 78 , No. 163 / Thursday, August 22, 2013 /
Rules and Regulations
[[Page 52364]]
-----------------------------------------------------------------------
DEPARTMENT OF THE INTERIOR
Fish and Wildlife Service
50 CFR Part 17
[Docket No. FWS-R5-ES-2013-0019; 4500030114]
RIN 1018-AZ40
Endangered and Threatened Wildlife and Plants; Designation of
Critical Habitat for the Diamond Darter (Crystallaria cincotta)
AGENCY: Fish and Wildlife Service, Interior.
ACTION: Final rule.
-----------------------------------------------------------------------
SUMMARY: We, the U.S. Fish and Wildlife Service (Service), designate
critical habitat for the diamond darter (Crystallaria cincotta), a
small fish in West Virginia, under the Endangered Species Act (Act). In
total, approximately 197.1 river kilometers (122.5 river miles) in
Kanawha and Clay Counties, West Virginia, and Edmonson, Hart, and Green
Counties, Kentucky, are being designated as critical habitat. The
effect of this regulation is to designate critical habitat for the
diamond darter under the Act.
DATES: This rule becomes effective on September 23, 2013.
ADDRESSES: This final rule is available on the Internet at https://www.regulations.gov and at the West Virginia Field Office. Comments and
materials received, as well as supporting documentation used in the
preparation of this rule, are available for public inspection, by
appointment, during normal business hours at: U.S. Fish and Wildlife
Service, West Virginia Field Office, 694 Beverly Pike, Elkins, West
Virginia 26241. The Field Office can be reached by telephone 304-636-
6586 or by facsimile 304-636-7824.
The coordinates or plot points or both from which the critical
habitat maps are generated are included in the administrative record
for this critical habitat designation and are available at https://www.fws.gov/westvirginiafieldoffice, www.regulations.gov at Docket No.
FWS-R5-ES-2013-0019, and at the West Virginia Field Office (see FOR
FURTHER INFORMATION CONTACT). Any additional tools or supporting
information that we developed for this critical habitat designation are
also available at the U.S. Fish and Wildlife Service Web site and Field
Office set out above, and may also be included at www.regulations.gov.
FOR FURTHER INFORMATION CONTACT: John Schmidt, Acting Field Supervisor,
West Virginia Field Office (see ADDRESSES section). 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 final rule to designate
critical habitat for the diamond darter. Under the Endangered Species
Act of 1973, as amended (16 U.S.C. 1531 et seq.) (Act), we must
designate critical habitat, to the maximum extent prudent and
determinable, for any species we determine to be endangered or
threatened. Designation of critical habitat can only be completed by
issuing a rule.
We listed the diamond darter as an endangered species on July 26,
2013 (78 FR 45074). On July 26, 2012, we published in the Federal
Register a proposed critical habitat designation for the diamond darter
(77 FR 43906).
This rule consists of: A final rule to designate critical habitat
for the diamond darter. Section 4(b)(2) of the Act states that the
Secretary shall designate 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.
Here we are designating, in total, approximately 197.1 river
kilometers (km) (122.5 river miles (mi)) as critical habitat for the
species. The critical habitat is located in Kanawha and Clay Counties,
West Virginia, and in Edmonson, Hart, and Green Counties, Kentucky.
We have prepared an economic analysis of the designation of
critical habitat. We have prepared an analysis of the economic impacts
of the critical habitat designation and related factors. We announced
the availability of the draft economic analysis (DEA) in the Federal
Register on March 29, 2013 (78 FR 19172), allowing the public to
provide comments on our analysis. We have incorporated the comments and
have completed the final economic analysis (FEA) concurrently with this
final determination.
Peer review and public comment. We sought comments from independent
specialists to ensure that our designation is based on scientifically
sound data and analyses. We asked knowledgeable individuals with the
scientific expertise to review our technical assumptions, analysis, and
whether we had used the best available data. These peer reviewers
generally concurred with our methods and conclusions, and they provided
additional information, clarifications, and suggestions to improve this
final rule. The information we received from the peer review process is
incorporated in this final revised designation. We also considered all
comments and information received from the public during the comment
periods and incorporated those comments, as appropriate, into this
final rule.
Previous Federal Actions
The diamond darter was first identified as a candidate for
protection under the Act in the November 9, 2009, Federal Register (74
FR 57804). As a candidate, it was assigned a listing priority number
(LPN) of 2. Candidate species are assigned LPNs based on the magnitude
and immediacy of threats and their taxonomic status. The lower the LPN,
the higher the priority is for determining appropriate action for the
species using our available resources. An LPN of 2 reflects that the
threats to the diamond darter are both imminent and high in magnitude.
It also reflects the taxonomic classification of the diamond darter as
a full species. We retained the LPN of 2 in our subsequent Notices of
Review dated November 10, 2010 (75 FR 69222), and October 26, 2011 (76
FR 66370). On July 26, 2012 (77 FR 43906), we published a proposed rule
to list the diamond darter as endangered. On July 26, 2013 (78 FR
45074), we published a final rule to list the diamond darter as
endangered.
Background
The diamond darter is a small fish that is a member of the perch
family (Percidae). The diamond darter is overall translucent and is a
silvery white on the underside of the body and head. It has four wide,
olive-brown saddles on the back and upper side (Welsh et al. 2008, p.
1). Diamond darters are most active during the night and may stay
partially buried in the stream substrates during the day (Welsh 2008,
p. 10; Welsh 2009c, p. 1). Adult diamond darters are benthic
invertivores, feeding primarily on stream bottom-dwelling invertebrates
(NatureServe 2008, p. 8). The diamond darter was historically
distributed throughout the Ohio River Basin including the Muskingum
River in Ohio; the Ohio River in Ohio, Kentucky, and Indiana; the Green
River in Kentucky; and the Cumberland River Drainage in Kentucky and
Tennessee. The diamond darter has been extirpated from all these
streams and is now known to occur only within the lower Elk River in
West Virginia. More detailed information on the diamond
[[Page 52365]]
darter, including its taxonomy, species description, and current and
historical distribution, and a summary of its life history and habitat
can be found in the final listing rule published on July 26, 2013 (78
FR 45074).
Summary of Comments and Recommendations
We requested written comments from the public on the proposed
designation of critical habitat for the diamond darter during two
comment periods. The first comment period opened with the publication
of the proposed rule (77 FR 43906) on July 26, 2012, and closed on
September 25, 2012. In a notice published on March 29, 2013 (78 FR
19172), we also requested comments on the proposed critical habitat
designation and associated DEA during a comment period that opened
March 29, 2013, and closed on April 29, 2013. We did not receive any
requests for a public hearing. We also contacted appropriate Federal,
State, and local agencies, scientific organizations, and other
interested parties, and invited them to comment on the proposed rule
and DEA during these comment periods.
During the first comment period, we received 11 letters that
provided comments specific to the proposed critical habitat
designation. During the second comment period, we received 10 comment
letters addressing the proposed critical habitat designation or the
DEA. Comments received were grouped into general issues specifically
relating to the proposed critical habitat designation for the diamond
darter, and are addressed in the following summary and incorporated
into the final rule as appropriate. Comments addressing only the
proposed listing are addressed separately in the final listing rule (78
FR 45074, July 26, 2013).
Peer Review
In accordance with our peer review policy published on July 1, 1994
(59 FR 34270), we solicited expert opinion from five knowledgeable
individuals with scientific expertise on the diamond darter and its
habitat, biological needs, and threats. We received individual
responses from three of the peer reviewers. The response from one peer
reviewer was incorporated into comments submitted by his employer, the
West Virginia Division of Natural Resources (WVDNR). Those comments are
addressed below under Comments from States.
We reviewed all comments received from the peer reviewers for
substantive and new information regarding critical habitat for the
diamond darter. Two of the peer reviewers explicitly stated that: (1)
They concurred with the proposed critical habitat designation; (2) the
proposed rule appropriately designated the lower 45 km (28 mi) of the
Elk River as critical habitat; and (3) scientific evidence provided in
the proposed rule supported our conclusion that this reach of river is
needed to protect the only remaining population of the diamond darter.
One peer reviewer also commented that the reach of the Green River
proposed for unoccupied critical habitat was a logical choice for
designation, in that it was more likely than any other historical
habitat to offer the potential for reestablishment of a second
population of the diamond darter. Another peer reviewer suggested that
additional areas should be designated as critical habitat.
(1) Comment: The only known collection of a young diamond darter
was at the extreme lower end of the proposed critical habitat on the
Elk River in West Virginia. Although the extent of diamond darter
larval drift is unknown, it may include portions of the Kanawha River
below the mouth of the Elk River, which is not included in the proposed
designation. The extent of potential downstream larval drift should be
considered in the critical habitat designation. Additional research is
needed to define how far larval drift occurs and what larvae are eating
in the wild.
Our Response: We concur that it is important to consider all the
diamond darter's life stages, including the larval stage, when
designating critical habitat. However, very little is known about the
natural history of the larval and juvenile life stages of the diamond
darter. As the commenter stated, the only known record of a young
diamond darter captured in the wild was from benthic trawl surveys
conducted in the Elk River somewhere near the confluence with the
Kanawha River in West Virginia. Despite repeated requests to the
researcher and his staff who captured the young diamond darter, we have
been unable to more precisely determine the exact location of this
capture or the habitat conditions at the capture location.
Additionally, no scientific data is available on how long diamond
darter larvae remain in a pelagic phase (drifting in open water) or how
far they may drift downstream after they hatch. We are also unaware of
any scientific data available as to where diamond darters breed in the
Elk River. We concur that additional research is needed to quantify
diamond darter larval and breeding requirements. However, we have used
the best available scientific data to define the extent of these life
history requirements. Section 3(5) of the Act requires the Service to
specify the ``specific areas'' within the geographical area occupied by
the species at the time of listing that are essential to the species'
conservation or those areas outside the geographical areas occupied by
the species at the time of listing that are essential for the species'
conservation. Therefore, we have designated critical habitat based on
the best available data at this time.
In both our proposed and final critical habitat designation for the
Elk River, we included some areas upstream and downstream of known
capture locations that have suitable habitat for the species. These
areas are contiguous with known and documented capture sites, have
similar habitat characteristics, have no barriers to dispersal, and are
within general darter dispersal capabilities. This should allow for
some upstream migrations of breeding and spawning adult diamond
darters, as well as some downstream migration of larvae. However, we do
not have scientific data available to be able to determine whether the
aforementioned capture location of the juvenile diamond darter is
downstream of or within the critical habitat designation. The reach of
the Elk River downstream of the designated critical habitat to the
confluence with the Kanawha River is affected by impoundment from the
Winfield Lock and Dam on the Kanawha River, and is dredged by the U.S.
Army Corps of Engineers (ACOE). Therefore, this area was not designated
as critical habitat because it did not contain the required physical
and biological features (PBFs). We have incorporated additional
discussion about the uncertainty surrounding the location of the
juvenile diamond darter capture, as well information about the
potential for larval drift, in the final rule. Please refer to our
response to comment 1 in the final listing rule (78 FR 45074,
July 26, 2013) for more information on this topic.
We also note in the final critical habitat rule that 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. Similarly, critical habitat designations made
on the basis of the best available scientific data at the time of
designation will not control the direction and substance of future
[[Page 52366]]
recovery plans, habitat conservation plans (HCPs), or other species
conservation planning efforts if new information available at the time
of these planning efforts calls for a different outcome. When
additional information becomes available about diamond darter larval
requirements, or if the location of the previous capture can be more
precisely determined, we will fully consider that information during
future diamond darter consultation and recovery efforts, and may revise
the critical habitat designation, if necessary.
(2) Comment: The Service should consider designating the lower
free-flowing portion of the Big South Fork of the Cumberland River as
unoccupied critical habitat, similar to the Green River. Although the
Big South Fork of the Cumberland River may not be quite as high in
quality as the Green River, it meets the criteria for designation as
cited, particularly in supporting rare and sensitive species, including
streamline chubs (Erimystax dissimilis) and tuxedo darters (Etheostoma
lemniscatum).
Our Response: We concur that the lower portions of the Big South
Fork of the Cumberland River currently have suitable habitat for the
diamond darter in that the river is free-flowing and has riffle-pool
complexes and areas with suitable substrates. It also supports other
rare species with similar life-history requirements, and the National
Park Service provides some protections. Based on this information, we
evaluated this area for inclusion in the designation as unoccupied
critical habitat. To be included in the unoccupied critical habitat
designation, an area must have historical darter occurrences that have
been confirmed to be diamond darter. Confirmation of the historical
occurrences is completed through examination of available museum
specimens.
One specimen of a Crystallaria species was known to be collected
from the Big South Fork of the Cumberland River around 1870, but very
little information is available about the actual specimen. We note that
it was one of the earliest collections of any Crystallaria species, and
occurred at a time when many fishes from the Ohio River Basin were
first being captured, identified, and described. Cope, who originally
collected this specimen, did not formally publish any records of his
Crystallaria capture in the Big South Fork of the Cumberland River
(Comisky and Etnier 1972, p. 143). The first reference to this specimen
occurred in 1906 when Fowler began curating and cataloguing Cope's
collection of percid specimens after his death (Fowler 1906, p. 524).
In a subsequent taxonomic review of fish from Michigan, Fowler
determined that some of Cope's other Crystallaria specimens had been
incorrectly identified (Fowler 1918, pp. 48-49). This is not surprising
given the advances in fish taxonomy that occurred between 1870 and
1918. Thus, it is possible that Cope's Big South Fork of the Cumberland
River Crystallaria specimen was also incorrectly identified. However,
we searched published literature and found no records of Fowler or any
subsequent taxonomists confirming or refuting Cope's original
identification of this specimen, or any written descriptions or
illustrations of this specimen that would have allowed us to verify its
accuracy. Additionally, we have been unable to locate this specimen.
In 1918, Fowler noted that some of Cope's specimens were no longer
extant, and that some were in poor preservation (Fowler 1918, pp. 2-
51). The Big South Fork of the Cumberland River Crystallaria specimen
is apparently one of those specimens that was lost or degraded since
its original collection, and is no longer extant. Therefore, it cannot
be inspected and verified. Conversely, museum specimens from surveys
conducted in 1890 in other portions of the Cumberland River watershed
are extant and have been independently reviewed and verified to be the
diamond darter (Welsh and Wood 2008, p. 6). However, as described
above, we do not have confirmed historical records that the diamond
darter existed in the Big South Fork of the Cumberland River.
Therefore, the Big South Fork of the Cumberland River did not meet the
inclusion criteria for unoccupied critical habitat. However, excluding
this area from critical habitat designation does not mean that it may
not be important or appropriate for future diamond darter recovery
efforts.
Comments From States
Section 4(i) of the Act states, ``the Secretary shall submit to the
State agency a written justification for his failure to adopt
regulations consistent with the agency's comments or petition.'' We
received comments from two State agencies, the WVDNR and the West
Virginia Department of Environmental Protection (WVDEP). Comments
received from the State regarding the proposal to designate critical
habitat are summarized below, followed by our responses.
The WVDNR stated that the Service provided an excellent evaluation
in support of the proposed primary constituent elements (PCEs), and
concurred that these components are present in the Elk River and
necessary for the continued success of the diamond darter. The WVDNR
also concurred with the proposed designation of the 45-km (28-mi) reach
of the Elk River as critical habitat. The agency confirmed that this
reach of the Elk River supported all the PCEs, and further commented
that its survey data from Elk River tributaries supported our
conclusion that the diamond darter rarely or never uses these tributary
areas. Although the agency commented that the Service correctly
proposed to designate critical habitat in the Green River based on the
criteria provided, the agency deferred any additional comments on that
portion of the diamond darter's habitat to the Kentucky Department of
Fish and Wildlife Resources (KYDFWR). The KYDFWR did not formally
comment on the proposed rule. The WVDEP provided two substantive
comments regarding the proposed critical habitat, as detailed below.
(3) Comment: The WVDEP asserted that the primary cause of the
diamond darter's decline was habitat loss and isolation of the
population through the historical impoundment of streams the species
inhabited. The agency therefore suggested that PCE 3, which emphasizes
the darter's need for flows unimpeded by impoundment, should be the
first priority PCE considered essential to the diamond darter's
persistence.
Our Response: We concur that impoundment was one of the most direct
and dramatic historical causes of diamond darter habitat loss. Water
quality degradation and siltation also played key roles. See our
response to comment 4 in the final listing rule (78 FR 45074,
July 26, 2013) for more information regarding the role of impoundment
and other factors in the decline and extirpation of diamond darter
populations. While we agree that impoundment is an important cause of
diamond darter habitat loss, we do not concur that the order of the
PCEs should be changed. The diamond darter requires all the listed PCEs
to survive and recover, and the PCEs are not listed in order of
priority. Rather, we have listed the PCEs in an order that supports the
species' basic life-history requirements. To support the diamond
darter, there must first be a stream located in the historical range of
the species. The stream must also be of the correct size (stream order)
and have the correct substrates. For example, small headwater streams,
or naturally slow-moving streams with predominately silt substrates,
even if unimpounded, would not support the diamond darter.
[[Page 52367]]
Therefore, our PCEs describe first the type and location of stream
habitat the diamond darter requires, second the type of substrate, and
third the need for relatively natural flows unimpeded by impoundment.
We have thus retained the original order of the PCEs.
(4) Comment: The WVDEP commented that the concept of embeddedness
described in the proposed rule is inconsistent with the species'
habitat requirements. The agency stated that, because the diamond
darter occupies habitats with ample sand, some embeddedness of the
larger particles in these areas is expected and quite necessary. The
agency further suggested that we clarify the concepts of siltation
versus sedimentation since it would appear that the diamond darter is
susceptible to the effects of siltation, which is the accumulation of
fines, or particles smaller than sand, while being dependent upon a
relative abundance of sand to fulfill life-history functions. The
agency suggested that PCE 2 should be clarified with regard to these
two issues.
Our Response: We concur with the WVDEP that the diamond darter is
susceptible to the effects of siltation, which is the accumulation of
fines, or particles smaller than sand, while being dependent upon a
relative abundance of natural sand to fulfill life-history functions.
We have, therefore, reviewed our use of the terms ``siltation'' and
``sedimentation'' in the final critical habitat rule and clarified that
the diamond darter requires substrates that are not embedded with fine
silts or clays. See our response to comment 5 in the final
listing rule (78 FR 45074, July 26, 2013) for additional information on
our definitions of the terms ``substrate embeddedness,'' ``siltation,''
and ``sedimentation'' and on the relationship of these terms to the
diamond darter's life-history requirements.
Public Comments
We received comments addressing the proposed critical habitat
designation from eight organizations and one individual. Four
organizations, the West Virginia Chamber of Commerce (WVCC), the West
Virginia Oil and Natural Gas Association (WVONGA), the West Virginia
Coal Association (WVCA), and the West Virginia Forestry Association
(WVFA), were critical of the proposed rule and provided substantive
comments in that regard. Each of these four organizations submitted
comments during each of the two comment periods. Four other
organizations, The Nature Conservancy (TNC), West Virginia Rivers
Coalition (WVRC), Center for Biological Diversity (CBD), and Kentucky
Waterways Alliance (KYWA), and the one individual were strongly
supportive of the proposed critical habitat designation. The KYWA
confirmed that the Green River contains the PCEs required to support
the diamond darter, including connected riffle-pool complex habitats
that are unaffected by any impoundments with clean sand and gravel
substrates and healthy and diverse benthic macroinvertebrate prey
populations. The KYWA also confirmed the Green River has a number of
protective use designations that provide protections consistent with
the recovery of the diamond darter.
The CBD, on behalf of itself and 16 additional organizations,
submitted comments in support of the proposed critical habitat
designation, reiterated information presented in the proposed rule, and
suggested that the designation of unoccupied critical habitat in
Kentucky will greatly increase the diamond darter's potential for
survival and recovery. In addition, approximately 4,840 individuals
associated with CBD provided form letters supporting the proposed
critical habitat that reiterated the comments provided by CBD. One
individual, the WVRC, the CBD, and associated individuals responding by
form letter, urged the Service to act quickly to finalize the critical
habitat designation, with the WVRC suggesting that protection is needed
now while there still may be a viable breeding population of diamond
darters. Additional substantive comments from the eight organizations
are detailed below.
(5) Comment: The KYWA provided additional supporting information on
the current and historical biological diversity of the Green River. The
organization noted that the diamond darter is one of the native fish
species currently missing from the system, and that darters play an
important role in aquatic systems as indicators of good water quality
and diversity. The organization suggested that reintroducing the
diamond darter into the river would create a more complete aquatic
ecosystem, would help to sustain other populations of fish, such as
muskellunge (Esox masquinongy) or bass (Micropterus spp.), and
contribute to a healthy robust native ecosystem. The KYWA concluded
that the organization strongly supports all efforts to fully restore
and protect all native species to the Green River.
Our Response: We appreciate the additional information on
historical biodiversity in the Green River, and we have incorporated
this information into the final rule, as appropriate. We also concur
with the assessment of potential benefits of restoring healthy intact
aquatic ecosystems.
(6) Comment: The KYWA and TNC described numerous ongoing efforts
that the organizations and their partners have conducted to protect and
enhance the Green River and to educate the public on the river's
biodiversity. These efforts included river cleanups, the addition of
lands to Western Kentucky University's (WKU) Upper Green River
Biological Reserve, and the establishment of a Watershed Watch program
under which volunteers are trained to monitor the biological conditions
in the river. The organization further expressed a willingness to work
with the Service and appropriate State agencies on restoration of
diamond darter populations in the Green River.
Our Response: The KYWA and TNC have acted proactively to protect
and restore the Green River and its aquatic species. The Service
appreciates these efforts and the offer to assist in diamond darter
recovery. We recognize that partnerships are essential for the
conservation of aquatic habitats and the diamond darter, and we look
forward to continuing to work with these organizations on Green River
restoration and diamond darter conservation.
(7) Comment: The WVCC, WVCA, WVFA, and WVONGA all commented that
data are insufficient to quantitatively define specific water quality
standards required by the diamond darter. These organizations noted
that conductivity was described as a threat to the diamond darter in
the proposed listing rule even though an appropriate conductivity range
for the diamond darter has not yet been established and scientific
studies have not conclusively shown that elevated conductivity causes
harm to fish species. These organizations stated that, if the final
rule suggests ideal water quality conditions for parameters such as
conductivity, these parameters should be based on observations where
the diamond darter population currently exists in the Elk River or on
direct testing on the diamond darter. Finally, the organizations
recommend that the use of the crystal darter (Crystallaria asprella) as
a surrogate for the diamond darter to establish water quality
parameters is not justified because the ranges of these two species do
not overlap and the two species are genetically distinct.
Our Response: See our responses to comments 12 and
13 in the final listing rule (78 FR 45074, July 26, 2013) for
a detailed response to the threat that conductivity poses to the
diamond
[[Page 52368]]
darter, and our approach to describing appropriate water quality
parameters for the diamond darter, including using data from surrogate
species.
(8) Comment: The WVCC, WVCA, WVFA, and WVONGA all suggested that
the DEA inappropriately fails to consider the potential economic
effects on Kanawha County, and that our justification that the county
``does not meet the definition of small government'' is insufficient.
They specifically mention a sentence on page ES-9 of the DEA.
Our Response: As described in Section 4.2.1 of the DEA, the
Economic Analysis takes into account all economic impacts that occur
within the study area, such as impacts to coal mining in Unit 1. The
study area includes Kanawha County; therefore, the economic impacts to
the County are analyzed in the DEA. The DEA sentence the commenter
mentioned refers specifically to the DEA's analysis of economic impacts
on small entities, including governmental entities. The DEA appendix
(see page A-2) further clarifies the definition of small entities under
the Small Business Regulatory Enforcement Flexibility Act (SBREFA; 5
U.S.C. 801 et seq.) as ``small governmental jurisdictions as
governments of cities, counties, towns, townships, villages, school
districts, or special districts with a population of less than
50,000.'' We note that Kanawha County has a population of 192,179,
which is more than the 50,000 population-level threshold. Therefore,
Kanawha County, by definition, cannot be considered ``small'' under the
SBREFA. However, Chapter 4 of the DEA, in particular Exhibit 4-1,
presents the overall economic impacts in the Unit 1 Study Area, which
includes all impacts within Kanawha and Clay Counties, West Virginia.
(9) Comment: The WVCC, WVONGA, and WVCA disagreed with the DEA's
assertion that, if time delay impacts to the resource extraction
industry were to occur, the impacts would be attributable to the
listing of the diamond darter and co-occurring mussel species rather
than to the designation of the diamond darter's proposed critical
habitat. The organizations also stated that the DEA fails to quantify
the likely impacts to the regulated community, particularly relative to
the coal mining and oil and natural gas production and manufacturing
industries.
Our Response: Page 4-2 of the DEA notes that approximately 66
consultations related to coal mining and natural gas production
activities are anticipated to occur over the next 20 years (a rate of
approximately 3 consultations annually), and that some of these
consultations may result in time delays. In addition, section 2.3.2
presents the DEA's methodology for identifying incremental impacts,
which relies partly upon the Service's Incremental Effects Memorandum
for the Economic Analysis for the Proposed Rule to Designate Critical
Habitat for the Diamond Darter (Incremental Memorandum) and which is
provided as DEA Appendix D. The Incremental Memorandum explains that
areas occupied by the diamond darter or other co-occurring listed
species are unlikely to incur incremental impacts (those associated
solely with a critical habitat designation) because ``there is a close
relationship between the health of the diamond darter and the health of
its habitat.'' This means that the conservation measures needed to
avoid adverse modification of critical habitat would typically already
be included in any measures required to avoid jeopardizing the
continued existence of the diamond darter. In other words, there would
be no substantial time delays in evaluating a project that has the
potential to affect critical habitat versus a project that has the
potential to affect the diamond darter.
As described in section 3.2.1, because consultations related to
coal mining and natural gas production would fall within occupied
habitat, the DEA finds that these consultations and any related time
delays would result from the listing of the diamond darter and the
presence of co-occurring listed mussel species, regardless of the
designation of diamond darter critical habitat. Based on the case law
and guidance from the U.S. Office of Management and Budget (OMB)
reviewed in Chapter 2 of the DEA, the DEA quantifies only those
economic impacts that are specifically attributable solely to the
designation of critical habitat, and provides a narrative description
of other forecast impacts that may stem from diamond darter
conservation efforts requested under the Act's jeopardy standard.
Accordingly, the DEA qualitatively describes, but does not quantify,
these potential impacts to coal mining and natural gas production
activities.
(10) Comment: The WVONGA and the WVCC stated that oil and natural
gas exploration and drilling have surged within the Study Area. Based
on this anticipated increased activity, the organizations expressed
concern that the DEA fails to consider future impacts of the proposed
critical habitat designation to oil and natural gas exploration and
drilling, including the adverse outcome of increased regulatory actions
that will impact the construction of stream crossings. The
organizations did not provide detailed information on trends within the
oil and natural gas industry to support the comment.
Our Response: As discussed in section 3.2.1 of the DEA, there is
considerable uncertainty about future demand levels for oil and natural
gas activity within the study area. If reliable projections of the
demand for oil and natural gas were available, we would incorporate
this information into the economic analysis. When drafting the DEA, we
contacted WVONGA to obtain more detailed or reliable projections of the
demand for oil and gas in the Study Area. However, WVONGA did not
respond to our requests for information. In addition, the comment
letters provided on the DEA did not provide any detailed information
that would allow us to estimate future trends in the demand for oil and
gas within the Study Area. Therefore, absent such projections, we rely
on historical permitting data to forecast future levels of economic
activity related to oil and natural gas exploration and drilling within
the Study Area.
(11) Comment: The WVCC, WVCA, WVONGA, and WVFA stated that the DEA
does not appropriately consider all economic impacts on small business
entities. The organizations disagreed with the Service's amended
determination certifying that, ``if promulgated, the proposed critical
habitat designation would not have a significant economic impact on a
substantial number of small business entities. Therefore, an initial
regulatory flexibility analysis is not required.'' The organizations
further stated that the amended determination should be reconsidered to
adequately account for the complete economic impact on small businesses
as required under the Regulatory Flexibility Act (RFA; 5 U.S.C. 601 et
seq.), as amended by SBREFA. The WVFA also expressed concern that small
businesses do not have sufficient unfilled working hours to manage the
consultation process that would be contracted to third party vendors.
Our Response: Section 7 of the Act is the regulatory mechanism
requiring Federal agencies, in consultation with the Service, to insure
that any action authorized, funded, or carried out by the agency is not
likely to jeopardize the continued existence of any threatened or
endangered species or result in the destruction or adverse modification
of critical habitat. Therefore, as discussed in our proposed rule and
notice of availability of the DEA, it is the Service's interpretation
of the definition of a ``directly regulated entity'' that only
[[Page 52369]]
Federal action agencies are subject to a regulatory requirement (i.e.,
to avoid adverse modification) as the result of the critical habitat
designation. Federal agencies are not considered small entities under
the RFA as amended by SBREFA. Accordingly, the Service has determined
that small businesses are not directly regulated by this designation of
critical habitat. Therefore, the Service may certify that the proposed
critical habitat rule will not have a significant economic impact on a
substantial number of small entities, and thus no additional analysis
is required.
However, we acknowledge that in some cases third-party proponents
of the action subject to Federal permitting or funding may participate
in a section 7 consultation and thus may be indirectly affected. While
these entities are not directly regulated, the DEA provides information
about the potential number of third parties participating in section 7
consultations on an annual basis and the associated per-consultation
cost. This information is included to ensure a robust examination of
the effects of the proposed diamond darter critical habitat. For
example, the DEA estimates that 258 small entities may be affected over
the next 20 years. This equates to an average of approximately 13
entities being affected per year. The large majority of these affected
entities (190 or 82 percent) would be agriculture and timbering
entities in Kentucky that would be receiving assistance through the
Natural Resources Conservation Service (NRCS). We note that
participation in NRCS assistance programs is voluntary. Potentially
affected small timbering and agricultural entities could choose not to
participate in these programs and thus not be affected by the critical
habitat designation.
In addition, NRCS assistance programs are typically designed to
restore ecological conditions and improve land management practices.
Funded activities include assistance to landowners to install riparian
buffers, improve water quality, and control nutrient and sediment
inputs into streams. Most of these activities would provide ecological
benefits to the diamond darter while also providing economic benefits
to the small entity that is receiving Federal assistance. Finally, NRCS
comments on the combined proposed listing and critical habitat rule
(NRCS 2013) indicated a desire to develop programmatic measures to
avoid and minimize any potential adverse effects to the diamond darter
in Kentucky, similar to the approach that was recently completed in
West Virginia. The development of programmatic measures would reduce
regulatory uncertainty and the costs associated with consultation for
both the Federal agencies and the 190 potentially affected small
entities below the level currently estimated in the DEA.
The remaining 68 potentially affected small entities would be
associated with resource extraction and other instream work. This
equates to an average of fewer than four affected small entities per
year. The DEA further estimates costs associated with each of these
activity types. The DEA Exhibit A-1 estimates incremental costs of
between $880 and $8,800 per entity; this cost is an impact of less than
0.1 percent to each entity's annual revenue. While we recognize that
each of the four entities affected per year may consider the cost to be
significant, the Service does not consider the total number of entities
and the associated potential costs to be substantial or significant,
respectively, under SBREFA. Based on our interpretation of the directly
regulated entities under the RFA and the evaluation of potential
impacts to third parties that may be affected by this designation, the
Service concludes that the designation of diamond darter critical
habitat as proposed will not have a significant economic impact on a
substantial number of small entities.
(12) Comment: The CBD suggested that the Service should consider
the economic benefits of protecting habitat for the diamond darter,
including ecosystem services, the protection of clean water and the
reduced cost of water treatment for drinking supplies, and the
environmental justice benefits of protecting human health from mining.
The CBD further stated that the Elk River is one of the most biodiverse
rivers in West Virginia and the Service should also consider the
economic benefits of preserving the State's natural heritage.
Our Response: Section 4.4 of the DEA discusses the economic
benefits of critical habitat designation. Quantifying and monetizing
the conservation and ancillary benefits associated with the proposed
critical habitat designation requires information on the incremental
change in the probability of diamond darter conservation that is
expected to result solely from the critical habitat designation. As
described in DEA Chapters 3 and 4, given the baseline protections
provided to the species (including the proposed listing of the diamond
darter), and the characteristics of the specific projects anticipated
to occur over the 20-year timeframe of the analysis, the designation of
critical habitat is unlikely to result in future project modifications.
Based on the case law and guidance from OMB reviewed in Chapter 2, the
DEA quantifies only those economic effects (both benefits and costs)
that are specifically attributable solely to the designation of
critical habitat. In addition, the CBD did not provide information that
would assist the Service in quantifying such benefits. As a result,
economic or environmental justice benefits are not expected to occur as
a result of the critical habitat designation and are, therefore, not
quantified in the DEA.
Summary of Changes From the Proposed Rule
This final rule incorporates appropriate changes to our proposed
critical habitat based on the comments we received, as discussed above,
and newly available scientific data. Substantive changes include new or
additional information on: (1) The potential space required to provide
for larval drift; (2) current conservation efforts conducted by private
organizations in the Green River; and (3) recent survey efforts on the
distribution of the diamond darter in the Elk River. We also clarify
(1) that we excluded areas from designation as unoccupied critical
habitat if extant museum specimens were not available that could be
independently verified as the diamond darter; (2) the text of PCE 2 and
associated discussions to indicate that the diamond darter requires
stream substrates that are not embedded with and are relatively free
from silts and clays, while being dependent on a natural abundance of
sand in the substrate; and (3) the use of the terms ``siltation'' and
``sedimentation.'' Although the discussion of our PCEs is somewhat
different from that in our proposed rule, the analysis and our
conclusions are a logical outgrowth of the proposed rule commenting
process, and none of the information changed our determination of
critical habitat for the diamond darter.
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
(a) Essential to the conservation of the species, and
[[Page 52370]]
(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 that are 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 resources 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 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)
of the Act 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 the first prong of the Act's definition of critical habitat,
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 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,
soil type) that are essential to the conservation of the species. The
PCEs are those specific elements of the physical or biological features
that provide for a species' life-history processes and are essential to
the conservation of the species.
Under the second prong of the Act's definition of critical habitat,
we can designate critical habitat in 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. 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 and commercial 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) section 9 of the Act's prohibitions on taking any
individual of the species, including taking caused by actions that
affect habitat. 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 this
species. Similarly, critical habitat designations made on the basis of
the best available data 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 addition, we recognize that climate change may cause changes in
the arrangement of occupied habitat and stream reaches. The synergistic
interaction between climate change and habitat fragmentation results in
a greater threat to biodiversity than climate change alone (Hannah and
Lovejoy 2003, p. 4). Current climate change predictions for the central
Appalachians indicate that aquatic habitats will be subject to
increased temperatures and drought stress, especially during the summer
and early fall. There will likely be an increase in the variability of
stream flow, and the frequency of extreme events, such as drought,
severe storms, and flooding is likely to increase statewide (Buzby and
Perry 2000, p. 1774; Byers and Norris 2011, p. 20). Species with
limited ranges and that have either natural or anthropomorphic barriers
to movement, such as the dams that fragment and isolate diamond
[[Page 52371]]
darter habitat, have been found to be especially vulnerable to the
effects of climate change (Byers and Norris 2011, p. 18).
Precise estimates of the location and magnitude of impacts from
global climate change and increasing temperatures cannot be made from
the currently available information. Nor are we currently aware of any
climate change information specific to the habitat of the diamond
darter that would indicate what areas may become important to the
species in the future. However, among the most powerful strategies for
the long-term conservation of biodiversity is establishment of networks
of intact habitats and conservation areas that represent a full range
of ecosystems and include multiple, robust examples of each type. The
principles of resiliency and redundancy are at the core of many
conservation planning efforts, and are increasingly important as the
stresses of climate change erode existing habitats (Byers and Norris
2011, p. 24). Therefore, we have attempted to incorporate these
principles into our determination of critical habitat by delineating
two units that are representative of the range of habitats currently
and previously occupied by the species.
Physical or Biological Features
In accordance with section 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 by the species at the time of listing to
designate as critical habitat, we consider the physical or biological
features 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.
We derive the specific physical or biological features essential
for the diamond darter from studies of this species' habitat, ecology,
and life history as described in the Critical Habitat section of the
proposed rule to list the diamond darter as endangered and designate
critical habitat published in the Federal Register on July 26, 2012 (77
FR 43906), and in the information presented below. Additional
information can be found in the final listing rule published in the
Federal Register on July 26, 2013 (78 FR 45074). Because diamond
darters are rare, very little information is available with which to
quantitatively define the optimal conditions or range of suitable
conditions for a specific biological or physical feature needed by the
species. When species-specific information is limited, we rely on
information from the crystal darter and other similar darter species.
Because the crystal darter is in the same genus, shares many similar
life-history traits, and was previously considered the same species as
the diamond darter, information on this species can reasonably be used
to suggest factors or conditions that may also be important to the
diamond darter. All of the available information is sufficient for us
to qualitatively discuss the PBFs needed to support the species. Based
on this review, we have determined that the diamond darter requires the
following physical or biological features:
Space for Individual and Population Growth and for Normal Behavior
The diamond darter inhabits moderate to large, warmwater streams
with clean sand and gravel substrates (Simon and Wallus 2006, p. 52).
Moderate- to large-sized warmwater streams are defined as fourth- to
eighth-order streams with a drainage area exceeding 518 square
kilometers (km\2\) (200 square miles (mi\2\)), and water temperatures
exceeding 20 [deg]C (68 [deg]F) at some point during the year (Winger
1981, p. 40; Oliverio and Anderson 2008, p. 12). In the Elk River,
adult diamond darters have been collected in transition areas between
riffles and pools where substrates were greater than 40 percent sand
and gravel (Welsh et al. 2004, p. 6; Osier 2005, p. 11; Welsh and Wood
2008, pp. 62-68). These habitat characteristics are similar to those
described for the crystal darter (Welsh et al. 2008, p. 1).
Many studies have found that the crystal darter does not occur in
areas with large amounts of silt, clay, detritus, or submerged
vegetation (George et al. 1996, p. 71; Shepard et al. 1999 in Osier
2005, p. 11; NatureServe 2008, p. 1). Substrates with high levels of
silt are unsuitable for the diamond darter. Siltation has been shown to
negatively impact fish growth, survival, and reproduction (Berkman and
Rabeni 1987, p. 285). Siltation is the pollution of water by fine
particulate terrestrial material, with a particle size dominated by
silt or clay. It refers both to the increased concentration of
suspended sediments and to the increased accumulation (temporary or
permanent) of fine sediments on stream bottoms. Both the diamond darter
and the crystal darter are noted to be particularly susceptible to the
effects of siltation and may have been extirpated from historical
habitats due to excessive siltation (Grandmaison et al. 2003, pp. 17-
18).
Siltation can result from increased sedimentation and erosion along
streambanks and roads and deposition caused by land-based disturbances
(Rosgen 1996, pp. 1-3). Additionally, coal mining, oil and gas
development, timber harvesting, and all-terrain vehicle use have been
identified as land-based disturbances that are sources of increased
erosion and siltation within the Elk River watershed (U.S.
Environmental Protection Agency 2001b, pp. 1-1, 3-4, 6; WVDEP 2008b, p.
1). Streambank erosion and the resulting sedimentation and siltation
can also be a source of increased channel instability (Rosgen 1996, pp.
1-3). Geomorphically stable streams transport sediment while
maintaining their horizontal and vertical dimensions (width/depth ratio
and cross-sectional area), pattern (sinuosity), longitudinal profile
(riffles, runs, and pools), and substrate composition, whereas unstable
streams cannot maintain these features (Rosgen 1996, pp. 1-3 to 1-6).
Thus, geomorphically stable streams maintain the riffles, pools, and
silt-free substrates necessary to provide typical habitats for the
diamond darter. Based on this information, geomorphically stable
streams with clean sand and gravel substrates and low levels of silt
are a critical component of diamond darter habitat.
Fragmentation and destruction of habitat has reduced the range of
the diamond darter to only one stream and has isolated the last
remaining population, reducing the currently available space for
rearing and reproduction. Small, isolated populations may have reduced
adaptive capability and an increased likelihood of extinction (Gilpin
and Soul[eacute] 1986, pp. 32-34; Noss and Cooperrider 1994, p. 61).
Continuity of water flow and connectivity between remaining suitable
habitats is essential in preventing further fragmentation of the
species' habitat and population. Free movement of water within the
stream allows darters to move between available habitats. This is
necessary to provide sufficient space for the population to grow and to
promote genetic flow
[[Page 52372]]
throughout the population. Continuity of habitat helps to maintain
space for spawning, foraging, and resting sites, and also permits
improvement in water quality and water quantity by allowing
unobstructed water flow throughout the connected habitats. Thus, free
movement of water that provides connectivity between habitats is
necessary to support diamond darter populations.
Little information is available on the amount of space needed by
either the diamond darter or the crystal darter for population growth
and normal behavior. Many individuals of other darter species that use
similar habitat types have been found to remain in one habitat area
during short-term mark-and-recapture studies. However, upstream and
downstream movements of other darters between riffles and between
riffles and pools have been documented. Within-year movements typically
ranged from 36 to 420 meters (m) (118.1 to 1,378.0 feet (ft)), and
movements of up to 4.8 km (3.0 mi) have been documented (May 1969, pp.
86-87, 91; Freeman 1995, p. 363; Roberts and Angermeier 2007, pp. 422,
424-427).
In addition, a number of researchers have suggested that
Crystallaria move upstream to reproduce, and that free-floating young-
of-the-year disperse considerable distances downstream during spring
high water where they eventually find suitable habitat to grow and
mature (Stewart et al. 2005, p. 472; Hrabik 2012, p. 1). This suggests
that Crystallaria may make long-distance movements in large rivers.
This type of migratory behavior has been documented in bluebreast
darters (Etheostoma camurum) (Trautman 1981, pp. 673-675). This species
inhabits moderate to large-sized streams with low turbidity and is
typically found in riffles, similar to the diamond darter. Trautman
(1981, pp. 673-675) found that bluebreast darters were well-distributed
throughout a 51-km (32-mi) reach of river during the breeding season,
but that there was a reduction in numbers in the upper half of this
reach starting in September and continuing through late winter to early
spring. There was a corresponding increase in numbers in the lower half
of the reach during this time. Individual darters captured in the
spring were documented to have moved 152 m (500 ft) in a single day. In
September and October, Trautman captured bluebreast darters in deep,
low-velocity pools, which are not typical habitats for the species. He
concluded that bluebreast and other darter species migrated upstream in
spring and downstream in the fall (Trautman 1981, pp. 673-675).
After hatching, diamond darter larvae are pelagic and drift within
the water column (Osier 2005, p. 12; Simon and Wallus 2006, p. 56;
NatureServe 2008, p. 1). The larva may drift downstream until they
reach slower water conditions such as pools, backwaters, or eddies
(Lindquist and Page 1984, p. 27). It is not known how long diamond
darters or crystal darters remain in this pelagic phase. The only known
record of a young diamond darter captured in the wild was from benthic
trawl surveys conducted in the Elk River somewhere near the confluence
with the Kanawha River. We have been unable to determine the exact
location of this capture, so we cannot determine how far downstream
from known adult darter capture locations this young was found
(Cincotta 2009a, p. 1). For more information on diamond darter larva
drift, please see the Summary of Biological Status and Threats section
of the final listing rule (78 FR 45074, July 26, 2013).
Based on this information, free movement between habitat types
within a significant length of stream may be important to provide
sufficient space to support genetic mixing and normal behavior of the
diamond darter, including potential upstream movements during the
breeding period and downstream larval drift.
Based on the biological information and needs discussed above, we
identify connected riffle-pool complexes in moderate- to large-sized
(fourth- to eighth-order), warmwater streams that are geomorphically
stable with moderate current, clean sand and gravel substrates, and low
levels of siltation to be physical or biological features essential to
the conservation of the diamond darter.
Food, Water, Air, Light, Minerals, or Other Nutritional or
Physiological Requirements
Feeding habits of the diamond darter in the wild are not known.
However, diamond darters kept in captivity were fed and survived on
live blackworms, daphnia, and dragonfly larvae, frozen bloodworms, and
adult brine shrimp (Ruble et al. 2010, p. 4). When in captivity,
diamond darters were also observed resting on the bottom of the tank
and taking food from slightly above their position, in front of them,
or off the bottom (Welsh 2009c, p. 1). Diamond darters may also use an
ambush foraging tactic by burying in the substrate and darting out at
prey (Robinson 1992 and Hatch 1997 in Osier 2005, pp. 12-13;
NatureServe 2008, p. 1; Ruble 2011c, p. 1). Researchers, therefore,
expect that, similar to the crystal darter, adult diamond darters are
benthic invertivores (NatureServe 2008, p. 8). Adult crystal darters
eat midge and caddisfly larvae, and water mites in lesser quantities
(Osier 2005, p. 13).
Similarly, juvenile and young crystal darters feed on immature
stages of aquatic insects such as mayflies, craneflies, blackflies,
caddisflies, and midges (Simon and Wallus 2006, pp. 56-57). Juvenile
diamond darters hatched in captivity had teeth and a large gape width,
which suggests that the larvae may feed on other smaller fish larvae
(Ruble et al. 2010, p. 15). Researchers were unable to confirm this
hypothesis due to poor survivorship of the diamond darter larvae and
lack of available smaller fish larvae to provide as a potential food
source (Ruble et al. 2010, pp. 12-14). Juveniles may also eat
zooplankton prey, which is more typical for pelagic larval percids
(Rakes 2011, p. 1). This information suggests that loose sand and
gravel substrates suitable for ambush feeding behavior and healthy
populations of benthic invertebrates and fish larvae for prey items are
required to support the feeding requirements of the diamond darter.
Like most other darters, the diamond darter depends on clean water
and perennial stream flows to successfully complete its life cycle
(Page 1983, pp. 160-170). Sufficient water quality and quantity is
required to support normal reproduction, growth, and survival. Because
so few diamond darters have been captured, available data are
insufficient to quantitatively define the standards for water quantity
or quality that are required to support the species. However, some data
available from areas that are known to support the diamond darter or
the closely related crystal darter provide examples of suitable
conditions.
Water quantity, including depth and current velocity, are known to
be important habitat characteristics that determine whether an area is
suitable to support a specific species of fish (Osier 2005, p. 3).
Sites where Crystallaria have been captured are consistently described
as having moderate to strong velocities (Grandmaison et al. 2003, p. 4;
Osier 2005, p. 15). Moderate to strong velocities contribute to the
clean-swept substrates and lack of silt commonly reported in documented
crystal darter habitat (Osier 2005, p. 11). In the Elk River, the
diamond darter has been collected from transition areas between riffles
and pools at depths from 50 to 150 centimeters (cm) (20 to 59 inches
(in)) and in moderate to strong velocities that are typically greater
than 20 cm/second (sec) (8 in/sec) (Osier 2005, p. 31). Similarly, the
crystal darter has
[[Page 52373]]
been described as generally inhabiting waters deeper than 60 cm (24 in)
with strong currents typically greater than 32 cm/sec (13 in/sec)
(Grandmaison et al. 2003, p. 4). Crystal darters were collected in
Arkansas in water from 114 to 148 cm (45 to 58 in) deep with current
velocities between 46 and 90 cm/sec (18 and 35 in/sec) (George et al.
1996 in Grandmaison et al. 2003, p. 4). Many of the measurements were
taken at base or low flows when it is easiest to conduct fish surveys.
Current velocity, water depth, and stream discharge are interrelated
and variable, dependent on seasonal and daily patterns of rainfall
(Bain and Stevenson 1999, p. 77; Grandmaison et al. 2003, p. 4).
Therefore, velocities and depths at suitable habitat sites may change
over time, or diamond darters may also move to other locations within a
stream as seasonal and daily velocity and depth conditions change.
Water quality is also important to the persistence of the diamond
darter. Specific water quality requirements (such as temperature,
dissolved oxygen, pH, and conductivity) for the species have not been
determined, but existing data provide some examples of conditions where
Crystallaria were present. It is not known whether existing water
quality conditions at capture sites are adequate to protect all life
stages of Crystallaria species. Diamond darters were successfully
maintained in captivity when water temperatures did not go below 2
[deg]C (35.6[emsp14][deg]F) in the winter or above 25 [deg]C
(77[emsp14][deg]F) in the summer (Ruble et al. 2010, p. 4). In
Arkansas, crystal darter capture areas had dissolved oxygen levels that
ranged from 6.81 to 11.0 parts per million; pH levels from 5.7 to 6.6;
specific conductivities from 175 to 250 [mu]S/cm, and water
temperatures from 14.5 to 26.8 [deg]C (58 to 80[emsp14][deg]F) (George
et al. 1996, p. 71). In general, optimal water quality conditions for
warmwater fishes are characterized as having moderate stream
temperatures, high dissolved oxygen concentrations, and near-neutral pH
levels. They are also characterized as lacking harmful levels of
conductivity or pollutants including inorganic contaminants like iron,
manganese, selenium, and cadmium; and organic contaminants such as
human and animal waste products, pesticides and herbicides,
fertilizers, and petroleum distillates (Winger 1981, pp. 36-38; Alabama
Department of Environmental Management 1996, pp. 13-15; Maum and
Moulton undated, pp. 1-2). Good water quality that is not degraded by
inorganic or organic pollutants, low dissolved oxygen, or excessive
conductivity is an important habitat component for the diamond darter.
Impoundment was one of the most direct and dramatic historical
causes of diamond darter habitat loss. Impoundment of rivers for
navigation may have been the final factor resulting in extirpation of
the diamond darter from many of its historical habitats. Impoundment
alters the quantity and flow of water in rivers, reduces or eliminates
riffle habitats, reduces current velocities, and increases the amount
of fine particles in the substrate (Rinne et al. 2005, pp. 3-5, 432-
433). Diamond darters have been extirpated from many areas as a result
of these effects (Grandmaison et al. 2003, p. 18; Trautman 1981, p.
25). Excessive water withdrawals can also reduce current velocities,
reduce water depth, increase temperatures, concentrate pollution
levels, and result in deposition of fine particles in the substrate,
making the areas less suitable to support the diamond darter
(Pennsylvania State University 2010, p. 9; Freeman and Marcinek 2006,
p. 445). An ample and unimpeded supply of flowing water that closely
resembles natural peaks and lows typically maintains riffle habitats,
transports nutrients and food items, moderates water temperatures and
dissolved oxygen levels, removes fine sediments that could damage
spawning or foraging habitats, and dilutes non-point-source pollutants.
Therefore, an unimpeded flowing water supply is essential to the
diamond darter.
Based on the biological information and needs discussed above, we
identify perennial streams with moderate velocities, seasonally
moderated temperatures, good water quality, loose sand and gravel
substrates, and healthy populations of benthic invertebrates and fish
larvae for prey items to be physical or biological features essential
to the conservation for the diamond darter. We also identify an ample
and unimpeded supply of flowing water that closely resembles natural
peaks and lows to be essential to the conservation for the diamond
darter.
Cover or Shelter
Adult diamond darters and crystal darters typically have been
captured in riffle-pool transition areas with predominately (greater
than 20 percent each) sand and gravel substrates (Osier 2005, pp. 51-
52). Diamond darters will bury in these types of substrates for cover
and shelter. Individuals observed in captivity were frequently seen
either completely buried in the substrate during the day or partially
buried with only the head (eyes and top of the snout) out of the
substrate. However, individuals were often on top of the substrate at
night time (Welsh 2009c, p. 1). Burying occurred by the individual
rising slightly up above the substrate and then plunging headfirst into
the sand and using its tail motion to burrow (Welsh 2009c, p. 1). This
type of burying behavior has also been reported in the crystal darter
(Osier 2005, p. 11; NatureServe 2008, p. 1).
Substrates that are heavily embedded with silts and clays may
impede this behavior. Embeddedness is the degree that cobble or gravel
substrates are impacted by being surrounded or covered by fine silt and
clay materials (Shipman 2000, p. 12). Embedded substrates are not
easily dislodged, and would therefore be difficult for the diamond
darter to burrow into for cover. Heavily embedded substrates can be the
result of human activities increasing the amount of sedimentation and
siltation occurring in the stream (Shipman 2000, p. 12). While some
definitions of embeddedness include sands as ``fines'' that increase
embeddedness, naturally sandy streams are not considered embedded.
However, a sand-predominated stream that is the result of anthropogenic
activities that have buried the natural course substrates is considered
embedded (Barbour et al. 1999, pp. 5-13; Shipman 2000, p. 12). The
diamond darter requires substrates unembedded with silts and clays with
a naturally high percentage of sands intermixed with loose gravel to
fulfill these life-history requirements.
Variability in the substrate and available habitat is also an
important sheltering requirement for the diamond darter. Darters may
shift to different habitat types during different life phases, or due
to changing environmental conditions such as high water or warm
temperatures (Osier 2005, p. 7). Deeper or sheltered habitats may
provide refuge during warm weather, and it has been suggested that
Crystallaria species may use deeper pools during the day (Osier 2005,
p. 10). Substrate variety, such as the presence of boulders or woody
materials, may provide velocity shelters for young darters during high
flows (Osier 2005, p. 4). Larval and young diamond darters may also use
pools (Rakes 2013, p. 1). Darter larva may be poorly developed
skeletally and unable to hold position or swim upstream where stronger
currents exist (Lindquist and Page 1984, p. 27). The slower velocity
habitats found in pools may provide darter larva with refuge from
strong currents and allow them to find cover and forage (Lindquist and
Page 1984, p. 27).
[[Page 52374]]
Based on the biological information and needs discussed above, we
identify riffle-pool transition areas with relatively silt-free sand
and gravel substrates, as well as access to a variety of other
substrate and habitat types, including pool habitats, to be physical or
biological features essential to the conservation for the diamond
darter.
Sites for Breeding, Reproduction, or Rearing (or Development) of
Offspring
Very little information is available on reproductive biology and
early life history of the diamond darter (Welsh et al. 2008, p. 1;
Ruble and Welsh 2010, p. 1), and to date, only one young-of-the-year of
this species has been found in the wild. We have not been able to
obtain specific information on this collection, which probably occurred
in 2007 in the Elk River near the confluence with the Kanawha River,
West Virginia (Cincotta 2009a, p. 1). However, research on reproductive
biology of the species is being conducted by Conservation Fisheries
Inc. (CFI) in partnership with the U.S. Geological Service (USGS) West
Virginia Cooperative Fish and Wildlife Research Unit at West Virginia
University. Five individual diamond darters, consisting of at least
three females, one male, and one of undetermined sex, have been held in
captivity at the CFI facility and were maintained in simulated stream
conditions. Water temperature and daylight were also adjusted
throughout the seasons to simulate natural fluctuations that would be
experienced in the wild (Ruble and Welsh 2010, p. 2).
Spawning began when water temperatures were consistently above 15
[deg]C and ceased when temperatures reached 22 [deg]C (Ruble 2011b, p.
2). Females showed signs of being gravid from late March to May (Ruble
et al. 2010, pp. 11-12). Both eggs and hatched larvae were observed in
April (Ruble et al. 2010, pp. 11-12; Ruble 2011, p. 1). Peak breeding
time is likely mid-April when water temperatures range from 15 to 20
[deg]C (59 to 68[emsp14][deg]F) (Ruble et al. 2010, p. 12). Although
incubation time is difficult to determine because most eggs that
survived already showed considerable development, it is estimated that,
at 15 [deg]C (59[emsp14][deg]F), hatch time is 7 to 9 days (Ruble et
al. 2010, p. 11). Although eggs were produced every year, no young have
survived and matured (Ruble et al. 2010, pp. 11-12; Ruble 2011b, p. 1).
Because no young have been successfully maintained in captivity and
no studies of wild populations are available, we are not able to
quantify the range of water quality conditions needed for successful
reproduction. Factors that can impair egg viability include high
temperatures, low oxygen levels, siltation, and other water quality
conditions (Ruble 2011b, p. 2). Inadequate water flow through the
substrate or low oxygen levels within the substrate can lead to poor
egg development or poor larval condition (Ruble 2011b, p. 2).
In addition to information from the CFI diamond darter reproduction
study, there is some information available on crystal darter
reproduction (Welsh et al. 2008, p. 1). In Arkansas, the reproductive
season was from late January through mid-April, which roughly
correlates with early April in the Ohio River Basin (George et al.
1996, p. 75; Simon and Wallus 2006, p. 52). Evidence suggests that
females are capable of multiple spawning events and producing multiple
clutches of eggs in one season (George et al. 1996, p. 75). Spawning
occurs in the spring when the crystal darters lay their eggs in side
channel riffle habitats over sand and gravel substrates in moderate
current. Adult darters do not guard their eggs (Simon and Wallus 2006,
p. 56). Embryos develop in the clean interstitial spaces of the coarse
substrate (Simon and Wallus 2006, p. 56). After hatching, the larvae
are pelagic and drift within the water column (Osier 2005, p. 12; Simon
and Wallus 2006, p. 56; NatureServe 2008, p. 1).
Based on the biological information and needs discussed above, we
identify streams with naturally fluctuating and seasonally moderated
water temperatures, high dissolved oxygen levels, and clean, relatively
silt-free sand and gravel substrates to be physical or biological
features essential to the conservation for the diamond darter.
Habitats That Are Protected From Disturbance or Are Representative of
the Historical, Geographical, and Ecological Distributions of a Species
As described above, clean, stable substrates, good water quality,
and healthy benthic invertebrate populations are habitat features
essential to the diamond darter. Direct disturbance, alteration, or
fill of instream habitat can degrade these essential features; kill or
injure adult fish, young, or eggs; destabilize the substrates leading
to increased sedimentation and erosion; and reduce the amount of
available food and habitat to support fish populations. These impacts
make the area less suitable for fish such as the diamond darter (Reid
and Anderson 1999, pp. 235-245; Levesque and Dube 2007, pp. 396-402;
Welsh 2009d, p. 1; Penkal and Phillips 2011, pp. 6-7). Direct
disturbance and instream construction can also increase substrate
compaction and silt deposition within the direct impact area and
downstream. This reduces water flow through the substrate, and
increases substrate embeddedness (Reid and Anderson 1999, p. 243;
Levesque and Dube 2007, pp. 396-397; Penkal and Phillips 2011, pp. 6-
7). This can impede the normal burrowing behavior of the diamond
darter, which is required for successful foraging and shelter, degrade
spawning habitat, result in the production of fewer and smaller eggs,
and impair egg and larvae development (Reid and Anderson 1999, pp. 244-
245; Levesque and Dube 2007, pp. 401-402).
Intact riparian vegetation is also an important component of
aquatic habitats that support the diamond darter. Darters are
particularly susceptible to impacts associated with disturbance to
riparian vegetation such as alteration of instream habitat
characteristics and increased sedimentation and siltation (Jones et al.
1999, pp. 1461-1462; Pusey and Arthington 2003, p. 1). Removal of
riparian vegetation can lead to decreases in fish species, such as the
diamond darter, that do not guard eggs or that are dependent on swift,
shallow water that flows over relatively sediment-free substrates
(Jones et al. 1999, p. 1462). Thus, avoiding disturbances to streambeds
and banks is important to maintaining stable substrates, food
availability, successful reproduction, and habitat suitability for the
diamond darter.
All current and historical capture locations of the diamond darter
are from moderate- to large-sized (fourth- to eighth-order), warmwater
streams within the Ohio River Watershed (Welsh 2008, p. 3; Southeast
Aquatics Resources Partnership 2011, pp. 1-19). The species was
historically distributed in at least four major drainages throughout
the watershed and is now likely extirpated from Ohio, Kentucky, and
Tennessee. The current range is restricted to a small segment of one
river within West Virginia. Therefore, the current range of the species
is not representative of the historical or geographical distribution of
the species and is not sufficient for the conservation of the diamond
darter. Given that the current distribution is restricted to
approximately 45 km (28 mi) within one river, the species is vulnerable
to the threats of reduced fitness through genetic inbreeding, and
extinction from a combination of cumulative effects or a single
catastrophic event such as a toxic chemical spill (Gilpin and Soule
[[Page 52375]]
1986, pp. 23-33; Noss and Cooperrider 1994, p. 61). In addition,
because the current range is isolated from other suitable habitats due
to the presence of dams and impoundments, the species has limited
ability to naturally expand its current range and recolonize previously
occupied habitats (Warren et al. 2000 in Grandmaison et al. 2003, p.
18). A species' distribution that includes populations in more than one
moderate to large river within the Ohio River watershed would provide
some protection against these threats and would be more representative
of the historical geographic distribution of the species.
Based on the biological information and needs discussed above, we
identify stable, undisturbed streambeds and banks, and ability for
populations to be distributed in multiple moderate- to large-sized
(fourth- to eighth-order) streams throughout the Ohio River watershed
to be physical or biological features essential to the conservation for
the diamond darter.
Primary Constituent Elements for the Diamond Darter
Under the Act and its implementing regulations, we are required to
identify the physical or biological features (PBFs) essential to the
conservation of the diamond darter in areas occupied at the time of
listing, focusing on the features' primary constituent elements (PCEs).
The PCEs are those specific elements of the PBFs that provide for a
species' life-history processes and are essential to the conservation
of the species.
Based on our current knowledge of the PBFs and habitat
characteristics required to sustain the species' life-history
processes, we determine that the PCEs specific to the diamond darter
are:
(1) PCE 1--A series of connected riffle-pool complexes with
moderate velocities in moderate- to large-sized (fourth- to eighth-
order), geomorphically stable streams within the Ohio River watershed.
(2) PCE 2--Stable, undisturbed sand and gravel stream substrates,
that are relatively free of and not embedded with silts and clays.
(3) PCE 3--An instream flow regime (magnitude, frequency, duration,
and seasonality of discharge over time) that is relatively unimpeded by
impoundment or diversions such that there is minimal departure from a
natural hydrograph.
(4) PCE 4--Adequate water quality characterized by seasonally
moderated temperatures, high dissolved oxygen levels, and moderate pH,
and low levels of pollutants and siltation. Adequate water quality is
defined as the quality necessary for normal behavior, growth, and
viability of all life stages of the diamond darter.
(5) PCE 5--A prey base of other fish larvae and benthic
invertebrates including midge, caddisfly, and mayfly larvae.
Special Management Considerations or Protections
When designating critical habitat, we assess whether the specific
areas within the geographical area occupied by the species at the time
of listing contain features which are essential to the conservation of
the species, and which may require special management considerations or
protection. The area we are designating as currently occupied critical
habitat for the diamond darter is not under special management or
protection provided by a legally operative management plan or agreement
specific to conservation of the diamond darter, and has not been
designated as critical habitat for other species under the Act. This
unit will require some level of management to address the current and
future threats to the PBFs of the diamond darter. Various activities in
or adjacent to the critical habitat unit described in this rule may
affect one or more of the PCEs and may require special management
considerations or protection. Some of these activities include, but are
not limited to, resource extraction (coal mining, timber harvests, and
natural gas and oil development activities), construction and
maintenance projects, stream bottom disturbance from sewer, gas, and
water lines, removal of riparian vegetation, and other sources of non-
point-source pollution.
Management activities that could ameliorate these threats include,
but are not limited to: use of best management practices designed to
reduce sedimentation, erosion, and streambank destruction; development
of alternatives that avoid and minimize streambed disturbances;
implementation of regulations that control the amount and quality of
point-source discharges; and reduction of other watershed and
floodplain disturbances that release sediments or other pollutants.
Special management consideration or protection may be required to
eliminate, or to reduce to negligible levels, the threats affecting the
physical or biological features of each unit. Additional discussion of
threats facing individual units is provided in the individual unit
descriptions below.
Criteria Used To Identify Critical Habitat
As required by section 4(b)(2)(A) of the Act, we use the best
scientific data available to designate critical habitat. We reviewed
the available information pertaining to the habitat requirements of the
species. In accordance with the Act and its implementing regulation at
50 CFR 424.12(e), we considered 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. As
discussed in more detail below, we are designating as critical habitat
all habitat that is occupied by the species at the time of listing in
2013; that is, the lower Elk River. This river reach constitutes the
entire current range of the species. We are also designating one
specific area outside the geographical area occupied by the species at
the time of listing, but that was historically occupied, because we
have determined this area is essential for the conservation of the
species.
For our evaluation of critical habitat, we reviewed available
literature, reports, and field notes prepared by biologists, as well as
historical and current survey results. We also spoke to fisheries
experts and conservation professionals that are familiar with darters
or the current status of aquatic systems within the current and
historical range of the diamond darter.
To identify currently occupied habitats, we delineated known
capture sites and reviewed habitat assessments and mapping efforts that
have been conducted on the Elk River. Known occurrences of the diamond
darter are extremely localized, and the species can be difficult to
locate. Because it is reasonably likely that this rare and cryptic
species is present in suitable habitats outside the immediate locations
of the known captures, we considered the entire reach between the
uppermost and lowermost known collection locations as occupied habitat.
We also included some areas of the mainstem Elk River that have not
been specifically surveyed for diamond darters but have been determined
to have suitable habitat for the species based on species-specific
habitat assessments (Osier 2005, pp. ii-50). These areas are contiguous
with known capture sites, have similar habitat characteristics, have no
barriers to dispersal, and are within general darter dispersal
capabilities including upstream spawning movements and downstream
larval drift. In addition, river habitats are highly dependent on
upstream and downstream habitat
[[Page 52376]]
conditions for their maintenance, so these contiguous areas upstream
and downstream are critical to maintaining habitat conditions of known
capture sites.
Because we have not been able to obtain a precise location of the
young diamond darter that was captured in the Elk River somewhere near
the confluence with the Kanawha River, this capture was not included in
the analysis. We cannot be sure whether the capture location of this
young diamond darter is downstream of or within the critical habitat
designation for this unit.
Areas of the Elk River downstream of the unit near the confluence
with the Kanawha River that do not currently provide the PCEs required
to support the species, and no longer have suitable habitat
characteristics, were not included. Specifically, the reach of the Elk
River downstream of the unit to the confluence with the Kanawha River
is affected by impoundment from the Winfield Lock and Dam on the
Kanawha River. It is also routinely dredged for commercial navigation
by the ACOE.
The portion of the Elk River upstream of the designated unit may
provide suitable habitat for the diamond darter, but we have no records
of diamond darters being captured in this reach. The upper Elk River
reach does contain the favorable general habitat characteristics of
riffle-pool complexes with sand and gravel substrates, and there are no
barriers to upstream fish movement (Service 2008, entire). However,
only limited survey efforts and no diamond darter species-specific
habitat assessments have been conducted that would allow us to further
refine our assessment of whether this area contains any of the PCEs
necessary to support the species. Surveys at four shoals in this
upstream reach were conducted in 2012, and no diamond darters were
located (Welsh et al. 2012, p. 10). Additional survey efforts may
further define whether the upstream area is occupied by the diamond
darter or which, if any, PCEs are present that may require special
management considerations. As a result, we are not proposing to
designate additional critical habitat upstream of King Shoals.
We have not included Elk River tributaries as part of the
designation because we have no records of the diamond darter occurring
in those locations, and there have been no species-specific habitat
assessments in the tributaries documenting that these areas are
suitable to support the species.
We then considered whether occupied habitat was adequate for the
conservation of the species. As just described, currently occupied
habitats of the diamond darter are highly localized and isolated, and
are restricted to one reach of the Elk River. The range has been
severely curtailed, and population size is small. Small isolated
aquatic populations are subject to chance catastrophic events and to
changes in human activities and land use practices that may result in
their elimination. Threats to the diamond darter are imminent and are
present throughout the entire range of the species. As described in the
final listing rule (78 FR 45074, July 26, 2013), these threats are
compounded by its limited distribution and isolation, making the
species extremely vulnerable to extinction; therefore, it is unlikely
that currently occupied habitat is adequate for its conservation (Soule
1980, pp. 157-158; Noss and Cooperrider 1994, p. 61; Hunter 2002, pp.
97-101; Allendorf and Luikart 2007, pp. 117-146). Larger, more
dispersed populations can reduce the threat of extinction due to
habitat fragmentation and isolation (Harris 1984, pp. 93-104; Noss and
Cooperrider 1994, pp. 264-297; Warren et al. 2000 in Grandmaison et al.
2003, p. 18). For these reasons, we find that conservation of the
diamond darter requires expanding its range into suitable, currently
unoccupied portions of its historical habitat. The inclusion of
essential, unoccupied areas will provide habitat for population
reintroduction and will improve the species' status through added
redundancy, resiliency, and representation.
To identify areas of unoccupied habitat that should be designated
as critical habitat, we first selected rivers that had historical
records confirmed to be of the diamond darter. By examining available
museum specimens, we were able to independently verify the accuracy of
the historical record. For rivers that had more than one historical
capture, approximate capture locations were mapped so that the minimum
previously occupied extent could be established. We then identified
areas of contiguous habitat that still contained characteristics
sufficient to support the life history of the species. Areas that no
longer provided suitable habitat, were impounded, or did not contain a
series of connected riffle-pool complexes were eliminated from
consideration. For river reaches that passed this initial screen, we
then applied the following criteria to identify the unoccupied,
potential critical habitat: (1) The reach supports fish species with
habitat preferences similar to the diamond darter such as the shoal
chub (Macrhybopsis hyostoma) and the streamline chub; (2) the reach
supports diverse populations of fish and mussels including other
sensitive, rare, or threatened and endangered species; and (3) the
reach has special management or protections in place such as being a
designated wild river or exceptional use waters under State law. Only
one reach that we identified, in the Green River of Kentucky, met all
three criteria. Applying these criteria, we confirmed that the
identified area had high-quality habitats sufficient to support the
species and could be managed for the conservation of the species. No
other areas were identified that met all three criteria.
Next, we delineated the upstream and downstream boundaries of the
unit on the Green River: The Green River immediately downstream of
Green River Lake (River Mile 308.8 to 294.8) is excluded from the
designated critical habitat unit due to artificially variable flow,
temperature, and dissolved oxygen conditions resulting from periodic
discharges from Green River Dam. Fish community data collected between
Greensburg and Green River Dam indicate a general trend of increasing
species richness and abundance from Tebb's Bend (approximately 2.7 km
(1.7 mi) below the dam) downstream to Roachville Ford (approximately
22.7 km (14.1 mi) below the dam). Also, some relatively intolerant
benthic fish species present at Roachville Ford and other sites
downstream within The Nature Conservancy's designated Green River
Bioreserve are absent at Tebb's Bend, including mountain madtom
(Noturus eleutherus), spotted darter (Etheostoma maculatum), and
Tippecanoe darter (Etheostoma tippecanoe) (Thomas et al. 2004, p. 10).
In contrast with Roachville Ford and other downstream sites, cobble and
gravel substrates at Tebb's Bend are coated with a black substance
characteristic of manganese and iron, which precipitates out and is
deposited on the streambed following hypolimnetic discharge from
reservoirs (Thomas 2012, p. 1). Because fish community structure and
habitat conditions at Roachville Ford are more similar to other
downstream locations that are not affected by impoundment, this
location (River Mile 294.8) represents the upstream limit of the
designated critical habitat section, which continues downstream to Cave
Island (River Mile 200.3) within Mammoth Cave National Park (NP).
Downstream of Cave Island, the Green River becomes affected by
impoundment from the ACOE Lock and Dam 6. The lock and dam was
constructed in 1906 and was disabled in 1950. Although the lock has
been disabled and is becoming unstable, the
[[Page 52377]]
dam still partially impedes water flow, resulting in a system with
slower, warmer water and a loss of riffle and shoal habitat types
(Grubbs and Taylor 2004, p. 26; Olson 2006, pp. 295-297). The
delineation between the portions of the river affected by Lock and Dam
6 and those that retain free-flowing characteristics occurs
distinctly at Cave Island (Grubbs and Taylor 2004, pp. 19-26). There is
a marked decrease in benthic macroinvertebrates that are intolerant of
siltation below this point, which is attributable to slower current
velocities and a lack of shallow riffles and associated course
sediments (Grubbs and Taylor 2004, p. 26). For these reasons, Cave
Island was selected as the downstream limit of the critical habitat
designation in this unit.
Once we determined the areas of the Elk and Green Rivers that met
our criteria, we used ArcGIS software and the National Hydrography
Dataset (NHD) to delineate the specific river reaches being designated.
These areas include only Elk River and Green River mainstem stream
channels within the ordinary high-water line. We set the upstream and
downstream limits of each critical habitat unit by identifying
landmarks (islands, confluences, roadways, crossings, dams) that
clearly delineated each river reach. Stream confluences are often used
to delineate the boundaries of a unit for an aquatic species because
the confluence of a tributary typically marks a significant change in
the size or habitat characteristics of the stream. Stream confluences
are logical and recognizable termini. When a named tributary was not
available, or if another landmark provided a more recognizable
boundary, another landmark was used. In the unit descriptions,
distances between the upstream or downstream extent of a stream segment
are given in kilometers rounded to one decimal point and equivalent
miles. Distances for the Elk River were measured by tracing the course
of the stream as depicted by the NHD. Distances for the Green River
were measured using river miles as designated by the Kentucky Division
of Water, which were generated using the NHD.
When determining critical habitat boundaries within this final
rule, we made every effort to avoid including developed areas such as
lands covered by buildings, pavement, and other structures because such
lands lack physical or biological features essential for the
conservation of the diamond darter. 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 final rule have been excluded by text in the rule
and are not designated as critical habitat. Therefore, a Federal action
involving these lands will not trigger section 7 consultation with
respect to critical habitat and the requirement of no adverse
modification unless the specific action would affect the physical or
biological features in the adjacent critical habitat. The designation
of critical habitat does not imply that streams outside of critical
habitat do not play an important role in the conservation of the
diamond darter.
The critical habitat designation is defined by the map or maps, as
modified by any accompanying regulatory text, presented at the end of
this document in the rule portion. We include more detailed information
on the boundaries of the critical habitat designation in the preamble
of this document. We will make the coordinates or plot points or both
on which each map is based available to the public on https://www.regulations.gov at Docket No. FWS-R5-ES-2013-0019, on our Web site
at https://www.fws.gov/westvirginiafieldoffice/, and at the
West Virginia Field Office (see FOR FURTHER INFORMATION CONTACT above).
Final Critical Habitat Designation
We are designating two units as critical habitat for the diamond
darter. The critical habitat areas we describe below constitute our
current best assessment of areas that meet the definition of critical
habitat for the diamond darter. Those units are: (1) The lower Elk
River; and (2) the Green River. Table 1 shows the occupancy of the
units and the ownership of the designated areas for the diamond darter.
Table 1--Occupancy and Ownership of Designated Diamond Darter Critical Habitat Units.
--------------------------------------------------------------------------------------------------------------------------------------------------------
Federal, State,
or other public Private Total length km
Unit Location Occupied? ownership km ownership km (mi)
(mi) (mi)
--------------------------------------------------------------------------------------------------------------------------------------------------------
1....................................... lower Elk River............. yes....................... 45.0* (28.0) *** 45.0 (28.0)
2....................................... Green River................. no........................ 16.3 (10.1) 135.8 (84.4) 152.1 (94.5)
-----------------------------------------------------
Total**............................. ............................ .......................... ................ ................ 197.1 (122.5)
--------------------------------------------------------------------------------------------------------------------------------------------------------
* As described below, this includes a combination of State ownership and easements. The State considers the easement area under its jurisdiction. These
are the best data available to us for calculating river mile ownership in the Elk River. Therefore, we have included this habitat under public
ownership.
** Totals may not sum due to rounding.
*** None.
We present brief descriptions of each unit and reasons why each
unit meets the definition of critical habitat below. The critical
habitat units include the stream channels of the rivers within the
ordinary high-water line. As defined in 33 CFR 329.11, the ordinary
high-water line on nontidal rivers is the line on the shore established
by the fluctuations of water and indicated by physical characteristics
such as a clear, natural water line impressed on the bank; changes in
the character of soil; destruction of terrestrial vegetation; the
presence of litter and debris; or other appropriate means that consider
the characteristics of the surrounding areas. In West Virginia, the
State owns the bed and banks of streams between the ordinary low-water
marks, and is vested with a public easement between the ordinary low-
water and high-water marks (George 1998, p. 461). The water is also
under State jurisdiction (WVSC Sec. 22-26-3). In Kentucky, adjoining
landowners also own the land under streams (e.g., the stream channel or
bottom) in the designated unit, but the water is under State
jurisdiction.
[[Page 52378]]
Unit 1: Lower Elk River, Kanawha and Clay Counties, West Virginia
Unit 1 represents the habitat supporting the only remaining
occupied diamond darter population. This population could provide a
source to repopulate other areas within the diamond darter's historical
range. Unit 1 includes 45.0 km (28.0 mi) of the Elk River from the
confluence with King Shoals Run near Wallback Wildlife Management Area
downstream to the confluence with an unnamed tributary entering the Elk
River on the right descending bank adjacent to Knollwood Drive in
Charleston, West Virginia. As described above, all the habitat within
this unit is under public control or ownership (see table 1 above). The
State of West Virginia owns or has a public easement on the streambed
and banks of the Elk River up to the ordinary high-water mark (George
1998, p. 461). The water is also publicly owned. The majority of lands
adjacent to this unit are privately owned. There are two areas of
public land adjacent to the unit: the 3,996-hectare (ha) (9,874-acre
(ac)) Morris Creek Wildlife Management Area, which is leased and
managed by the WVDNR (2007, p. 9), and Coonskin Park, an approximately
405-ha (1,000-ac) park owned by Kanawha County (Kanawha County Parks
and Recreation 2008, p. 1).
Live diamond darters have been documented throughout this unit,
including near the towns of Clendenin, Elk View, Blue Creek, Walgrove,
Mink Shoals, Reamer Hill, and at sites between Broad Run and Burke
Branch. This unit contains space for individual and population growth
and for normal behavior; food, water, air, light, minerals, or other
nutritional or physiological requirements; cover or shelter; and sites
for breeding, reproduction, or rearing (or development) of offspring,
and is essential to the conservation of the species. Diamond darter
habitat assessments have documented that this reach of the Elk River
contains 28 riffle-pool transition areas with moderate currents and
sand and gravel substrates that are suitable for the diamond darter
(PCEs 1 and 2) (Osier 2005, p. 34). Connectivity between these habitats
provides access to various spawning, foraging, and resting sites, to
allow for larval drift, and promote gene flow (PCE 1). This reach of
the Elk River also has a natural flow regime that is relatively
unimpeded by impoundment (PCE 3), and has healthy benthic
macroinvertebrate populations (PCE 5) (WVDEP 1997, pp. 20-89). However,
water quality within this unit is impaired due to high levels of fecal
coliform bacteria and iron (PCE 4) (WVDEP 2010, p. 16).
Within this unit, the diamond darter and its habitat may require
special management considerations or protection to address threats from
resource extraction (coal mining, timber harvesting, and natural gas
and oil development); impoundment; water diversion or withdrawals;
construction and maintenance projects; stream bottom disturbance from
sewer, gas, and water line crossings; lack of adequate riparian
buffers; sewage discharges, and non-point-source pollution. Special
management to address water quality degradation is particularly
important since prolonged water quality impairments can also affect the
availability of relatively silt-free sand and gravel substrates (PCE 2)
and healthy populations of fish larvae and benthic invertebrates that
provide a prey base for the diamond darter (PCE 5).
Unit 2: Green River, Edmonson, Hart, and Green Counties, Kentucky
Unit 2, although it is not currently occupied by the diamond
darter, represents the best remaining historically occupied habitat for
future diamond darter reintroductions that will improve the species'
redundancy, resiliency, and representation essential for its
conservation. Unit 2 includes 152.1 km (94.5 mi) of the Green River
from Roachville Ford near Greensburg (River Mile 294.8) downstream to
the end of Cave Island in Mammoth Cave NP (River Mile 200.3).
Approximately 16.3 km (10.1 mi) of this unit is publically owned (see
table 1 above) and is contained within the 20,750-ha (51,274.1-ac)
Mammoth Cave NP. The remainder of the unit, 135.8 km (84.4 mi), is
privately owned. With the exception of the lands owned by Mammoth Cave
NP, the lands within the Green River watershed are also privately
owned. Through the U.S. Department of Agriculture's (USDA) Conservation
Reserve Program (CRP) and other conservation programs, TNC owns or has
easements on approximately 794.4 ha (1,962.9 ac) within the watershed,
either adjacent to or in close proximity to the river. In addition, WKU
owns or manages 1,300 ac (526.1 ha) along the Green River in Hart
County as part of the Upper Green River Biological Preserve (WKU 2012,
p. 1).
This unit is within the historical range of the species, but is not
currently considered occupied. The Green River historically supported
approximately 170 species of fish, including the diamond darter.
Between 1890 and 1929, diamond darters were recorded from three
locations within this unit: adjacent to Cave Island in Edmonson County,
and near Price Hole and Greensburg, in Green County.
The Green River is a seventh-order, warmwater stream with a total
drainage area of 23,879.7 km\2\ (9,220 mi\2\). The largely free-flowing
160.3-km (100-mi) section of the Green River from the Green River Dam
downstream to its confluence with the Nolin River in Mammoth Cave NP is
among the most significant aquatic systems in the United States in
terms of aquatic species diversity and endemism. This reach of the
Green River currently supports over 150 species of fish and 70 species
of freshwater mussels, including 9 federally endangered mussel species,
but there is no designated critical habitat in this section of the
Green River (Thomas et al. 2004, p. 5; USDA 2006, p. 16). Populations
of fish species that have similar habitat preferences as the diamond
darter, such as the shoal chub and streamline chub are present
throughout this reach (Thomas 2012, p. 1).
The entire reach of the Green River within this unit is designated
by Kentucky as both Outstanding State Resource Waters and Exceptional
Waters. Outstanding State Resource Waters are those surface waters
designated by the Kentucky Energy and Environment Cabinet (KYEEC) as
containing federally threatened and endangered species. Exceptional
Waters are waterbodies whose quality exceeds that necessary to support
propagation of fish, shellfish, wildlife, and recreation. These waters
support excellent fish and macroinvertebrate communities (KYEEC 2012,
p. 1). The entire reach of the river within Mammoth Cave NP, including
the 16.3 km (10.1 mi) that are designated as critical habitat, is also
designated as a Kentucky Wild River. These rivers have exceptional
quality and aesthetic character and are designated by the State General
Assembly in recognition of their unspoiled character, outstanding water
quality, and natural characteristics (KYEEC 2012, p. 1). Each Wild
River is actually a linear corridor encompassing all visible land on
each side of the river up to a distance of 609.6 m (2,000 ft). To
protect the features and quality of Wild Rivers, land use changes are
regulated by a permit system, and certain highly destructive land use
changes, such as strip mining and clearcutting, are prohibited within
corridor boundaries (KYEEC 2012, p. 1).
As described in the Criteria Used To Identify Critical Habitat
section above, the inclusion of this unoccupied area is
[[Page 52379]]
essential for the conservation of the diamond darter. This area will
provide currently suitable habitat for a population reintroduction that
will allow expansion of diamond darter populations into historically
occupied habitat, adding to the species' redundancy, resiliency, and
representation. While not required under section 3(5)(A)(ii) of the
Act, this area also contains all of the PCEs. This reach of the Green
River is a moderate-to-large warmwater stream with a series of
connected riffle-pool complexes that is unaffected by impoundment (PCEs
1 and 3). The reach has good water quality and supports fish species
that have similar habitat requirements including clean sand and gravel
substrates, low levels of siltation, and healthy benthic
macroinvertebrate populations for prey items (PCEs 2, 3, 4, and 5).
The reach of the Green River being designated as critical habitat
is the focus of many ongoing conservation efforts. The Nature
Conservancy has designated this area as the Green River Bioreserve
(Thomas et al. 2004, p. 5), and the KYDFWR identified this portion of
the Green River as a Priority Conservation Area in its Comprehensive
Wildlife Conservation Strategy (USDA 2006, p. 35). Since 2001, more
than 40,568.6 ha (100,000 ac) within the watershed have been enrolled
in CRP (USDA 2010, p. 3). The goal of this program is to work with
private landowners to greatly reduce sediments, nutrients, pesticides,
and pathogens from agricultural sources that could have an adverse
effect on the health of the Green River system (USDA 2006, p. 16).
These organizations along with the Service, KYWA, WKU, Kentucky State
University, the ACOE, private landowners, and other partners are also
working toward conserving natural resources in this watershed by
restoring riparian buffers, constructing fences to keep livestock out
of the river, managing dam operations at the Green River Reservoir to
more closely mimic natural discharges, and conducting long-term
ecological research on fish and invertebrates (Hensley 2012, p. 1; TNC
2012, p. 1; WKU 2012, p. 1). The feasibility of removing Lock and Dam
6 has also been evaluated, but no decision on this proposal
has been made yet (Olson 2006, pp. 295-297). There are also a number of
ongoing efforts to educate the public on the biodiversity the river
supports. These efforts include river cleanups and the establishment of
a Watershed Watch program under which volunteers are trained to monitor
the biological conditions in the river.
Land use within this watershed is primarily agriculture and
forestry and also some oil and gas development. Management may be
needed to address resource extraction (timber harvests, natural gas and
oil development activities); water discharges or withdrawals;
construction and maintenance projects; stream bottom disturbance from
sewer, gas, and water line crossings; lack of adequate riparian
buffers; sedimentation, sewage discharges, and non-point-source
pollution.
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
or threatened species or result in the destruction or adverse
modification of designated critical habitat of such species.
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 (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 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 the Service. 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 ACOE 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 or
destroy or adversely modify critical habitat, or both, we provide
reasonable and prudent alternatives to the project, if any are
identifiable, that would avoid the likelihood of jeopardy or
destruction or adverse modification of critical habitat, or both. 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.
[[Page 52380]]
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 the diamond darter. As
discussed above, the role of critical habitat is to support life-
history needs of the species and provide for the conservation of the
species.
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.
Activities that may affect critical habitat, when carried out,
funded, or authorized by a Federal agency, should result in
consultation for the diamond darter. These activities include, but are
not limited to:
(1) Actions that would alter the geomorphology of stream habitats.
Such activities could include, but are not limited to, instream
excavation or dredging, impoundment, channelization, removal of
riparian vegetation, road and bridge construction, discharge of mine
waste or spoil, and other discharges of fill materials. These
activities could cause aggradation or degradation of the streambed or
significant bank erosion, result in entrainment or burial of these
fishes, and cause other direct or cumulative adverse effects to the
species.
(2) Actions that would significantly alter the existing flow regime
or water quantity. Such activities could include, but are not limited
to, impoundment, water diversion, water withdrawal, and hydropower
generation. These activities could eliminate or reduce the habitat
necessary for growth and reproduction of the diamond darter.
(3) Actions that would significantly alter water chemistry or water
quality (for example, dissolved oxygen, temperature, pH, contaminants,
and excess nutrients). Such activities could include, but are not
limited to, hydropower discharges or the release of chemicals,
biological pollutants, or toxic effluents into surface water or
connected groundwater at a point source or by dispersed release (non-
point source). These activities could alter water conditions beyond the
tolerances of these fish and result in direct or cumulative adverse
effects to the species.
(4) Actions that would significantly alter streambed material
composition and quality by increasing sediment deposition or
embeddedness. Such activities could include, but are not limited to,
certain construction projects, oil and gas development, mining, timber
harvest, and other watershed and floodplain disturbances if they
release sediments or nutrients into the water. These activities could
eliminate or reduce habitats necessary for the growth and reproduction
of these fish by causing excessive siltation or nutrification.
Exemptions
Application of Section 4(a)(3) of the Act
Section 4(a)(3)(B)(i) of the Act (16 U.S.C. 1533(a)(3)(B)(i))
provides that: ``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 [INRMP] 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 with a completed INRMP within the proposed
critical habitat designation.
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. The statute on its face, as well as the legislative history,
is clear that the Secretary has broad discretion regarding which
factor(s) to use and how much weight to give to any factor in making
that determination.
Under section 4(b)(2) of the Act, we may exclude an area from
designated critical habitat based on economic impacts, impacts on
national security, or any other relevant impacts. 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.
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. To consider
economic impacts, we prepared a DEA of the proposed critical habitat
designation and related factors (Industrial Economics Inc. 2013a,
entire). The draft analysis, dated February 27, 2013, was made
available for public review from March 29, 2013, through April 29, 2013
(78 FR 19172). Following the close of the comment period, a final
analysis (dated June 2013) of the potential economic effects of the
designation (FEA) was developed taking into consideration the public
comments and any new information (Industrial Economics Inc. 2013b,
entire).
The intent of the FEA is to quantify the economic impacts of all
potential conservation efforts for the diamond darter. The economic
impact of the final critical habitat designation is analyzed by
comparing scenarios ``with critical habitat'' and ``without critical
habitat.'' The ``without critical habitat'' scenario represents the
baseline for the analysis, considering protections already in place for
the species (e.g., listing under the Act as well as other Federal,
State, and local authorities). The baseline therefore represents the
costs incurred regardless of whether critical habitat is designated.
The ``with critical habitat'' scenario describes the incremental
impacts associated specifically with the designation of critical
habitat for the species, and which are not expected to occur absent the
designation of critical habitat for the species. In other words, the
incremental costs are those attributable solely to the designation of
critical habitat above and beyond the baseline costs. These are the
costs we consider in the final designation of critical habitat. The FEA
looks at baseline impacts occurring due to listing
[[Page 52381]]
the species, and forecasts both baseline and incremental impacts likely
to occur with the designation of critical habitat.
The FEA also addresses how potential economic impacts are likely to
be distributed, including an assessment of any local or regional
impacts of habitat conservation and the potential effects of
conservation activities on government agencies, private businesses, and
individuals. The FEA measures lost economic efficiency associated with
residential and commercial development and public projects and
activities, such as economic impacts on water management and
transportation projects, Federal lands, small entities, and the energy
industry. Decision-makers can use this information to assess whether
the effects of the designation might unduly burden a particular group
or economic sector. Finally, the FEA looks at costs that may occur in
the 20 years following the designation of critical habitat, which was
determined to be the appropriate period for analysis because limited
planning information was available for most activities to forecast
activity levels for projects beyond a 20-year timeframe. The FEA
quantifies economic impacts of diamond darter conservation efforts
associated with the following categories of activity: (1) Resource
extraction (coal mining, gravel and rock mining, and oil and natural
gas exploration) and utilities; (2) timber management, agriculture, and
grazing; (3) other instream work (dredging, channelization, diversions,
dams, instream construction of boat docks, etc.); (4) transportation
(roads, highways, bridges); and (5) water quality/sewage management.
The FEA concludes that the types of conservation efforts requested
by the Service during section 7 consultation regarding the diamond
darter were not expected to change due to critical habitat designation.
The results of consultation under the adverse modification and jeopardy
standards are likely to be similar because there is a close
relationship between the health of the diamond darter and the health of
its habitat. Alterations of habitat that diminish the value (e.g.,
actions that alter hydrology, water quality, or suitability of
substrate) and the amount of diamond darter habitat would likely affect
its population size and ability to recruit young, would likely cause
further range declines, and could appreciably reduce the species'
likelihood of survival and recovery in the wild. Such habitat
alterations could, therefore, constitute jeopardy to the species. In
most cases, the results of consultation on projects in occupied diamond
darter habitat under the adverse modification and jeopardy standards
are likely to be similar because the diamond darter's entire life
history is reliant on the presence of all the PCEs being present within
one contiguous stream reach. Thus, project modifications that minimize
impacts to the species to avoid jeopardy would coincidentally minimize
impacts to critical habitat.
In addition, although one of the critical habitat units for the
diamond darter is unoccupied, incremental impacts of the critical
habitat designation will be limited because the unit is currently
occupied by nine federally endangered mussels. Management
recommendations made to avoid adverse effects during previous mussel
consultations included using enhanced sedimentation and erosion control
measures, avoiding water quality degradation through the use of spill
and run-off prevention and control measures, avoiding instream
disturbances through the use of project alternatives such as
directional drilling, conducting project activities away from the
river, and minimizing disturbances to and fill of lands adjacent to the
river and stream tributaries. These recommendations are similar to the
types of management recommendations that would be used to avoid adverse
modifications to diamond darter critical habitat.
The FEA concludes that incremental impacts of critical habitat
designation are limited to additional administrative costs of
consultations and that indirect incremental impacts are unlikely to
result from the designation of critical habitat for the diamond darter.
The present value of the total direct (administrative) incremental cost
of critical habitat designation is $800,000 assuming a 7 percent
discount rate, or $70,000 on an annualized basis. Transportation
activities are likely to be subject to the greatest incremental impacts
at $320,000 over 20 years, followed by timber management, agriculture,
and grazing activities collectively at $260,000; resource extraction
activities at $150,000; other instream work at $50,000; and water
quality/sewage management at $18,000. These numbers represent present
value at a 7 percent discount rate and may not total due to rounding.
Our economic analysis did not identify any disproportionate costs
that are likely to result from the designation. Consequently, the
Secretary is not exerting his discretion to exclude any areas from this
designation of critical habitat for the diamond darter based on
economic impacts.
A copy of the FEA with supporting documents may be obtained by
contacting the West Virginia Field Office (see ADDRESSES) or by
downloading from the Internet at https://www.regulations.gov.
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 final rule, we have
determined that no lands within the designation of critical habitat for
the diamond darter are owned or managed by the Department of Defense,
and therefore we anticipate no impact on national security.
Consequently, the Secretary is not exerting her discretion to exclude
any areas from this 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 any conservation partnerships 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.
In preparing this final rule, we have determined that there are
currently no HCPs or other management plans for the diamond darter, and
the final designation does not include any tribal lands or trust
resources. We anticipate no impact on tribal lands, partnerships, or
HCPs from this critical habitat designation. Accordingly, the Secretary
is not exercising his discretion to exclude any areas from this final
designation based on other relevant impacts.
Required Determinations
Regulatory Planning and Review (Executive Orders 12866 and 13563)
Executive Order (E.O.) 12866 provides that the Office of
Information and Regulatory Affairs (OIRA) in the Office of Management
and Budget will review all significant rules. The OIRA has determined
that this rule is not significant.
[[Page 52382]]
Executive Order 13563 reaffirms the principles of E.O. 12866 while
calling for improvements in the nation's regulatory system to promote
predictability, to reduce uncertainty, and to use the best, most
innovative, and least burdensome tools for achieving regulatory ends.
The E.O. directs agencies to consider regulatory approaches that reduce
burdens and maintain flexibility and freedom of choice for the public
where these approaches are relevant, feasible, and consistent with
regulatory objectives. The E.O. 13563 emphasizes further that
regulations must be based on the best available science and that the
rulemaking process must allow for public participation and an open
exchange of ideas. We have developed this rule in a manner consistent
with these requirements.
Regulatory Flexibility Act (5 U.S.C. 601 et seq.)
Under the RFA (5 U.S.C. 601 et seq.), as amended by SBREFA of 1996
(5 U.S.C 801 et seq.), whenever an agency must 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 an 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. In this
final rule, we are certifying that the critical habitat designation for
the diamond darter will not have a significant economic impact on a
substantial number of small entities. The following discussion explains
our rationale.
According to the Small Business Administration, small entities
include small organizations, such as independent nonprofit
organizations; small governmental jurisdictions, including school
boards and city and town governments that serve fewer than 50,000
residents; as well as small businesses. Small businesses include
manufacturing and mining concerns with fewer than 500 employees,
wholesale trade entities with fewer than 100 employees, retail and
service businesses with less than $5 million in annual sales, general
and heavy construction businesses with less than $27.5 million in
annual business, special trade contractors doing less than $11.5
million in annual business, and agricultural businesses with annual
sales less than $750,000. To determine if potential economic impacts on
these small entities are significant, we consider the types of
activities that might trigger regulatory impacts under this rule, as
well as the types of project modifications that may result. In general,
the term ``significant economic impact'' is meant to apply to a typical
small business firm's business operations.
To determine if the rule could significantly affect a substantial
number of small entities, we consider the number of small entities
affected within particular types of economic activities (e.g., resource
extraction; timber management, agriculture, and grazing; instream
activities; transportation; and water quality and sewer management). We
apply the ``substantial number'' test individually to each industry to
determine if certification is appropriate. However, the SBREFA does not
explicitly define ``substantial number'' or ``significant economic
impact.'' Consequently, to assess whether a ``substantial number'' of
small entities is affected by this designation, this analysis considers
the relative number of small entities likely to be impacted in an area.
In some circumstances, especially with critical habitat designations of
limited extent, we may aggregate across all industries and consider
whether the total number of small entities affected is substantial. In
estimating the number of small entities potentially affected, we also
consider whether the activities have any Federal involvement.
Designation of critical habitat only affects activities authorized,
funded, or carried out by Federal agencies. Some kinds of activities
are unlikely to have any Federal involvement and so will not be
affected by critical habitat designation. In areas where the species is
present, Federal agencies already are required to consult with us under
section 7 of the Act on activities they authorize, fund, or carry out
that may affect the diamond darter. Federal agencies also must consult
with us if their activities may affect critical habitat. Designation of
critical habitat, therefore, could result in an additional economic
impact on small entities due to the requirement to reinitiate
consultation for ongoing Federal activities (see Application of the
``Adverse Modification Standard'' section).
In our final economic analysis of the critical habitat designation,
we evaluated the potential economic effects on small business entities
resulting from conservation actions related to the listing of the
diamond darter and the designation of critical habitat. The analysis is
based on the estimated impacts associated with the rulemaking as
described in Chapters 3 through 4 and Appendix A of the analysis and
evaluates the potential for economic impacts from resource extraction;
timber management, agriculture, and grazing; instream activities;
transportation; and water quality and sewer management.
We determined from our analysis (Appendix A in FEA) that there will
be minimal additional economic impacts to small entities resulting from
the designation of critical habitat, because almost all of the
potential costs related to modification of activities and conservation
that were identified in the economic analysis represent baseline costs
that would be realized in the absence of critical habitat. The economic
analysis estimates that approximately 245 small entities may be
affected over the next 20 years. This equates to fewer than 13 entities
affected per year. The large majority of these affected entities (190
or 82 percent) are agriculture and timbering entities in Kentucky that
receive assistance through the NRCS. Participation in NRCS assistance
programs is voluntary. The remaining 68 potentially affected small
entities are associated with resource extraction and other instream
work. This equates to an average of fewer than four affected small
entities per year. The FEA estimates incremental costs of between $880
and $8,800 per affected entity engaging in resource extraction or other
instream work; this cost equals an impact of less than 0.1 percent to
each entity's annual revenue. All of these costs are derived from the
added effort associated with considering adverse modification in the
context of section 7 consultations.
In summary, we considered whether this designation would result in
a significant economic effect on a substantial number of small
entities. Based on the above reasoning and currently available data, we
conclude that this rule would not result in a significant economic
impact on a substantial number of small entities. Therefore, we are
certifying that the designation of critical habitat for the diamond
darter will not have a significant economic impact on a substantial
number of small entities, and a regulatory flexibility analysis is not
required.
[[Page 52383]]
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 OMB has provided guidance for implementing this
E.O. that outlines nine outcomes that may constitute ``a significant
adverse effect'' when compared to not taking the regulatory action
under consideration. The FEA considered the potential effects of the
diamond darter critical habitat designation on coal, oil, and gas
development. The FEA found that some limited impacts to these energy
development activities are anticipated, but they will mostly be limited
to the administrative costs of consultation. Therefore, reductions in
energy production are not anticipated, and consultation costs are not
anticipated to increase the cost of energy production or distribution
in the United States in excess of one percent. None of the nine outcome
thresholds of impact are exceeded, and the economic analysis finds that
none of these criteria are relevant to this analysis. Thus, based on
information in the economic analysis, energy-related impacts associated
with diamond darter conservation activities within critical habitat are
not expected. As such, the designation of critical habitat is not
expected to significantly affect energy supplies, distribution, or use.
Therefore, this action is not a significant energy action, and no
Statement of Energy Effects is required.
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 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. The FEA concludes incremental impacts may
occur due to administrative costs of section 7 consultations for
projects in the following categories that have a Federal nexus:
resource extraction; timber management, agriculture, and grazing;
instream activities; transportation; and water quality and sewer
management. Small governments will be affected only to the extent that
they must ensure that their actions that involve Federal funding or
authorization will not adversely affect the critical habitat. This rule
will not produce a Federal mandate of $100 million or greater in any
year; that is, it is not a ``significant regulatory action'' under the
Unfunded Mandates Reform Act. Consequently, we do not believe that the
critical habitat designation would significantly or uniquely affect
small government entities. As such, a Small Government Agency Plan is
not required.
Takings--Executive Order 12630
In accordance with E.O. 12630 (Government Actions and Interference
with Constitutionally Protected Private Property Rights), we have
analyzed the potential takings implications of designating critical
habitat for the diamond darter in a takings implications assessment. 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.
The takings implications assessment concludes that this designation of
critical habitat for the diamond darter does not pose significant
takings implications for lands within or affected by the designation.
Federalism--Executive Order 13132
In accordance with E.O. 13132 (Federalism), this rule does not have
significant Federalism effects. A federalism impact summary 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 critical habitat designation with
appropriate State resource agencies in West Virginia and Kentucky. We
received comments from the State of West Virginia and have addressed
them in the Summary of Comments and Recommendations section of the
rule. The designation of critical habitat in areas currently occupied
by the diamond darter imposes no additional restrictions to those
currently in place and therefore has little incremental impact on State
and local governments and their activities. The designation may have
some benefit to these governments in that the areas that contain the
PBFs essential to the conservation of the species are more clearly
defined, and the elements of the features of the habitat necessary to
the
[[Page 52384]]
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 E.O. 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 applicable standards set forth in
sections 3(a) and 3(b)(2) of the Executive Order. We are designating
critical habitat in accordance with the provisions of the Act. To
assist the public in understanding the habitat needs of the species,
the rule identifies the elements of PBFs essential to the conservation
of the diamond darter. The designated areas of critical habitat are
presented on maps, and the rule provides several options for the
interested public to obtain more detailed location information, if
desired.
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.
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 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)).
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), E.O. 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 occupied by the
diamond darter at the time of listing that contain the PBFs essential
to conservation of the species, and that there are no tribal lands
unoccupied by the diamond darter that are essential for the
conservation of the species. Therefore, we are not designating critical
habitat for the diamond darter on tribal lands.
References Cited
A complete list of all references cited in this rule is available
on the Internet at https://www.regulations.gov or upon request from the
Field Supervisor, West Virginia Field Office (see ADDRESSES section).
Author(s)
The primary author of this document is staff from the West Virginia
Field Office (see ADDRESSES).
List of Subjects in 50 CFR Part 17
Endangered and threatened species, Exports, Imports, Reporting and
recordkeeping requirements, Transportation.
Regulation Promulgation
Accordingly, we amend part 17, subchapter B of chapter I, title 50
of the Code of Federal Regulations, as set forth below:
PART 17--[AMENDED]
0
1. The authority citation for part 17 continues to read as follows:
Authority: 16 U.S.C. 1361-1407; 1531-1544; 16 U.S.C. 4201-4245;
unless otherwise noted.
0
2. Amend Sec. 17.11(h) by revising the entry for ``Darter, diamond''
under ``Fishes'' in the List of Endangered and Threatened Wildlife to
read as follows:
Sec. 17.11 Endangered and threatened wildlife.
* * * * *
(h) * * *
--------------------------------------------------------------------------------------------------------------------------------------------------------
Species Vertebrate
-------------------------------------------------------- population where Critical Special
Historic range endangered or Status When listed habitat rules
Common name Scientific name threatened
--------------------------------------------------------------------------------------------------------------------------------------------------------
* * * * * * *
Fishes
* * * * * * *
Darter, diamond.................. Crystallaria U.S.A. (IN, KY, OH, Entire............. E 815 17.95(e) NA
cincotta. TN, WV)
* * * * * * *
--------------------------------------------------------------------------------------------------------------------------------------------------------
[[Page 52385]]
0
3. In Sec. 17.95, amend paragraph (e) by adding an entry for ``Diamond
Darter (Crystallaria cincotta),'' in the same alphabetical order that
the species appears in the table at Sec. 17.11(h), to read as follows:
Sec. 17.95 Critical habitat--fish and wildlife.
* * * * *
(e) Fishes.
* * * * *
Diamond Darter (Crystallaria cincotta)
(1) Critical habitat units are depicted for Kanawha and Clay
Counties, West Virginia, and Edmonson, Hart, and Green Counties,
Kentucky, on the maps below.
(2) Within these areas, the primary constituent elements of the
physical or biological features essential to the conservation of
diamond darter consist of five components:
(i) A series of connected riffle-pool complexes with moderate
velocities in moderate- to large-sized (fourth- to eighth-order),
geomorphically stable streams within the Ohio River watershed.
(ii) Stable, undisturbed sand and gravel stream substrates that are
relatively free of and not embedded with silts and clays.
(iii) An instream flow regime (magnitude, frequency, duration, and
seasonality of discharge over time) that is relatively unimpeded by
impoundment or diversions such that there is minimal departure from a
natural hydrograph.
(iv) Adequate water quality characterized by seasonally moderated
temperatures, high dissolved oxygen levels, and moderate pH, and low
levels of pollutants and siltation. Adequate water quality is defined
as the quality necessary for normal behavior, growth, and viability of
all life stages of the diamond darter.
(v) A prey base of other fish larvae and benthic invertebrates
including midge, caddisfly, and mayfly larvae.
(3) Critical habitat does not include manmade structures (such as
bridges, docks, aqueducts and other paved areas) and the land on which
they are located existing within the legal boundaries on the effective
date of this rule.
(4) Critical habitat map units. Data layers defining map units were
created with U.S. Geological Survey National Hydrography Dataset
Geographic Information System data. Esri's ArcGIS 10.1 software was
used to determine longitude and latitude in decimal degrees for the
river reaches. The projection used in mapping was Universal Transverse
Mercator (UTM), NAD 83, Zone 16 North for the Green River, Kentucky,
unit; and UTM, NAD 83, Zone 17 North for the Elk River, West Virginia,
unit. The following data sources were referenced to identify features
used to delineate the upstream and downstream reaches of critical
habitat units: USGS 7.5' quadrangles and topographic maps, NHD data,
2005 National Inventory of Dams, Kentucky Land Stewardship data, pool
and shoal data on the Elk River, Esri's Bing Maps Road. The maps in
this entry, as modified by any accompanying regulatory text, establish
the boundaries of the critical habitat designation. The coordinates or
plot points or both on which each map is based are available to the
public at the field office Internet site (https://www.fws.gov/westvirginiafieldoffice/), https://www.regulations.gov at
Docket No. FWS-R5-ES-2013-0019, and at the Service's West Virginia
Field Office. You may obtain field office location information by
contacting one of the Service regional offices, the addresses of which
are listed at 50 CFR 2.2.
(5) Note: Index map of critical habitat locations for the diamond
darter in West Virginia and Kentucky follows:
[GRAPHIC] [TIFF OMITTED] TR22AU13.004
(6) Unit 1: Lower Elk River, Kanawha and Clay Counties, West
Virginia.
(i) Unit 1 includes 45.0 km (28.0 mi) of the Elk River from the
confluence with King Shoals Run near Wallback Wildlife Management Area
downstream to the confluence with an unnamed tributary entering the Elk
River on the right descending bank adjacent to Knollwood Drive in
Charleston, West Virginia.
(ii) Note: Map of Unit 1 (lower Elk River) follows:
[[Page 52386]]
[GRAPHIC] [TIFF OMITTED] TR22AU13.005
(7) Unit 2: Green River, Edmonson, Hart, and Green Counties,
Kentucky.
(i) Unit 2 includes 152.1 km (94.5 mi) of the Green River from
Roachville Ford near Greensburg (River Mile 294.8) downstream to the
downstream end of Cave Island in Mammoth Cave National Park (River Mile
200.3).
(ii) Note: Map of Unit 2 (Green River) follows:
[GRAPHIC] [TIFF OMITTED] TR22AU13.006
[[Page 52387]]
* * * * *
Dated: August 6, 2013.
Rachel Jacobson,
Principal Deputy Assistant Secretary for Fish and Wildlife and Parks.
[FR Doc. 2013-20449 Filed 8-21-13; 8:45 am]
BILLING CODE 4310-55-P