Endangered and Threatened Wildlife and Plants; Determination of Critical Habitat for the Marbled Murrelet, 51506-51523 [2015-20837]
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51506
Federal Register / Vol. 80, No. 164 / Tuesday, August 25, 2015 / Proposed Rules
TABLE 16—EXAMPLE OF POTENTIAL PERFORMANCE PERIODS FOR PRE- AND POST-OPERATIVE THA/TKA VOLUNTARY
DATA SUBMISSION
CCJR Model
year
Performance period
Duration of the
performance
period
(months)
2016 ..............
April 1, 2016 through
June 30, 2016.
2017 ..............
Patient population eligible for THA/TKA
voluntary data submission
Requirements for successful THA/TKA
voluntary data submission *
3
All patients undergoing elective primary
THA/TKA procedures performed between April 1, 2016 and June 30, 2016.
April 1, 2016 through
June 30, 2016.
15
All patients undergoing elective primary
THA/TKA procedures performed between April 1, 2016 and June 30, 2016.
2017 ..............
July 1, 2016 through
June 30, 2017.
........................
All patients undergoing elective primary
THA/TKA procedures performed between July 1, 2016 and June 30, 2017.
2018 ..............
July 1, 2016 through
June 30, 2017.
24
All patients undergoing elective primary
THA/TKA procedures performed between July 1, 2016 and June 30, 2017.
2018 ..............
July 1, 2017 through
June 30, 2018.
........................
All patients undergoing elective primary
THA/TKA procedures performed between July 1, 2017 and June 30, 2018.
2019 ..............
July 1, 2017 through
June 30, 2018.
24
All patients undergoing elective primary
THA/TKA procedures performed between July 1, 2017 and June 30, 2018.
2019 ..............
July 1, 2018 through
June 30, 2019.
........................
All patients undergoing elective primary
THA/TKA procedures performed between July 1, 2018 and June 30, 2019.
2020 ..............
July 1, 2018 through
June 30, 2019.
24
All patients undergoing elective primary
THA/TKA procedures performed between July 1, 2018 and June 30, 2019.
2020 ..............
July 1, 2019 through
June 30, 2020.
........................
All patients undergoing elective primary
THA/TKA procedures performed between July 1, 2019 and June 30, 2020.
Submit PRE-operative data on primary
elective THA/TKA procedures for ≥80%
of procedures performed between April
1, 2016 and June 30, 2016.
Submit POST-operative data on primary
elective THA/TKA procedures for ≥80%
of procedures performed between April
1, 2016 and June 30, 2016.
Submit PRE-operative data on primary
elective THA/TKA procedures for ≥80%
of procedures performed between July
1, 2016 and June 30, 2017.
Submit POST-operative data on primary
elective THA/TKA procedures for ≥80%
of procedures performed between July
1, 2016 and June 30, 2017.
Submit PRE-operative data on primary
elective THA/TKA procedures for ≥80%
of procedures performed between July
1, 2017 and June 30, 2018.
Submit POST-operative data on primary
elective THA/TKA procedures for ≥80%
of procedures performed between July
1, 2017 and June 30, 2018.
Submit PRE-operative data on primary
elective THA/TKA procedures for ≥80%
of procedures performed between July
1, 2018 and June 30, 2019.
Submit POST-operative data on primary
elective THA/TKA procedures for ≥80%
of procedures performed between July
1, 2018 and June 30, 2019.
Submit PRE-operative data on primary
elective THA/TKA procedures for ≥80%
of procedures performed between July
1, 2019 and June 30, 2020.
* Requirements for determining successful submission of THA/TKA voluntary data are located in section III.D.3.a.(9). of this proposed rule.
Dated: August 19, 2015.
Madhura Valverde,
Executive Secretary to the Department,
Department of Health and Human Services.
[FR Doc. 2015–20994 Filed 8–21–15; 11:15 am]
BILLING CODE 4120–01–P
DEPARTMENT OF THE INTERIOR
Fish and Wildlife Service
50 CFR Part 17
asabaliauskas on DSK5VPTVN1PROD with PROPOSALS
[Docket No. FWS–R1–ES–2015–
0070;4500030114]
RIN 1018–BA91
Endangered and Threatened Wildlife
and Plants; Determination of Critical
Habitat for the Marbled Murrelet
Fish and Wildlife Service,
Interior.
ACTION: Proposed rule.
AGENCY:
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We, the U.S. Fish and
Wildlife Service (Service), request
public comment in regard to our
designation of critical habitat for the
marbled murrelet (Brachyramphus
marmoratus) under the Endangered
Species Act of 1973, as amended (Act).
The current designation includes
approximately 3,698,100 acres
(1,497,000 hectares) of critical habitat in
the States of Washington, Oregon, and
California. We are reconsidering this
designation for the purpose of assessing
whether all of the designated areas meet
the statutory definition of critical
habitat. Because our proposed
determination is that all areas currently
designated do meet the statutory
definition, we are not proposing any
changes to the boundaries of the specific
areas identified as critical habitat at this
time. We seek public comment on our
proposed determination.
DATES: We will consider comments
received or postmarked on or before
SUMMARY:
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October 26, 2015. Please note that
comments submitted electronically
using the Federal eRulemaking Portal
(see ADDRESSES) must be received by
11:59 p.m. Eastern Time on the closing
date. Any comments that we receive
after the closing date may not be
considered in the final determination.
ADDRESSES: Comment submission: You
may submit written comments by one of
the following methods:
(1) Electronically: Go to the Federal
eRulemaking Portal: https://
www.regulations.gov. In the Search box,
enter FWS–R1–ES–2015–0070, which is
the docket number for this rulemaking.
Then, in the Search panel on the left
side of the screen, under the Document
Type heading, click on the Proposed
Rules link to locate this document. You
may submit a comment by clicking on
‘‘Comment Now!’’
(2) By hard copy: Submit by U.S. mail
or hand-delivery to: Public Comments
Processing, Attn: FWS–R1–ES–2015–
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0070; Division of Policy, Performance,
and Management Programs, U.S. Fish &
Wildlife Service, MS: BPHC, 5275
Leesburg Pike, Falls Church, VA 22041–
3803.
We request that you send comments
only by the methods described above.
We will post all comments on https://
www.regulations.gov. This generally
means that we will post any personal
information you provide us (see the
Information Requested section below for
more information).
Eric
V. Rickerson, State Supervisor, U.S.
Fish and Wildlife Service, Washington
Fish and Wildlife Office, 510 Desmond
Drive SE., Suite 102, Lacey, WA 98503–
1273 (telephone 360–753–9440,
facsimile 360–753–9008); Paul Henson,
State Supervisor, U.S. Fish and Wildlife
Service, Oregon Fish and Wildlife
Office, 2600 SE 98th Avenue, Suite 100,
Portland, OR 97266, telephone 503–
231–6179, facsimile 503–231–6195;
Bruce Bingham, Field Supervisor, U.S.
Fish and Wildlife Service, Arcata Fish
and Wildlife Office, 1655 Heindon
Road, Arcata, CA 95521, telephone 707–
822–7201, facsimile 707–822–8411;
Jennifer Norris, Field Supervisor, U.S.
Fish and Wildlife Service, Sacramento
Fish and Wildlife Office, 2800 Cottage
Way, Room W–2605, Sacramento, CA
95825, telephone 916–414–6700,
facsimile 916–414–6713; or Stephen P.
Henry, Field Supervisor, U.S. Fish and
Wildlife Service, Ventura Fish and
Wildlife Office, 2493 Portola Road,
Suite B, Ventura, CA 93003, telephone
805–644–1766, facsimile 805–644–3958.
If you use a telecommunications device
for the deaf (TDD), call the Federal
Information Relay Service (FIRS) at
800–877–8339.
FOR FURTHER INFORMATION CONTACT:
SUPPLEMENTARY INFORMATION:
asabaliauskas on DSK5VPTVN1PROD with PROPOSALS
Executive Summary
Purpose of this document. On May 24,
1996, we published in the Federal
Register a final rule designating
3,887,800 acres (ac) (1,573,340 hectares
(ha)) of critical habitat for the marbled
murrelet (61 FR 26256) in the States of
Washington, Oregon, and California. On
October 5, 2011, we published in the
Federal Register a final rule revising
critical habitat for the marbled murrelet
(76 FR 61599), resulting in the removal
of approximately 189,671 ac (76,757 ha)
of critical habitat in the States of Oregon
and California. We are reconsidering the
1996 final rule, as revised in 2011, for
the purpose of assessing whether all of
the designated areas meet the statutory
definition of critical habitat. We are not
proposing any changes to the
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boundaries of the specific areas
identified as critical habitat.
Why we need to reconsider the rule.
In 2012, the American Forest Resource
Council (AFRC) and other parties filed
suit against the Service, challenging the
designation of critical habitat for the
marbled murrelet, among other things.
After this suit was filed, the Service
concluded that the 1996 rule that first
designated critical habitat for the
marbled murrelet, as well as the 2011
rule that revised that designation, did
not comport with recent case law
holding that the Service should specify
which areas were occupied at the time
of listing, and should further explain
why unoccupied areas are essential for
conservation of the species. Hence, the
Service moved for a voluntary remand
of the critical habitat rule, requesting
until September 30, 2015, to issue a
proposed rule, and until September 30,
2016, to issue a final rule. On September
5, 2013, the court granted the Service’s
motion, leaving the current critical
habitat rule in effect pending
completion of the remand.
The basis for our action. Under the
Act, any species that is determined to be
an endangered or threatened species
shall, to the maximum extent prudent
and determinable, have habitat
designated that is considered to be
critical habitat. 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 scientific
data available after taking into
consideration the economic impact,
national security impact, and any other
relevant impact of specifying any
particular area as critical habitat.
Section 4 of the Act and its
implementing regulations (50 CFR 424)
set forth the procedures for designating
or revising critical habitat for listed
species.
We considered the economic impacts
of this proposed rule. Our evaluation of
the potential economic impacts of this
rulemaking regarding critical habitat for
the marbled murrelet is provided in this
document; we seek public review of our
analysis.
Information Requested
We will base any final action on the
best scientific data available. Therefore,
we request comments or information
from the public, other concerned
governmental agencies, Native
American tribes, the scientific
community, industry, or any other
interested party concerning this
proposed rule. We particularly seek
comments concerning:
(1) What areas within the currently
designated critical habitat for the
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marbled murrelet were occupied at the
time of listing and contain features
essential to the conservation of the
species;
(2) Special management
considerations or protection that may be
needed in critical habitat areas,
including managing for the potential
effects of climate change;
(3) What areas within the currently
designated critical habitat are essential
for the conservation of the species and
why; and
(4) Information on the extent to which
the description of economic impacts in
this document is a reasonable estimate
of the likely economic impacts of our
proposed determination.
We will consider all comments and
information received during the
comment period on this proposed
rulemaking during our preparation of a
final determination.
Please note that submissions merely
stating support for or opposition to the
action under consideration without
providing supporting information,
although noted, will not be considered
in making a determination, as section
4(b) of the Act directs that
determinations regarding the
designation of critical habitat, or
revisions thereto, must be made ’’on the
basis of the best scientific data
available.’’
You may submit your comments and
materials by one of the methods listed
in ADDRESSES. We request that you send
comments only by the methods
described in ADDRESSES.
If you submit information via https://
www.regulations.gov, your entire
submission—including any personal
identifying information—will be posted
on the Web site. If your submission is
made via a hardcopy that includes
personal identifying information, you
may request at the top of your document
that we withhold this information from
public review. However, we cannot
guarantee that we will be able to do so.
We will post all hardcopy submissions
on https://www.regulations.gov. Please
include sufficient information with your
comments to allow us to verify any
scientific information you include.
In making a final decision on this
matter, we will take into consideration
the comments and any additional
information we receive. Comments and
materials received, as well as some of
the supporting documentation used in
the preparation of a final determination,
will be available for public inspection
on https://www.regulations.gov. All
information we use in making our final
rule will be available by appointment,
during normal business hours, at the
U.S. Fish and Wildlife Service,
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Washington Fish and Wildlife Office
(see FOR FURTHER INFORMATION CONTACT).
Previous Federal Actions
For additional information on
previous Federal actions concerning the
marbled murrelet, refer to the final
listing rule published in the Federal
Register on October 1, 1992 (57 FR
45328), the final rule designating critical
habitat published in the Federal
Register on May 24, 1996 (61 FR 26256),
and the final revised critical habitat rule
published in the Federal Register on
October 5, 2011 (76 FR 61599). In the
1996 final critical habitat rule, we
designated 3,887,800 ac (1,573,340 ha)
of critical habitat in 32 units on Federal
and non-Federal lands. On September
24, 1997, we completed a recovery plan
for the marbled murrelet in Washington,
Oregon, and California (USFWS 1997,
entire). On January 13, 2003, we entered
into a settlement agreement with AFRC
and the Western Council of Industrial
Workers, whereby we agreed to review
the marbled murrelet critical habitat
designation and make any revisions
deemed appropriate after a revised
consideration of economic and any
other relevant impacts of designation.
On April 21, 2003, we published in the
Federal Register a notice initiating a 5year review of the marbled murrelet (68
FR 19569), and published a second
information request for the 5-year
review on July 25, 2003 (68 FR 44093).
The 5-year review evaluation report was
finished in March 2004 (McShane et al.
2004), and the 5-year review was
completed on August 31, 2004.
On September 12, 2006, we published
in the Federal Register a proposed
revision to critical habitat for the
marbled murrelet, which included
adjustments to the original designation
and proposed several exclusions under
section 4(b)(2) of the Act (71 FR 53838).
On June 26, 2007, we published in the
Federal Register a document
announcing the availability of a draft
economic analysis (72 FR 35025) related
to the September 12, 2006, proposed
critical habitat revision (71 FR 53838).
On March 6, 2008, we published a
notice in the Federal Register (73 FR
12067) stating that the critical habitat
for marbled murrelet should not be
revised due to uncertainties regarding
U.S. Bureau of Land Management (BLM)
revisions to its District Resource
Management Plans in western Oregon,
and this notice fulfilled our obligations
under the settlement agreement.
On July 31, 2008, we published in the
Federal Register a proposed rule to
revise currently designated critical
habitat for the marbled murrelet by
removing approximately 254,070 ac
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(102,820 ha) in northern California and
Oregon from the 1996 designation (73
FR 44678). A second 5-year review was
completed on June 12, 2009. On January
21, 2010, in response to a May 28, 2008,
petition to delist the California/Oregon/
Washington distinct population segment
(DPS) of the marbled murrelet and our
subsequent October 2, 2008, 90-day
finding concluding that the petition
presented substantial information (73
FR 57314), we published a 12-month
finding notice in the Federal Register
(75 FR 3424) determining that removing
the marbled murrelet from the Federal
List of Endangered and Threatened
Wildlife (50 CFR 17.11) was not
warranted. We also found that the
Washington/Oregon/California
population of the marbled murrelet is a
valid DPS in accordance with the
discreteness and significance criteria in
our 1996 DPS policy (February 7, 1996;
61 FR 4722) and concluded that the DPS
continues to meet the definition of a
threatened species under the Act.
On October 5, 2011, we published in
the Federal Register a final rule revising
the critical habitat designation for the
marbled murrelet (76 FR 61599). This
final rule removed approximately
189,671 ac (76,757 ha) in northern
California and southern Oregon from the
1996 designation, based on new
information indicating these areas did
not meet the definition of critical habitat
for the marbled murrelet, resulting in a
final revised designation of
approximately 3,698,100 ac (1,497,000
ha) of critical habitat in Washington,
Oregon, and California.
On January 24, 2012, AFRC filed suit
against the Service to delist the marbled
murrelet and vacate critical habitat. On
March 30, 2013, the U.S. District Court
for the District of Columbia granted in
part AFRC’s motion for summary
judgment and denied a joint motion for
vacatur of critical habitat pending
completion of a voluntary remand.
Following this ruling, the Service
moved for a remand of the critical
habitat rule, without vacatur, in light of
recent case law setting more stringent
requirements on the Service for
specifying how designated areas meet
the definition of critical habitat. On
September 5, 2013, the district court
ordered the voluntary remand without
vacatur of the critical habitat rule, and
set deadlines of September 30, 2015, for
a proposed rule and September 30,
2016, for a final rule. The court ruled in
favor of the Service regarding the
Service’s denial of plaintiffs’ petition to
delist the species, and that ruling was
affirmed on appeal. See American
Forest Resource Council v. Ashe, 946 F.
Supp. 2d 1 (D.D.C. 2013), aff’d 2015
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U.S. App. LEXIS 6205 (D.C. Cir., Feb.
27, 2015).
Background
A final rule designating critical
habitat for the marbled murrelet was
published in the Federal Register on
May 24, 1996 (61 FR 26256). A final rule
revising the 1996 designation of critical
habitat for the marbled murrelet was
published in the Federal Register on
October 5, 2011 (76 FR 61599). Both of
these rules are available under the
‘‘Supporting Documents’’ section for
this docket in the Federal eRulemaking
Portal: https://www.regulations.gov at
Docket Number FWS–R1–ES–2015–
0070. It is our intent to discuss only
those topics directly relevant to the
1996 and revised 2011 designations of
critical habitat for the marbled murrelet.
A complete description of the marbled
murrelet, including a discussion of its
life history, distribution, ecology, and
habitat, can be found in the May 24,
1996, final rule (61 FR 26256) and the
final recovery plan (USFWS 1997).
In this document, we are
reconsidering the final rule designating
critical habitat for the marbled murrelet
(May 24, 1996; 61 FR 26256, as revised
on October 5, 2011; 76 FR 61599). The
current designation consists of
approximately 3,698,100 ac (1,497,000
ha) of critical habitat in Washington,
Oregon, and California. The critical
habitat consists of 101 subunits: 37 in
Washington, 33 in Oregon, and 31 in
California. We are reconsidering the
final rule for the purpose of evaluating
whether all areas currently designated
meet the definition of critical habitat
under the Act. We describe and assess
each of the elements of the definition of
critical habitat, and evaluate whether
these statutory criteria apply to the
current designation of critical habitat for
the marbled murrelet. In order to
conduct this evaluation, here we present
the following relevant information:
I. The statutory definition of critical habitat.
II. A description of the physical or biological
features essential to the conservation of
the marbled murrelet, for the purpose of
evaluating whether the areas designated
as critical habitat provide these essential
features.
III. The primary constituent elements for the
marbled murrelet.
IV. A description of why those primary
constituent elements may require special
management considerations or
protection.
V. Our standard for defining the geographical
areas occupied by the species at the time
of listing.
VI. The evaluation of those specific areas
within the geographical area occupied at
the time of listing for the purpose of
determining whether designated critical
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habitat meets the definition under
section 3(5)(A)(i) of the Act.
VII. An additional evaluation of all critical
habitat to determine whether the
designated units meet the test of being
essential to the conservation of the
species, under section 3(5)(A)(ii) of the
Act. We conduct this analysis to assess
whether all areas of critical habitat meet
the statutory definition under either of
the definition’s prongs, regardless of
occupancy. This approach is consistent
with the ruling in Home Builders Ass’n
of Northern California v. U.S. Fish and
Wildlife Service, 616 F.3d 983 (9th Cir.),
cert. denied 131 S.Ct. 1475 (2011), in
which the court upheld a critical habitat
rule in which the Service had
determined that the areas designated,
whether occupied or not, met the more
demanding standard of being essential
for conservation.
VIII. Restated correction to preamble
language in 1996 critical habitat rule.
IX. Effects of critical habitat designation
under section 7 of the Act.
X. As required by section 4(b)(2) of the Act,
consideration of the potential economic
impacts of this proposed rule.
XI. Proposed determination that all areas
currently designated as critical habitat
for the marbled murrelet meet the
statutory definition under the Act.
I. Critical Habitat
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
(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.
Under the first prong of the Act’s
definition of critical habitat in section
3(5)(a)(i), areas within the geographical
area occupied by the species at the time
it was listed may be included in critical
habitat 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
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
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and biological features within an area,
we focus on the primary biological or
physical constituent elements (primary
constituent elements such as roost sites,
nesting grounds, seasonal wetlands,
water quality, tide, soil type) that are
essential to the conservation of the
species. Primary constituent elements
(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 in section
3(5)(A)(ii), we can designate critical
habitat in areas outside the geographical
area occupied by the species at the time
it is listed, upon the Secretary’s
determination that such areas are
essential for the conservation of the
species. For example, an area currently
occupied by the species but that was not
occupied at the time of listing may be
essential for the conservation of the
species and may be included in the
critical habitat designation. In addition,
if critical habitat is designated or
revised subsequent to listing, we may
designate areas as critical habitat that
may currently be unoccupied but that
were occupied at the time of listing. We
designate critical habitat in areas
outside the geographical area presently
occupied by a species only when a
designation limited to its present range
would be inadequate to ensure the
conservation of the species.
II. Physical or Biological Features
Here we describe the physical or
biological features essential to the
conservation of the marbled murrelet,
for the purpose of evaluating whether
these features are present within the
areas designated as critical habitat for
this reconsideration of the final rule.
We identified the specific physical or
biological features essential for the
conservation of the marbled murrelet
from studies of this species’ habitat,
ecology, and life history as described
below. Additional information can be
found in the final listing rule published
in the Federal Register on October 1,
1992 (57 FR 45328), and the Recovery
Plan for the Marbled Murrelet (USFWS
1997). In the 1996 final critical habitat
rule (May 24, 1996; 61 FR 26256), we
relied on the best available scientific
information to describe the terrestrial
habitat used for nesting by the marbled
murrelet. For this 2015 rule
reconsideration, the majority of the
following information is taken directly
from the 1996 final critical habitat rule,
where the fundamental physical or
biological features essential to the
marbled murrelet as described therein
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51509
remain valid (described in the section
titled Ecological Considerations) (May
24, 1996; 61 FR 26256).
Where newer scientific information is
available that refutes or validates the
information presented in the 1996 final
critical habitat rule, that information is
provided here and is so noted. However,
this proposed rule does not constitute a
complete summary of all new scientific
information on the biology of the
marbled murrelet since 1996. Because
this rule reconsideration addresses the
1996 final critical habitat, as revised in
2011 (October 5, 2011; 76 FR 61599),
which designated critical habitat only in
the terrestrial environment, the
following section will solely focus on
the terrestrial nesting habitat features.
Forested areas with conditions that are
capable of supporting nesting marbled
murrelets are referred to as ‘‘suitable
nesting habitat.’’ Loss of such nesting
habitat was the primary basis for listing
the marbled murrelet as threatened;
hence protection of such habitat is
essential to the conservation of the
species. We consider the information
provided here to represent the best
available scientific data with regard to
the physical or biological features
essential for the marbled murrelet’s use
of terrestrial habitat.
Throughout the forested portion of the
species’ range, marbled murrelets
typically nest in forested areas
containing characteristics of older
forests (Binford et al. 1975, p. 305;
Quinlan and Hughes 1990, entire;
Hamer and Cummins 1991, pp. 9–13;
Kuletz 1991, p. 2; Singer et al. 1991, pp.
332–335; Singer et al. 1992, entire;
Hamer et al. 1994, entire; Hamer and
Nelson 1995, pp. 72–75; Ralph et al.
1995a, p. 4). The marbled murrelet
population in Washington, Oregon, and
California nests in most of the major
types of coniferous forests (Hamer and
Nelson 1995, p. 75) in the western
portions of these states, wherever older
forests remain inland of the coast.
Although marbled murrelet nesting
habitat characteristics may vary
throughout the range of the species,
some general habitat attributes are
characteristic throughout its range,
including the presence of nesting
platforms, adequate canopy cover over
the nest, landscape condition, and
distance to the marine environment
(Binford et al. 1975, pp. 315–316;
Hamer and Nelson 1995, pp. 72–75;
Ralph et al. 1995b, p. 4; McShane et al.
2004, p. 4–39).
Individual tree attributes that provide
conditions suitable for nesting (i.e.,
provide a nesting platform) include
large branches (ranging from 4 to 32 in
(10 to 81 cm), with an average of 13
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inches (in) (32 centimeters (cm)) in
Washington, Oregon, and California) or
forked branches, deformities (e.g.,
broken tops), dwarf mistletoe infections,
witches’ brooms, and growth of moss or
other structures large enough to provide
a platform for a nesting adult marbled
murrelet (Hamer and Cummins 1991, p.
15; Singer et al. 1991, pp. 332–335;
Singer et al. 1992, entire; Hamer and
Nelson 1995, p. 79). These nesting
platforms are generally located greater
or equal to 33 feet (ft) (10 meters (m))
above ground (reviewed in Burger 2002,
pp. 41–42 and McShane et al. 2004, pp.
4–55–4–56). These structures are
typically found in old-growth and
mature forests, but may be found in a
variety of forest types including younger
forests containing remnant large trees.
Since 1996, research has confirmed that
the presence of platforms is considered
the most important characteristic of
marbled murrelet nesting habitat
(Nelson 1997, p. 6; reviewed in Burger
2002, pp. 40, 43; McShane et al. 2004,
pp. 4–45–4–51, 4–53, 4–55, 4–56, 4–59;
Huff et al. 2006, pp. 12–13, 18). Platform
presence is more important than the size
of the nest tree because tree size alone
may not be a good indicator of the
presence and abundance of platforms
(Evans Mack et al. 2003, p. 3). Tree
diameter and height can be positively
correlated with the size and abundance
of platforms, but the relationship may
change depending on the variety of tree
species and forest types marbled
murrelets use for nesting (Huff et al.
2006, p. 12). Overall, nest trees in
Washington, Oregon, and northern
California have been greater than 19 in
(48 cm) diameter at breast height (dbh)
and greater than 98 ft (30 m) tall (Hamer
and Nelson 1995, p. 81; Hamer and
Meekins 1999, p. 10; Nelson and Wilson
2002, p. 27).
Northwestern forests and trees
typically require 200 to 250 years to
attain the attributes necessary to support
marbled murrelet nesting, although
characteristics of nesting habitat
sometimes develop in younger coastal
redwood (Sequoia sempervirens) and
western hemlock (Tsuga heterophylla)
forests. Forests with older residual trees
remaining from previous forest stands
may also develop into nesting habitat
more quickly than those without
residual trees. These remnant attributes
can be products of fire, windstorms, or
previous logging operations that did not
remove all of the trees (Hansen et al.
1991, p. 383; McComb et al. 1993, pp.
32–36). Other factors that may affect the
time required to develop suitable
nesting habitat characteristics include
site productivity and microclimate.
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Through the 1995 nesting season, 59
active or previously used tree nests had
been located in Washington (9 nests),
Oregon (36 nests), and California (14
nests) (Hamer and Nelson 1995, pp. 70–
71; Nelson and Wilson 2002, p. 134;
Washington Department of Fish and
Wildlife murrelet database; California
Department of Fish and Game murrelet
database). All of the nests for which
data were available in 1996 in
Washington, Oregon, and California
were in large trees that were more than
32 in (81 cm) dbh (Hamer and Nelson
1995, p. 74). Of the 33 nests for which
data were available, 73 percent were on
a moss substrate and 27 percent were on
litter, such as bark pieces, conifer
needles, small twigs, or duff (Hamer and
Nelson 1995, p. 74). The majority of nest
platforms were created by large or
deformed branches (Hamer and Nelson
1995, p. 79). Nests found subsequently
have characteristics generally consistent
with these tree diameter and platform
sources (McShane et al. 2004, pp. 4–50
to 4–59; Bloxton and Raphael 2009, p.
8). However, in Oregon, nests were
found in smaller diameter trees (as
small as 19 in (49 cm)) that were
distinguished by platforms provided by
mistletoe infections (Nelson and Wilson
2002, p. 27). In Washington, one nest
was found on a cliff (i.e., ground nest)
that exhibited features similar to a tree
platform, such as vertical and horizontal
cover (Bloxton and Raphael 2009, pp. 8
and 33). In central California, nest
platforms were located on large limbs
and broken tops with 32.3 percent mean
moss cover on nest limbs (Baker et al.
2006, p. 944).
More than 94 percent of the nests for
which data were available in 1996 were
in the top half of the nest trees, which
may allow easy nest access and provide
shelter from potential predators and
weather. Canopy cover directly over the
nests was typically high (average 84
percent; range 5 to 100 percent) in
Washington, Oregon, and California
(Hamer and Nelson 1995, p. 74). This
cover may provide protection from
predators and weather. Such canopy
cover may be provided by trees adjacent
to the nest tree, or by the nest tree itself.
Canopy closure of the nest stand/site
varied between 12 and 99 percent and
averaged 48 percent (Hamer and Nelson
1995, p. 73). Information gathered
subsequent to 1996 confirms that
additional attributes of the platform are
important including both vertical and
horizontal cover and substrate. Known
nest sites have platforms that are
generally protected by branches above
(vertical cover) or to the side (horizontal
cover) (Huff et al. 2006, p. 14). Marbled
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murrelets appear to select limbs and
platforms that provide protection from
predation (Marzluff et al. 2000, p. 1135;
Luginbuhl et al. 2001, p. 558; Raphael
et al. 2002.a, pp. 226, 228) and
inclement weather (Huff et al. 2006, p.
14). Substrate, such as moss, duff, or
needles on the nest limb is important for
protecting the egg and preventing it
from falling (Huff et al. 2006, p. 13).
Nests have been located in forested
areas dominated by coastal redwood,
Douglas-fir (Pseudotsuga menziesii),
mountain hemlock (Tsuga mertensiana),
Sitka spruce (Picea sitchensis), western
hemlock, and western red cedar (Thuja
plicata) (Binford et al. 1975, p. 305;
Quinlan and Hughes 1990, entire;
Hamer and Cummins 1991, p. 15; Singer
et al. 1991, p. 332, Singer et al. 1992,
p. 2; Hamer and Nelson 1995, p. 75).
Individual nests in Washington, Oregon,
and California have been located in
Douglas-fir, coastal redwood, western
hemlock, western red cedar, and Sitka
spruce trees (Hamer and Nelson 1995, p.
74).
For nesting habitat to be accessible to
marbled murrelets, it must occur close
enough to the marine environment for
marbled murrelets to fly back and forth.
The farthest inland distance for a site
with nesting behavior detections is 52
mi (84 km) in Washington. The farthest
known inland sites with nesting
behavior detections in Oregon and
California are 40 and 24 mi (65 and 39
km), respectively (Evans Mack et al.
2003, p. 4). Additionally, as noted
below in the section titled Definition of
Geographical Area Occupied at the
Time of Listing, presence detections
have been documented farther inland in
Washington, Oregon, and California
(Evans Mack et al. 2003, p. 4).
Prior to Euroamerican settlement in
the Pacific Northwest, nesting habitat
for the marbled murrelet was well
distributed, particularly in the wetter
portions of its range in Washington,
Oregon, and California. This habitat was
generally found in large, contiguous
blocks of forest (Ripple 1994, p. 47) as
described under the Management
Considerations section of the 1996 final
critical habitat rule (May 24, 1996; 61
FR 26256).
Areas where marbled murrelets are
concentrated at sea during the breeding
season are likely determined by a
combination of terrestrial and marine
conditions. However, nesting habitat
appears to be the most important factor
affecting marbled murrelet distribution
and numbers. Marine survey data
confirmed conclusions made in the
supplemental proposed critical habitat
rule (August 10, 1995; 60 FR 40892) that
marine observations of marbled
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murrelets during the nesting season
generally correspond to the largest
remaining blocks of suitable forest
nesting habitat (Nelson et al. 1992, p.
64; Varoujean et al. 1994, entire; Ralph
et al. 1995b, pp. 5–6; Ralph and Miller
1995, p. 358).
Consistent with Varoujean et al.’s
(1994) 1993 and 1994 aerial surveys,
Thompson (1996, p. 11) found marbled
murrelets to be more numerous along
Washington’s northern outer coast and
less abundant along the southern coast.
Thompson reported that this
distribution appears to be correlated
with: (1) Proximity of old-growth forest,
(2) the distribution of rocky shoreline/
substrate versus sandy shoreline/
substrate, and (3) abundance of kelp
(Thompson 1996, p. 11). In British
Columbia Canada, Rodway et al. (1995,
pp. 83, 85, 86) observed marbled
murrelets aggregating on the water close
to breeding areas at the beginning of the
breeding season and, for one of their
two study areas, again in July as young
were fledging. Burger (1995, pp. 305–
306) reported that the highest at-sea
marbled murrelet densities in both 1991
and 1993 were seen immediately
adjacent to two tracts of old-growth
forest, while areas with very low
densities of marbled murrelets were
adjacent to heavily logged watersheds.
More recent evidence supports that
detections of marbled murrelets at
inland sites and densities offshore were
higher in or adjacent to areas with large
patches of old-growth, and in areas of
low fragmentation and low isolation of
old-growth patches (Raphael et al. 1995,
pp. 188–189; Burger 2002, p. 54; Meyer
and Miller 2002, pp. 763–764; Meyer et
al. 2002, pp. 109–112; Miller et al. 2002,
p. 100; Raphael et al. 2002a, p. 221;
Raphael et al. 2002b, p. 337). Overall,
landscapes with detections indicative of
nesting behavior tended to have large
core areas of old-growth and low
amounts of overall edge (Meyer and
Miller 2002, pp. 763–764; Raphael et al.
2002b, p. 331).
In contrast, where nesting habitat is
limited in southwest Washington,
northwest Oregon, and portions of
California, few marbled murrelets are
found at sea during the nesting season
(Ralph and Miller 1995, p. 358;
Varoujean and Williams 1995, p. 336;
Thompson 1996, p. 11). For instance, as
of 1996, the area between the Olympic
Peninsula in Washington and Tillamook
County in Oregon (100 mi (160 km)) had
few sites with detections indicative of
nesting behavior or sightings at sea of
marbled murrelets. In California,
approximately 300 mi (480 km) separate
the large breeding populations to the
north in Humboldt and Del Norte
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Counties from the southern breeding
population in San Mateo and Santa Cruz
Counties. This reach contained few
marbled murrelets during the breeding
season; however, the area likely
contained significant numbers of
marbled murrelets before extensive
logging (Paton and Ralph 1988, p. 11,
Larsen 1991, pp. 15–17). More recent atsea surveys confirm the low numbers of
marbled murrelets in marine areas
adjacent to inland areas that have
limited nesting habitat (Miller et al.
2012, p. 775; Raphael et al. 2015, p. 21).
Dispersal mechanisms of marbled
murrelets are not well understood;
however, social interactions may play
an important role. The presence of
marbled murrelets in a forest stand may
attract other pairs to currently unused
habitat within the vicinity. This may be
one of the reasons marbled murrelets
have been observed in habitat not
currently suitable for nesting, but in
close proximity to known nesting sites
(Hamer and Cummins 1990, p. 14;
Hamer et al. 1994, entire). Although
marbled murrelets appear to be solitary
in their nesting habits (Nelson and Peck
1995, entire), they are frequently
detected in groups above the forest,
especially later in the breeding season
(USFWS 1995, pp. 14–16). Two active
nests discovered in Washington during
1990 were located within 150 ft (46 m)
of each other (Hamer and Cummins
1990, p. 47), and two nests discovered
in Oregon during 1994 were located
within 100 ft (33 m) of each other
(USFWS 1995, p. 14). Therefore, unused
habitat in the vicinity of known nesting
habitat may be more important for
recovering the species than suitable
habitat isolated from known nesting
habitat (USFWS 1995; USFWS 1997, p.
20). Similarly, marbled murrelets are
more likely to discover newly
developing habitat in proximity to sites
with documented nesting behaviors.
Because the presence of marbled
murrelets in a forest stand may attract
other pairs to currently unused habitat
within the vicinity, the potential use of
these areas may depend on how close
the new habitat is to known nesting
habitat, as well as distance to the marine
environment, population size, and other
factors (McShane et al. 2004, p. 4–78).
Marbled murrelets are believed to be
highly vulnerable to predation when on
the nesting grounds, and the species has
evolved a variety of morphological and
behavioral characteristics indicative of
selection pressures from predation
(Ralph et al. 1995b, p. 13). For example,
plumage and eggshells exhibit cryptic
coloration, and adults fly to and from
nests by indirect routes and often under
low-light conditions (Nelson and Hamer
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1995a, p. 66). Potential nest predators
include the great horned owl (Bubo
virginianus), Cooper’s hawk (Accipiter
cooperii), barred owl (Strix varia),
northwestern crow (Corvus caurinus),
American crow (Corvus
brachyrhynchos), and gray jay
(Perisoreus canadensis) (Nelson and
Hamer 1995b, p. 93; Marzluff et al.
1996, p. 22; McShane et al. 2004, p. 2–
17). The common raven (Corvus corax),
Steller’s jay (Cyanocitta stelleri), and
sharp-shinned hawk (Accipiter striatus)
are known predators of eggs or chicks
(Nelson and Hamer 1995b, p. 93,
McShane et al. 2004, pp. 2–16–2–17).
Based on experimental work with
artificial nests, predation on eggs and
chicks by squirrels and mice may also
occur (Luginbuhl et al. 2001, p. 563;
Bradley and Marzluff 2003, pp. 1183–
1184). In addition, a squirrel has been
documented rolling a recently
abandoned egg off a nest (Malt and Lank
2007, p. 170).
From 1974 through 1993, of those
marbled murrelet nests in Washington,
Oregon, and California where nest
success or failure was documented,
approximately 64 percent of the nests
failed. Of those nests, 57 percent failed
due to predation (Nelson and Hamer
1995b, p. 93). Continuing research
further supports predation as a
significant cause of nest failure
(McShane et al. 2004, pp. 2–16 to 2–19;
Peery et al. 2004, pp. 1093–1094; Hebert
and Golightly 2006, pp. 98–99; Hebert
and Golightly 2007, pp. 222–223; Malt
and Lank 2007, p. 165). The relatively
high predation rate could be biased
because nests near forest edges may be
more easily located by observers and
also more susceptible to predation, and
because observers may attract predators.
However, Nelson and Hamer (1995b, p.
94) believed that researchers had
minimal impacts on predation in most
cases because the nests were monitored
from a distance and relatively
infrequently, and precautions were
implemented to minimize predator
attraction. More recent research has
relied on remotely operated cameras for
observing nests, rather than people, in
order to reduce the possible effects of
human attraction (Hebert and Golightly
2006, p. 12; Hebert and Golightly 2007,
p. 222).
Several possible reasons exist for the
high observed predation rates of
marbled murrelet nests. One possibility
is that these high predation rates are
normal, although it is unlikely that a
stable population could have been
maintained historically under the
predation rates observed (Beissinger
1995, p. 390).
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In the 1996 rule we hypothesized that
populations of marbled murrelet
predators such as corvids (jays, crows,
and ravens) and great horned owls are
increasing in the western United States,
largely in response to habitat changes
and food sources provided by humans
(Robbins et al. 1986, pp. 43–46; Johnson
1993, pp. 58–60; Marzluff et al. 1994,
pp. 214–216; National Biological
Service 1996, entire), resulting in
increased predation rates on marbled
murrelets. Subsequent to the 1996 rule,
surveys have confirmed that corvid
populations are indeed increasing in
western North America as a result of
land use and urbanization (Marzluff et
al. 2001, pp. 332–333; McShane et al.
2004, pp. 6–11; Sauer et al. 2013, pp.
18–19). However, breeding bird surveys
in North America indicate that great
horned owls are declining in 40 percent
of the areas included in the surveys
(Sauer et al. 2013, p. 17). Barred owls
(Strix varia), foraging generalists that
may prey on marbled murrelets, were
not considered in 1996, but have
subsequently been shown to be
significantly increasing in numbers and
distribution (Sauer et al. 2013, p. 17).
In the 1996 rule, we also posited that
creation of greater amounts of forest
edge habitat may increase the
vulnerability of marbled murrelet nests
to predation and ultimately lead to
higher rates of predation. Edge effects
have been implicated in increased forest
bird nest predation rates for other
species of birds (Chasko and Gates 1982,
pp. 21–23; Yahner and Scott 1988, p.
160). In a comprehensive review of the
many studies on the potential
relationship between forest
fragmentation, edge, and adverse effects
on forest nesting birds, Paton (1994, p.
25) concluded that ‘‘strong evidence
exists that avian nest success declines
near edges.’’ Small patches of habitat
have a greater proportion of edge than
do large patches of the same shape.
However, many of the studies Paton
(1994, entire) reviewed involved lands
where forests and agricultural or urban
areas interface, or they involved
experiments with ground nests that are
not readily applicable to canopy nesters
such as marbled murrelets. Paton (1994,
p. 25), therefore, stressed the need for
studies specific to forests fragmented by
timber harvest in the Pacific Northwest
and elsewhere.
Some research on this topic has been
conducted in areas dominated by timber
production and using nests located off
the ground (Ratti and Reese 1988, entire;
Rudnicky and Hunter 1993, entire;
Marzluff et al. 1996, entire; Vander
Haegen and DeGraaf in press, entire).
Vander Haegen and DeGraaf (in press, p.
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8; 1996, pp. 175–176) found that nests
in shrubs less than 75 m (246 ft) from
an edge were three times as likely to be
depredated than nests greater than 75 m
(264 ft) from an edge. Likewise,
Rudnicky and Hunter (1993, p. 360)
found that shrub nests on the forest edge
were depredated almost twice as much
as shrub nests located in the forest
interior. They also observed that shrub
nests were taken primarily by avian
predators such as crows and jays, which
is consistent with the predators believed
to be impacting marbled murrelets,
while ground nests were taken by large
mammals such as raccoons and skunks.
Ratti and Reese (1988, entire) did not
find the edge relationship documented
by Rudnicky and Hunter (1993, entire),
Vander Haegen and DeGraaf (in press),
and others cited in Paton (1994, entire).
However, Ratti and Reese (1988, p. 488)
did observe lower rates of predation
near ‘‘feathered’’ edges compared to
‘‘abrupt’’ edges (e.g., clearcut or field
edges), and suggested that the vegetative
complexity of the feathered edge may
better simulate natural edge conditions
than do abrupt edges. These authors
also concluded that their observations
were consistent with Gates and Gysel’s
(1978, p. 881) hypothesis that birds are
poorly adapted to predator pressure
near abrupt artificial edge zones.
Studies of artificial and natural nests
conducted in Pacific Northwest forests
also indicate that predation of forest
bird nests may be affected by habitat
fragmentation, forest management, and
land development (Hansen et al. 1991,
p. 388; Vega 1993, pp. 57–61; Bryant
1994, pp. 14–16; Nelson and Hamer
1995b, pp. 95–97; Marzluff et al. 1996,
pp. 31–35). Nelson and Hamer (1995b,
p. 96), found that successful marbled
murrelet nests were further from edge
than unsuccessful nests. Marzluff et al.
(1996, entire) conducted experimental
predation studies that used simulated
marbled murrelet nests, and more recent
research documented predation of
artificial marbled murrelet nests by
birds and arboreal mammals (Luginbuhl
et al. 2001, pp. 562–563; Bradley and
Marzluff 2003, pp. 1183–1884; Marzluff
and Neatherlin 2006, p. 310; Malt and
Lank 2007, p. 165). Additionally, more
recent research indicates proximity to
human activity and landscape
contiguity may interact to determine
rate of predation (Marzluff et al. 2000,
pp. 1136–1138, Raphael et al. 2002a,
entire; Zharikov et al. 2006, p. 117; Malt
and Lank 2007, p. 165). Interior forest
nests in contiguous stands far from
human activity appear to experience the
least predation (Marzluff et al. 1996, p.
29; Raphael et al. 2002a, pp. 229–231).
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More recent information indicates
that marbled murrelets locate their nests
throughout forest stands and fragments,
including along various types of natural
and human-made edges (Hamer and
Meekins 1999, p. 1; Manley 1999, p. 66;
Bradley 2002, pp. 42, 44; Burger 2002,
p. 48; Nelson and Wilson 2002, p. 98).
In California and southern Oregon, areas
with abundant numbers of marbled
murrelets were farther from roads,
occurred more often in parks protected
from logging, and were less likely to
occupy old-growth habitat if they were
isolated (greater than 3 mi (5 km)) from
other nesting marbled murrelets (Meyer
et al. 2002, pp. 95, 102–103). Marbled
murrelets no longer occur in areas
without suitable forested habitat, and
they appear to abandon highly
fragmented areas over time (areas highly
fragmented before the late 1980s
generally did not support marbled
murrelets by the early 1990s) (Meyer et
al. 2002, p. 103).
The conversion of large tracts of
native forest to small, isolated forest
patches with large edge can create
changes in microclimate, vegetation
species, and predator–prey dynamics—
such changes are often collectively
referred to as ‘‘edge effects.’’
Unfragmented, older-aged forests have
lower temperatures and solar radiation
and higher humidity compared to
clearcuts and other open areas (e.g.,
Chen et al. 1993, p. 219; Chen et al.
1995, p. 74). Edge habitat is also
exposed to increased temperatures and
light, high evaporative heat loss,
increased wind, and decreased
moisture. Fundamental changes in the
microclimate of a stand have been
recorded at least as far as 787 ft (240 m)
from the forest edge (Chen et al. 1995,
p. 74). The changes in microclimate
regimes with forest fragmentation can
stress an old-growth associate species,
especially a cold-water adapted seabird
such as the marbled murrelet (Meyer
and Miller 2002, p. 764), and can affect
the distribution of epiphytes that
marbled murrelets use for nesting.
Branch epiphytes or substrate have been
identified as a key component of
marbled murrelet nests (Nelson et al.
2003, p. 52; McShane et al. 2004, pp. 4–
48, 4–89, 4–104). While there are no
data on the specific effects of
microclimate changes on the availability
of marbled murrelet nesting habitat at
the scale of branches and trees, as
discussed in the references above, the
penetration of solar radiation and warm
temperatures into the forest could
change the distribution of epiphytes,
and wind could blow moss off nesting
platforms.
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A large body of research indicates that
marbled murrelet productivity is
greatest in large, complex-structured
forests far from human activity due to
the reduced levels of predation present
in such landscapes. Marbled murrelet
productivity is lowest in fragmented
landscapes; therefore, marbled murrelet
nesting stands may be more productive
if surrounded by simple-structured
forests, and minimal human recreation
and settlement. Human activities can
significantly compromise the
effectiveness of the forested areas
surrounding nests to protect the birds
and/or eggs from predation (Huhta et al.
1998, p. 464; Marzluff et al. 1999, pp.
3–4; Marzluff and Restani 1999, pp. 7–
9, 11; Marzluff et al. 2000, pp. 1136–
1138; De Santo and Willson 2001, pp.
145–147; Raphael et al. 2002a, p. 221;
Ripple et al. 2003, p. 80).
In addition to studies of edge effects,
some research initiated prior to 1996
looked at the importance of stand size.
Among all Pacific Northwest birds, the
marbled murrelet is considered to be
one of the most sensitive to forest
fragmentation (Hansen and Urban 1992,
p. 168). Marbled murrelet nest stand
size in Washington, Oregon, and
California varied between 7 and 2,717
ac (3 and 1,100 ha) and averaged 509 ac
(206 ha) (Hamer and Nelson 1995, p.
73). Nelson and Hamer (1995b, p. 96)
found that successful marbled murrelets
tended to nest in larger stands than did
unsuccessful marbled murrelets, but
these results were not statistically
significant. Miller and Ralph (1995,
entire) compared marbled murrelet
survey detection rates among four stand
size classes in California. Recording a
relatively consistent trend, they
observed that a higher percentage of
large stands (33.3 percent) had nesting
behavior detections when compared to
smaller stands (19.8 percent), while a
greater percentage of the smallest stands
(63.9 percent) had no presence or
nesting behavior detections when
compared to the largest stands (52.4
percent) (Miller and Ralph 1995, pp.
210–212). However, these results were
not statistically significant, and the
authors did not conclude that marbled
murrelets preferentially select or use
larger stands. The authors suggested the
effects of stand size on marbled murrelet
presence and use may be masked by
other factors such as stand history and
proximity of a stand to other old-growth
stands. Rodway et al. (1993, p. 846)
recommended caution when
interpreting marbled murrelet detection
data, such as that used by Miller and
Ralph (1995), because numbers of
detections at different sites may be
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affected by variation caused by weather,
visibility, and temporal shifts.
In addition to stand size, general
landscape condition may influence the
degree to which marbled murrelets nest
in an area. In Washington, marbled
murrelet detections increased when oldgrowth/mature forests make up more
than 30 percent of the landscape (Hamer
and Cummins 1990, p. 43). Hamer and
Cummins (1990, p. 43) found that
detections of marbled murrelets
decreased in Washington when the
percentage of clear-cut/meadow in the
landscape increased above 25 percent.
Additionally, Raphael et al. (1995, p.
177) found that the percentage of oldgrowth forest and large sawtimber was
significantly greater within 0.5 mi (0.8
km) of sites (501-ac (203-ha) circles) that
were used by nesting marbled murrelets
than at sites where they were not
detected. Raphael et al. (1995, p. 189)
suggested tentative guidelines based on
this analysis that sites with 35 percent
old-growth and large sawtimber in the
landscape are more likely to be used for
nesting. In California, Miller and Ralph
(1995, pp. 210–211) found that the
density of old-growth cover and the
presence of coastal redwood were the
strongest predictors of marbled murrelet
presence.
In summary, the best scientific
information available strongly suggests
that marbled murrelet reproductive
success may be adversely affected by
forest fragmentation associated with
either natural disturbances, such as
severe fire or windthrow, or certain land
management practices, generally
associated with timber harvest or
clearing of forest. Based on this
information, the Service concluded that
the maintenance and development of
suitable habitat in relatively large
contiguous blocks as described in the
1996 rule and the draft Marbled
Murrelet (Washington, Oregon, and
California Population) Recovery Plan
(draft recovery plan) (USFWS 1995, pp.
70–71, finalized in 1997) would
contribute to the recovery of the
marbled murrelet. These blocks of
habitat should contain the structural
features and spatial heterogeneity
naturally found at the landscape level,
the stand level, and the individual tree
level in Pacific Northwest forest
ecosystems (Hansen et al. 1991, pp.
389–390; Hansen and Urban 1992, pp.
171–172; Ripple 1994, p. 48; Bunnell
1995, p. 641; Raphael et al. 1995, p.
189). Newer information further
supports the conclusion that the
maintenance of suitable nesting habitat
in relatively large, contiguous blocks
will be needed to recover the marbled
murrelet (Meyer and Miller 2002, pp.
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763–764; Meyer et al. 2002, p. 95; Miller
et al. 2002, pp. 105–107; Raphael et al.
2011, p. 44).
Summary of Physical or Biological
Features Essential to the Conservation
of the Marbled Murrelet
Therefore, based on the information
presented in the 1996 final critical
habitat rule and more recent data that
continue to confirm the conclusions
drawn in that rule, we consider the
physical or biological features essential
to the conservation of the marbled
murrelet to include forests that are
capable of providing the characteristics
required for successful nesting by
marbled murrelets. Such forests are
typically coniferous forests in
contiguous stands with large core areas
of old-growth or trees with old-growth
characteristics and a low ratio of edge to
interior. However, due to timber harvest
history we recognize that, in some areas,
such as south of Cape Mendocino in
California, coniferous forests with
relatively smaller core areas of oldgrowth or trees with old-growth
characteristics are essential for the
conservation of the marbled murrelet
because they are all that remain on the
landscape. Forests capable of providing
for successful nesting throughout the
range of the listed DPS are typically
dominated by coastal redwood, Douglasfir, mountain hemlock, Sitka spruce,
western hemlock, or western red cedar,
and must be within flight distance to
marine foraging areas for marbled
murrelets.
The most important characteristic of
marbled murrelet nesting habitat is the
presence of nest platforms. These
structures are typically found in oldgrowth and mature forests, but can also
be found in a variety of forest types
including younger forests containing
remnant large trees. Potential nesting
areas may contain fewer than one
suitable nesting tree per acre and nest
trees may be scattered or clumped
throughout the area. Large areas of
unfragmented forest are necessary to
minimize edge effects and reduce the
impacts of nest predators to increase the
probability of nest success. Forests are
dynamic systems that occur on the
landscape in a mosaic of successional
stages, both as the result of natural
disturbances (fire, windthrow) or
anthropogenic management (timber
harvest). On a landscape basis, forests
with a canopy height of at least one-half
the site-potential tree height in
proximity to potential nest trees
contribute to the conservation of the
marbled murrelet. Trees of at least onehalf the site-potential height are tall
enough to reach up into the lower
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canopy of nest trees, which provides
nesting murrelets more cover from
predation. The site-potential tree height
is the average maximum height for trees
given the local growing conditions, and
is based on species-specific site index
tables. The earlier successional stages of
forest also play an essential role in
providing suitable nesting habitat for
the marbled murrelet, as they proceed
through successional stages and develop
into the relatively large, unfragmented
blocks of suitable nesting habitat needed
for the conservation of the species.
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III. Primary Constituent Elements for
the Marbled Murrelet
According to 50 CFR 424.12(b), we are
required to identify the physical or
biological features essential to the
conservation of the marbled murrelet
within the geographical area occupied at
the time of listing, focusing on the
‘‘primary constituent elements’’ (PCEs)
of those features. We consider PCEs to
be 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. For the
marbled murrelet, those life-history
processes associated with terrestrial
habitat are specifically related to
nesting. Therefore, as previously
described in our designation of critical
habitat for the marbled murrelet (61 FR
26256; May 24, 1996), and further
supported by more recent information,
our designation of critical habitat
focused on the following PCEs specific
to the marbled murrelet:
(1) Individual trees with potential
nesting platforms, and
(2) forested areas within 0.5 mile (0.8
kilometer) of individual trees with
potential nesting platforms, and with a
canopy height of at least one-half the
site-potential tree height. This includes
all such forest, regardless of contiguity.
These PCEs are essential to provide
and support suitable nesting habitat for
successful reproduction of the marbled
murrelet.
IV. Special Management Considerations
or Protection
In our evaluation of whether the
current designation meets the statutory
definition of critical habitat, we must
assess not only whether the specific
areas within the geographical area
occupied by the species at the time of
listing contain the physical or biological
features essential to the conservation of
the species, but also whether those
features may require special
management considerations or
protection. Here we describe the special
management considerations or
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protection that apply to the physical or
biological features and PCEs identified
for the marbled murrelet.
As discussed above and in the 1996
final rule designating critical habitat
(May 24, 1996; 61 FR 26261–26263),
marbled murrelets are found in forests
containing a variety of forest structure,
which is in part the result of varied
management practices and natural
disturbance (Hansen et al. 1991, p. 383;
McComb et al. 1993, pp. 32–36). In
many areas, management practices have
resulted in fragmentation of the
remaining older forests and creation of
large areas of younger forests that have
yet to develop habitat characteristics
suitable for marbled murrelet nesting
(Hansen et al. 1991, p. 387). Past and
current forest management practices
have also resulted in a forest age
distribution skewed toward younger
even-aged stands at a landscape scale
(Hansen et al. 1991, p. 387; McComb et
al. 1993, p. 31). Bolsinger and Waddell
(1993, p. 2) estimated that old-growth
forest in Washington, Oregon, and
California had declined by two-thirds
statewide during the previous five
decades.
Current and historical loss of marbled
murrelet nesting habitat is generally
attributed to timber harvest and land
conversion practices, although, in some
areas, natural catastrophic disturbances
such as forest fires have caused losses
(Hansen et al. 1991, pp. 383, 387; Ripple
1994, p. 47; Bunnell 1995, pp. 638–639;
Raphael et al. 2011, pp. 34–39; Raphael
et al. 2015 in prep, pp. 94–96).
Reduction of the remaining older forest
has not been evenly distributed in
western Washington, Oregon, and
California. Timber harvest has been
concentrated at lower elevations and in
the Coast Ranges (Thomas et al. 1990, p.
63), generally overlapping the range of
the marbled murrelet. In California
today, more than 95 percent of the
original old-growth redwood forest has
been logged, and 95 percent of the
remaining old-growth is now in parks or
reserves (Roa 2007, p. 169).
Some of the forests that were affected
by past natural disturbances, such as
forest fires and wind throw, currently
provide suitable nesting habitat for
marbled murrelets because they retain
scattered individual or clumps of large
trees that provide structure for nesting
(Hansen et al. 1991, 383; McComb et al.
1993, p. 31; Bunnell 1995, p. 640). This
is particularly true in coastal Oregon
where extensive fires occurred
historically. Marbled murrelet nests
have been found in remnant old-growth
trees in mature and young forests in
Oregon. Forests providing suitable
nesting habitat and nest trees generally
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require 200 to 250 years to develop
characteristics that supply adequate nest
platforms for marbled murrelets. This
time period may be shorter in redwood
and western hemlock forests and in
areas where significant remnants of the
previous stand remain. Intensively
managed forests in Washington, Oregon,
and California have been managed on
average cutting rotations of 70 to 120
years (USDI 1984, p. 10). Cutting
rotations of 40 to 50 years are common
for some private lands. Timber harvest
strategies on Federal lands and some
private lands have emphasized
dispersed clear-cut patches and evenaged management. Forest lands that are
intensively managed for wood fiber
production are generally prevented from
developing the characteristics required
for marbled murrelet nesting. In
addition, suitable nesting habitat that
remains under these harvest patterns is
highly fragmented.
Within the range of the marbled
murrelet on Federal lands, the
Northwest Forest Plan (NWFP) (USDA
and USDI 1994, entire) designated a
system of Late Successional Reserves
(LSRs), which provides large areas
expected to eventually develop into
contiguous, unfragmented forest. In
addition to LSRs, the NWFP designated
a system of Adaptive Management
Areas, where efforts focus on answering
management questions, and matrix
areas, where most forest production
occurs. Administratively withdrawn
lands, as described in the individual
National Forest or BLM land use plans,
are also part of the NWFP.
In the 1996 final rule, we
acknowledged the value of
implementation of the NWFP as an
integral role in marbled murrelet
conservation. As a result, designated
critical habitat on lands within the
NWFP area administered by the
National Forests and BLM was
congruent with LSRs. These areas, as
managed under the NWFP, should
develop into large blocks of suitable
murrelet nesting habitat given sufficient
time. However, LSRs are plan-level
designations with less assurance of
long-term persistence than areas
designated by Congress. Designation of
LSRs as critical habitat complements
and supports the NWFP and helps to
ensure persistence of this management
directive over time. These lands
managed under the NWFP require
special management considerations or
protection to allow the full development
of the essential physical or biological
features as represented by large blocks
of forest with the old-growth
characteristics that will provide suitable
nesting habitat for marbled murrelets.
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In some areas, the large blocks of
Federal land under the NWFP are
presently capable of providing the
necessary contribution for recovery of
the species. However, the marbled
murrelet’s range includes areas that are
south of the range of the northern
spotted owl (the focus of the NWFP),
where Federal lands are subject to
timber harvest. Therefore, the critical
habitat designated on Federal lands
outside of the NWFP also require
special management considerations or
protection to enhance or restore the oldgrowth characteristics required for
nesting by marbled murrelets, and to
attain the large blocks of contiguous
habitat necessary to reduce edge effects
and predation.
In the 1996 critical habitat rule (May
24, 1996; 61 FR 26256), the Service
designated selected non-Federal lands
that met the requirements identified in
the Criteria for Identifying Critical
Habitat section, in those areas where
Federal lands alone were insufficient to
provide suitable nesting habitat for the
recovery of the species. For example,
State lands were considered to be
particularly important in southwestern
Washington, northwestern Oregon, and
in California south of Cape Mendocino.
Small segments of county lands were
also included in northwestern Oregon
and central California. Some private
lands were designated as critical habitat
because they provided essential
elements and occurred where Federal
lands were, and continue to be, very
limited, although suitable habitat on
private land is typically much more
limited than on public lands. In
California, south of Cape Mendocino,
State, county, city, and private lands
contain the last remnants of nesting
habitat for the southern-most population
of murrelets, which is the smallest, most
isolated, and most susceptible to
extirpation. All of the non-Federal lands
have been and continue to be subject to
some amount of timber harvest and
habitat fragmentation and lower habitat
effectiveness due to human activity.
Therefore, all non-Federal lands within
the designation require special
management considerations or
protection to preserve suitable nesting
habitat where it is already present, and
to provide for the development of
suitable nesting habitat in areas
currently in early successional stages.
In summary, areas that provide the
essential physical or biological features
and PCEs for the marbled murrelet may
require special management
considerations or protection. Because
succession has been set back or
fragmentation has occurred due to either
natural or anthropogenic disturbance,
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those essential features may require
special management considerations or
protections to promote the development
of the large, contiguous blocks of
unfragmented, undisturbed coniferous
forest with old-growth characteristics
(i.e., nest platforms) required by
marbled murrelets. Areas with these
characteristics provide the marbled
murrelet with suitable nesting habitat,
and reduce edge effects, such as
increased predation, resulting in greater
nest success for the species. Areas that
currently provide suitable nesting
habitat for the marbled murrelet may
require protection to preserve those
essential characteristics, as the
development of old-growth
characteristics may take hundreds of
years and thus cannot be easily replaced
once lost.
V. Definition of Geographical Area
Occupied at the Time of Listing
Critical habitat is defined as the
specific areas within the geographical
area occupied by the species, at the time
it is listed under section (3)(5)(A)(i) of
the Act. For the purposes of critical
habitat, the Service must first determine
what constitutes the geographical area
occupied by the species at the time of
listing. We consider this to be a
relatively broad-scale determination, as
the wording of the Act clearly indicates
that the specific areas that constitute
critical habitat will be found within
some larger geographical area. We
consider the ‘‘geographical area
occupied by the species’’ at the time of
listing, for the purposes of section
3(5)(A)(i), to be the area that may be
broadly delineated around the
occurrences of a species, or generally
equivalent to what is commonly
understood as the ‘‘range’’ of the
species. We consider a species
occurrence to be a particular location in
which individuals of the species are
found throughout all or part of their life
cycle, even if not used on a regular basis
(e.g., migratory corridors, seasonal
habitats, and habitats used periodically,
but not solely by vagrant individuals).
Because the ‘‘geographical area
occupied by the species’’ can,
depending on the species at issue and
the relevant data available, be defined
on a relatively broad, coarse scale,
individuals of the species may or may
not be present within each area at a
smaller scale within the geographical
area occupied by the species. For the
purposes of critical habitat, then, we
consider an area to be ‘‘occupied’’
(within the geographical area occupied
by the species) if it falls within the
broader area delineated by the species’
occurrences, i.e., its range.
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Within the listed DPS, at-sea
observations indicate marbled murrelets
use the marine environment along the
Pacific Coast from the British Columbia,
Canada/Washington border south to the
Mexico/California border. Because they
must fly back and forth to the nest from
their marine foraging areas, marbled
murrelets use inland areas for nesting
that are nearby to those areas used by
the species offshore. The inland extent
of terrestrial habitat use varies from
north to south and depends upon the
presence of nesting structures in
relation to marine foraging areas.
Marbled murrelets have been detected
as far inland as 70 miles (mi) (113
kilometers (km)) in Washington, but the
inland extent narrows going south,
where marbled murrelets generally
occur within 25 mi (40 km) of the coast
in California. At a broad scale, the
geographical area occupied by the listed
DPS of the marbled murrelet at the time
of listing includes the west coast from
the British Columbia, Canada/
Washington border south to the Mexico/
California border, ranging inland from
approximately 70 mi (113 km) in
Washington to roughly 25 mi (40 km) of
the coast in California. However, the
inland nesting habitat extends
southward in California only to just
south of Monterey Bay. Occurrence data
that supports this geographic range
includes at-sea surveys, radar
detections, radio-telemetry studies, and
audio-visual surveys.
At the time the marbled murrelet was
listed (October 1, 1992; 57 FR 45528),
occurrence data were very limited.
However, the geographic range was
generally known at that time, with the
exception of the exact inland extent.
We now describe what is known
about marbled murrelet use of the
critical habitat subunits that were
designated in 1996, as revised in 2011.
In 1996, only terrestrial areas were
designated as critical habitat. Terrestrial
habitat is used by the marbled murrelet
only for the purpose of nesting;
therefore, we focus on those specific
areas used for nesting by the species.
Because we did not designate critical
habitat in the marine environment, that
aspect of the species’ life history or
available data will not be discussed
further, unless it is pertinent to the
terrestrial habitat.
At the landscape scale, marbled
murrelets show fidelity to marine
foraging areas and may return to specific
watersheds for nesting (Nelson 1997,
pp. 13, 16–17, 20; Cam et al. 2003, p.
1123). For example, marbled murrelets
have been observed to return to the
same specific nest branches or sites
(Hebert and Golightly 2006, p. 270;
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Bloxton and Raphael 2009, p. 11).
Repeated surveys in nesting stands have
revealed site tenacity similar to that of
other birds in the alcid family (Huff et
al. 2006, p. 12) in that marbled
murrelets have been observed in the
same suitable habitat areas for more
than 20 years in California and
Washington. Based on the high site
tenacity exhibited by marbled murrelets,
it is highly likely that areas found to be
used by marbled murrelets since listing
in 1992 were also being used at the time
of listing. Therefore, in order to
determine whether any particular area
was being used at the time the marbled
murrelet was listed, we used all years of
survey data available to us (for example,
through 2013 in Washington, and some
data through 2014 for California).
Not all survey data are indicative of
nesting. The specific types of data that
we relied upon include audiovisual
surveys and specific nest locations,
which may have been located through
radio-telemetry studies, tree climbing,
chicks on the ground, or egg shell
fragments. Audiovisual surveys result in
a variety of detections, only some of
which are specific indicators of nesting
behavior tied to the area being surveyed.
The types of behaviors that are
indicative of nesting include: Subcanopy behaviors, circling above the
canopy, and stationary calling. Other
types of detections, such as radar and
fly-overs observed during audiovisual
surveys, provide information regarding
the general use of an area, but generally
do not tie the observed individual(s) to
a specific forested area (Evans Mack et
al. 2003, pp. 20–23).
There continue to be gaps in our
knowledge of marbled murrelet use in
the terrestrial environment. Surveys are
site/project specific and generally have
been conducted for the purposes of
allowing timber harvest. Surveys not
conducted in adherence to the strict
protocol may have missed nesting
behaviors due to the cryptic nature of
marbled murrelets and their nests. For
example, a single visit to a location
where marbled murrelets are present
has only a 55 percent chance of
detecting marbled murrelets (Evans
Mack et al. 2003, p. 39). In addition, on
some lands, such as Federal LSRs, our
history of consultation under section 7
of the Act demonstrates that, in general,
land managers choose not to conduct
surveys to determine site ‘‘presence;’’
rather they consider the suitable habitat
to be used by nesting murrelets and
adjust their projects accordingly.
Therefore, we recognize that our
information regarding marbled murrelet
use of the terrestrial landscape is
incomplete; however, we have
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determined that the information used in
this document is the best scientific data
available.
We consider the geographical area
occupied by the species at the time of
listing for the purposes of critical
habitat to be equivalent to the nesting
range of the marbled murrelet, for the
reasons described above. However, it is
important to note that at the time of
listing, we may not have had data that
definitively demonstrated the presence
of nesting murrelets within each
specific area designated as critical
habitat. Some of these areas still lack
adequate survey information. Yet
because these areas fall within the
broader nesting range of the species, we
consider them to have been occupied at
the time of listing. For the purposes of
clarity, we further evaluated the specific
areas within that broader geographic
range to determine whether we have
documented detections of behaviors
indicative of nesting by the marbled
murrelet at the scale of each subunit.
The following types of data are
indicative of the marbled murrelet’s use
of forested areas for nesting and will be
relied upon to make the determination
of whether we have documentation of
nesting behavior by critical habitat
subunit:
(a) Data indicative of nesting
behavior. A subunit with any of the
following data will be considered to
have a documented detection of nesting
behavior. We consider one detection in
a subunit sufficient to support a positive
nesting behavior determination for the
entire subunit.
(1) Audio/visual surveys conducted
according to the Pacific Seabird Group
(PSG) survey protocol (Evans Mack et
al. 2003 or earlier versions). Detection
types that are indicative of nesting
include: Sub-canopy behaviors (such as
flying through the canopy or landing),
circling above the canopy, and
stationary calling.
(2) Nest locations obtained through
radio-telemetry tracking, tree climbing,
egg-shell fragments, and chicks on the
ground.
(b) Contiguity of forested areas within
which nesting behaviors have been
observed. According to the PSG protocol
(Evans Mack et al. 2003), a contiguously
forested area with detections indicative
of nesting behavior is deemed to be used
by nesting marbled murrelets
throughout its entirety. Therefore, any
subunits where there were no detections
of behaviors indicative of nesting or
possibly no surveys, but the forested
areas in the subunit are contiguous with
forested areas extending outside of the
subunit within which there are
documented nesting behaviors, will be
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deemed to be positive in terms of a
nesting behavior detection.
Radar-based marbled murrelet
detections and presence-only detections
(such as flying over or heard only)
resulting from audio/visual surveys
were not used to classify a subunit as
positive in terms of nesting behavior
detections. Even though these
detections indicate use of an area by
marbled murrelets, these types of
detections do not link murrelet nesting
to specific areas of forested habitat.
In Washington and California,
occurrence data, including nest
locations and audio/visual survey data,
are maintained in State wildlife agency
databases. The Washington Department
of Fish and Wildlife marbled murrelet
data was obtained by the Service on
June 19, 2014, and includes data
collected through 2013. The California
Department of Fish and Wildlife’s
marbled murrelet occurrence database,
as currently maintained by the Arcata
Fish and Wildlife Office, was accessed
on February 5, 2015. The database
includes information on some surveys
conducted through 2006, with one
observation from 2014, but is
incomplete for the State. Audio/visual
surveys in Oregon are not maintained in
a centralized database. The Service,
through a cooperative agreement,
provided funds to the Oregon State
University to obtain and collate Oregon
survey data. The data provided to the
Service included surveys through 2003,
mainly on Federal lands. Additionally,
the BLM and Oregon Department of
Forestry provided a summary of current
survey data, as of March of 2015, within
critical habitat in Oregon. Survey data
for private lands in Oregon were not
available.
VI. Specific Areas Occupied at the Time
of Listing
We have determined that all 101
subunits designated as critical habitat in
1996, as revised in 2011, are within the
geographical range occupied by the
species at the time of listing, and all 101
subunits contain the physical or
biological features and PCEs essential to
the conservation of the species.
Evidence of the presence of PCEs is
based on nests located within a subunit,
nesting behavior detections, audiovisual survey station placements
(generally surveys are only conducted if
there are nesting platforms present in
the forested area), and specific forest
inventory data. All of these forms of
evidence point to the presence of PCE
1, nesting platforms, within the subunit,
as well as the presence of PCE 2. In
addition, within all 101 subunits, the
essential physical or biological features
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and PCEs may require special
management considerations or
protection, as described above, because
these subunits have received or
continue to receive some level of timber
harvest, fragmentation of the forested
landscape, and reduced habitat
effectiveness from human activity.
Therefore, all 101 subunits meet the
definition of critical habitat under
section 3(5)(A)(i) of the Act.
Of the 101 subunits, 78 (all critical
habitat subunits except for those
identified in Table 1, below) have either
specific nesting behavior detection data
within the subunit or forested areas
within the subunit that are contiguous
with forested areas within which
nesting behaviors have been observed.
In total, the 78 subunits with nesting
behavior detections account for
3,335,400 ac (1,349,800 ha), or 90
percent of the total designation. These
78 subunits all contain the physical or
biological features and PCEs essential to
the conservation of the species, which
may require special management
considerations or protection, as
described above, because these subunits
have received or continue to receive
some level of timber harvest,
fragmentation of the forested landscape,
and reduced habitat effectiveness from
human activity. Therefore, we conclude
that these 78 subunits meet the
definition of critical habitat under
section 3(5)(A)(i) of the Act.
TABLE 1—MARBLED MURRELET CRITICAL HABITAT SUBUNITS WITHOUT
DETECTIONS INDICATIVE OF NESTING
BEHAVIOR
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Subunit
WA–04a
WA–11d
OR–01d
OR–06a
OR–06c
OR–07f
OR–07g
CA–01d
CA–01e
CA–04b
CA–05a
CA–05b
CA–06a
CA–06b
CA–07b
CA–07c
CA–08a
CA–08b
CA–09a
CA–09b
CA–11b
CA–13
CA–14c
There are 23 subunits that did not
have data indicating marbled murrelet
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nesting behaviors at the time of listing
(Table 1). All of these subunits,
however, are within the range of the
species at the time of listing, and, hence,
we consider them to be occupied. Of
these 23 subunits, 2 are in Washington,
5 are in Oregon, and 16 are in
California, totaling up to 362,600 ac
(145,800 ha) or 10 percent of the
designation. We have determined that
all 23 subunits contain the essential
physical or biological features and PCEs
based on specific forest inventory data
and audio-visual survey station
placements. Only 7 of these 23 subunits
have received partial or complete
surveys to determine use by marbled
murrelets. Very limited inland
distribution information was available
when the species was listed (1992) and
in 1996 when critical habitat was
designated (May 24, 1996; 61 FR 26256,
pp. 26269–26270). However, continued
survey efforts have filled in gaps in the
distribution that were not known at the
time of listing. For example, as of June
2014, the Washington Department of
Fish and Wildlife murrelet detection
database contained 5,225 nesting
behavior detections. Of these 5,225
detections, only 254 were from surveys
before 1992 and only 2,149 were prior
to 1996. Therefore, it is our opinion that
had surveys been conducted in many of
these 23 subunits, it is likely that
nesting behaviors would have been
detected.
Even if these 23 subunits were
considered unoccupied at the time of
listing because we do not have specific
documentation of nesting behaviors, the
Act permits designation of such areas as
critical habitat if they are essential for
the conservation of the species. We
evaluated whether each of these 23
subunits are essential for the
conservation of the species. In this
evaluation we considered: (1) The
importance of the area to the future
recovery of the species; (2) whether the
areas have or are capable of providing
the essential physical or biological
features; and (3) whether the areas
provide connectivity between marine
and terrestrial habitats. As stated above,
we determined that all 23 subunits
contain the physical or biological
features and PCEs for the marbled
murrelet; therefore, all 23 subunits
provide essential nesting habitat that is
currently limited on the landscape. In
particular, 13 subunits in California that
are south of Cape Mendocino contain
the last remnants of nesting habitat in
that part of California. All 101
designated subunits work together to
create a distribution of essential nesting
habitat from north to south and inland
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from marine foraging areas. All of the
designated critical habitat units occur
within areas identified in the draft and
final recovery plans for the marbled
murrelet (USFWS 1995 and 1997,
entire) as essential for the conservation
of the species. Maintaining and
increasing suitable nesting habitat for
the marbled murrelet is a key objective
for the conservation and recovery of the
species, by providing for increases in
nest success and productivity needed to
attain long-term population viability.
Based upon this information, we have
determined that all of the 23 subunits
where nesting behaviors have not been
documented are, nonetheless, essential
for the conservation of the species.
Therefore, even if these 23 subunits
were considered unoccupied, we
conclude that they meet the definition
of critical habitat under section
3(5)(A)(ii) of the Act.
VII. All Critical Habitat Is Essential to
the Conservation of the Marbled
Murrelet
As described above, all areas
designated as critical habitat for the
marbled murrelet (101 subunits) contain
the physical or biological features and
PCEs essential to the conservation of the
species, which may require special
management considerations or
protection. We recognize that the
physical or biological features and PCEs
may not be uniformly distributed
throughout these 101 subunits because
historical harvest patterns and natural
disturbances have created a mosaic of
multiple-aged forests. Replacement of
essential physical or biological features
and PCEs for the marbled murrelet can
take centuries to grow.
We have additionally evaluated all
currently designated critical habitat for
the marbled murrelet applying the
standard under section 3(5)(A)(ii) of the
Act, and have determined that all 101
subunits included in this designation
are essential for the conservation of the
species. As detailed above, we have
determined that all areas of critical
habitat, whether known to be occupied
at the time of listing or not, contain the
physical or biological features and PCEs
for the marbled murrelet. All 101
designated subunits work together to
create a distribution of essential nesting
habitat from north to south and inland
from marine foraging areas, and occur
within areas identified in the draft and
final recovery plans for the marbled
murrelet (USFWS 1995 and 1997,
entire) as essential for the conservation
of the species. All areas designated as
critical habitat are essential for the
conservation and recovery of the
marbled murrelet by maintaining and
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increasing suitable nesting habitat and
limiting forest fragmentation, thereby
providing for increases in nest success
and productivity to attain long-term
population viability of the species.
Therefore, we have determined that all
areas currently identified as critical
habitat for the marbled murrelet,
whether confirmed to be occupied at the
time of listing or not, are essential for
the conservation of the species and meet
the definition of critical habitat under
section 3(5)(A)(ii) of the Act. Recent
population and suitable habitat research
confirms that these areas continue to be
essential because the marbled murrelet
population has declined since listing
(Miller et al. 2012, entire) and continues
to decline in Washington (Lance and
Pearson 2015, pp. 4–5), hence suitable
nesting areas are of increased
importance to provide recovery
potential for the marbled murrelet. In
addition, while habitat loss has slowed
since adoption of the NWFP, suitable
nesting habitat continues to be lost to
timber harvest (Raphael et al. 2015 in
prep, pp. 94–95).
VIII. Restated Correction
The preamble to the 1996 final critical
habitat rule (May 24, 1996; 61 FR 26265)
stated that within the boundaries of
designated critical habitat, only those
areas that contain one or more PCEs are,
by definition, critical habitat, and areas
without any PCEs are excluded by
definition. This statement was in error;
we clarified this language in the revised
critical habitat rule published in 2011
(October 5, 2011; 76 FR 61599, p.
61604), and we reemphasize this
correction here. By introducing some
ambiguity in our delineation of critical
habitat, this language was inconsistent
with the requirement that each critical
habitat unit be delineated by specific
limits using reference points and lines
(50 CFR 424.12(c)). The Service does its
best not to include areas that obviously
cannot attain PCEs, such as alpine areas,
water bodies, serpentine meadows, lava
flows, airports, buildings, parking lots,
etc. (May 24, 1996; 61 FR 26256, p.
26269). However, the scale at which
mapping is done for publication in the
Code of Federal Regulations does not
allow precise identification of these
features, and, therefore, some may fall
within the critical habitat boundaries.
Hence, all lands within the mapped
critical habitat boundaries for the
marbled murrelet are critical habitat.
IX. Effects of Critical Habitat
Designation
Section 7(a)(2) of the Act requires
Federal agencies, including the Service,
to ensure that any action they fund,
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authorize, or carry out is not likely to
jeopardize the continued existence of
any endangered species or threatened
species or result in the destruction or
adverse modification of designated
critical habitat of such species. A
detailed explanation of the regulatory
effects of critical habitat in terms of
consultation under section 7 of the Act
and application of the adverse
modification standard is provided in the
October 5, 2011, final rule revising
critical habitat for the marbled murrelet
(76 FR 61599).
Section 7 consultation is required
whenever there is a discretionary
Federal action that may affect listed
species or designated critical habitat.
Section 7(a)(3) also states that a Federal
agency shall consult with the Secretary
on any prospective agency action at the
request of, and in cooperation with, the
prospective permit or license applicant
if the applicant has reason to believe
that an endangered species or a
threatened species may be present in the
area affected by his or her project and
that implementation of such action will
likely affect such species. The initiation
of section 7 consultation under the
jeopardy standard takes place if the
species may be present and the action
may affect the species. As described
above, because of the relatively coarse
scale at which critical habitat is
designated, the species may or may not
be present within all portions of the
‘‘geographical area occupied by the
species’’ or may be present only
periodically. Therefore, at the time of
any consultation under section 7 of the
Act, the species of interest may not be
present within the action area for the
purposes of the section 7 consultation,
even if that action area is within the
‘‘geographical area occupied by the
species.’’
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
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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
information at the time of designation
will not control the direction and
substance of future 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.
X. Economic Considerations
Section 4(b)(2) of the Act and its
implementing regulations require that
we consider the economic impact that
may result from a designation or
revision of critical habitat. If critical
habitat has not been previously
designated, the probable economic
impact of a proposed critical habitat
designation is analyzed by comparing
scenarios both ‘‘with critical habitat’’
and ‘‘without critical habitat.’’ The
‘‘without critical habitat’’ scenario
represents the baseline for the analysis,
and includes the existing regulatory and
socio-economic burden imposed on
landowners, managers, or other resource
users potentially affected by the
designation of critical habitat (e.g.,
under the Federal listing as well as
other Federal, State, and local
regulations). In this case the baseline
represents the costs of all efforts
attributable to the listing of the species
under the Act (i.e., conservation of the
species and its habitat 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. These are the conservation
efforts and associated impacts that
would not be expected but for 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
incremental costs represent the
potential economic impacts we consider
in association with a designation or
revision of critical habitat, as required
by the Act.
Baseline protections as a result of the
listed status of the marbled murrelet
include sections 7, 9, and 10 of the Act,
and any economic impacts resulting
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from these protections to the extent they
are expected to occur absent the
designation of critical habitat:
• Section 7 of the Act, even absent
critical habitat designation, requires
Federal agencies to consult with the
Service to ensure that any action
authorized, funded, or carried out will
not likely jeopardize the continued
existence of any endangered or
threatened species. Consultations under
the jeopardy standard result in
administrative costs, as well as impacts
of conservation efforts resulting from
consideration of this standard.
• Section 9 defines the actions that
are prohibited by the Act. In particular,
it prohibits the ‘‘take’’ of endangered
wildlife, where ‘‘take’’ means to harass,
harm, pursue, hunt, shoot, wound, kill,
trap, capture, or collect, or to attempt to
engage in any such conduct. The
economic impacts associated with this
section manifest themselves in sections
7 and 10.
• Under section 10(a)(1)(B) of the Act,
an entity (e.g., a landowner or local
government) may develop an HCP for a
listed animal species in order to meet
the conditions for issuance of an
incidental take permit in connection
with a land or water use activity or
project. The requirements posed by the
HCP may have economic impacts
associated with the goal of ensuring that
the effects of incidental take are
adequately avoided or minimized. The
development and implementation of
HCPs is considered a baseline
protection for the species and habitat
unless the HCP is determined to be
precipitated by the designation of
critical habitat, or the designation
influences stipulated conservation
efforts under HCPs.
In the present rulemaking, we are not
starting from a ‘‘without critical habitat’’
baseline. In this particular case, critical
habitat has been in place for the
marbled murrelet since May 24, 1996
(61 FR 26256), and was most recently
revised on October 5, 2011 (76 FR
61599). Since the 2011 revision resulted
only in the removal of some areas of
critical habitat, all areas remaining in
the current designation have been
critical habitat for the marbled murrelet
since 1996. This current critical habitat
designation forms the baseline for our
consideration of the potential economic
impacts of this proposed rule. In this
document, we describe our evaluation
and conclusion that all of the currently
designated areas meet the statutory
definition of critical habitat for the
marbled murrelet. Specifically, we have
clarified that all areas are within the
range of the marbled murrelet and,
therefore, occupied by the species at the
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time of listing, and contain the physical
or biological features essential to the
conservation of the species, which may
require special management
consideration or protection.
Furthermore, although all areas are
considered to have been occupied at the
time of listing, all areas do not
necessarily have specific data indicating
known detections of nesting murrelets
at the time of listing. Therefore, we have
further evaluated and determined that
all critical habitat, regardless of whether
we have information indicating
definitive use by nesting murrelets at
the time of listing, is essential for the
conservation of the species. As a result
of our evaluation, we are not proposing
any modification to the boundaries of
critical habitat for the marbled murrelet,
nor are we proposing any changes to the
definition of the PCEs (May 24, 1996; 61
FR 26256).
We have considered the probable
incremental economic impacts that may
result from this proposed rule with
regard to critical habitat for the marbled
murrelet. Critical habitat designation
will not affect activities that do not have
any Federal involvement; designation of
critical habitat affects only activities
conducted, funded, permitted, or
authorized by Federal agencies. In areas
where the marbled murrelet is present,
Federal agencies already are required to
consult with the Service under section
7 of the Act on activities they fund,
permit, or implement that may affect the
species. In this particular case, because
all areas that we have considered are
already designated as critical habitat for
the marbled murrelet, where a Federal
nexus occurs, consultations to avoid the
destruction or adverse modification of
critical habitat have been incorporated
into the existing consultation process.
Federal agencies have been consulting
under section 7 of the Act on critical
habitat for the marbled murrelet for
approximately 20 years. As this
proposed rule does not suggest the
addition of any new areas as critical
habitat, any probable economic impacts
resulting from this rulemaking would
result solely from our clarification of
how all of the areas currently designated
meet the statutory definition of critical
habitat. The incremental economic
impacts of this proposed rule would,
therefore, be equal to any additional
costs incurred as the result of a
difference between the outcome of
consultations as they are currently
conducted and consultations as they
would be conducted if this rulemaking
is finalized as proposed.
We fully considered any probable
economic impacts that may result from
this proposed rule. Based upon our
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51519
evaluation, we do not anticipate
changes to the consultation process or
effect determinations made for critical
habitat as a result of our evaluation and
conclusion that all areas meet the
definition of critical habitat under the
Act. In addition, we do not anticipate
requiring additional or different project
modifications than are currently
requested when an action ‘‘may affect’’
critical habitat. Therefore, it is the
Service’s expectation that this proposed
rule clarifying the 1996 critical habitat
designation, as revised in 2011, which
explains how all areas within the
boundaries of the current designation
meet the definition of critical habitat
under the Act, will result in no
additional (incremental) economic
impacts.
In order to confirm that our
assessment of the potential economic
impacts of this proposed rule is
accurate, we asked those Federal action
agencies that manage lands that are
critical habitat or with whom we have
consulted over the past 20 years on
marbled murrelet critical habitat to
review our evaluation and
characterization of the changes, if any,
to consultation under section 7 that may
be anticipated as a consequence of this
proposed rule. We specifically asked
each agency whether our proposed rule
would be likely to result in any
additional economic impacts on their
agency (incremental impacts), above
and beyond those already incurred as a
result of the current critical habitat
designation for the marbled murrelet
(baseline impacts). Based on our
consultation history with Federal
agencies, it is our understanding that
action agencies currently consult on
effects to marbled murrelet critical
habitat through an analysis of the effects
to the PCEs. We asked the action
agencies to confirm or correct this
understanding, and to verify our
characterization of how these
consultations take place under the
current designation, which we
described as follows:
• If an action will take place within
designated critical habitat, the action
agency considers the action area to be
critical habitat, irrelevant of the
presence of PCEs. The action agency
then determines whether there are PCEs
within the action area. If the action
agency determines there are no PCEs
within the action area, the agency makes
a ‘‘no effect’’ determination and the
Service is not consulted.
• If the action agency determines
there are PCEs within the action area,
they analyze the action’s potential
effects on the PCEs, which may result in
a ‘‘no effect’’ or ‘‘may effect’’
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determination. If the action agency
determines the action ‘‘may affect’’ the
PCEs, they undergo section 7
consultation with the Service.
Whether the critical habitat subunit or
action area is considered to be
‘‘occupied’’ by the species is irrelevant
to the effect determination made for
critical habitat. Rather, the
determination of ‘‘occupancy’’ is
relevant to the effect determination for
the species and any minimization
measures that may be implemented
(such as project timing).
In this proposed rule we have
reconsidered and clarified that we
consider all areas to have been occupied
by the species at the time of listing, and
that all of these areas have the PCEs.
Because occupancy of the critical
habitat subunit or action area is
considered irrelevant to the effect
determination made for critical habitat,
the Service does not anticipate changes
to the consultation process or effect
determinations made for critical habitat
as a result of this determination. In
addition, the Service does not anticipate
requiring additional or different project
modifications than are currently
requested when an action ‘‘may affect’’
critical habitat. Therefore, it is the
Service’s expectation that the proposed
rule clarifying the 1996 critical habitat
designation [sic: as revised in 2011],
which will clearly explain how all areas
within the boundaries of the current
designation meet the definition of
critical habitat under the Act, will not
result in additional (incremental) costs
to the Federal agencies.
We solicited review and comment on
our draft summary of the anticipated
economic impacts of this proposed rule,
as described above, from seven Federal
agencies with whom we regularly
consult on marbled murrelet critical
habitat (the U.S. Forest Service (USFS),
U.S. Bureau of Land Management
(BLM), National Park Service (NPS),
Bureau of Indian Affairs (BIA), U.S.
Army Corps of Engineers (Corps),
Federal Highway Administration (FHA),
and Federal Energy Regulatory
Commission (FERC)). We received
responses from four of these agencies:
the USFS representing multiple national
forests, the BLM representing multiple
districts, the NPS representing Redwood
National Park and State Parks
partnership, and the BIA. All responses
agreed with our evaluation of the
potential incremental effects of the
proposed rule, and confirmed that they
did not anticipate any additional costs
as a result of the clarification of areas
occupied at the time of listing. Our
initial letter of inquiry and all responses
received from the action agencies are
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available for review in the
Supplemental Materials folder at https://
www.regulations.gov, Docket No. FWS–
R1–ES–2015–0070.
We additionally considered any
potential economic impacts on nonFederal entities as a result of this
proposed rule. In our experience, any
economic impacts to non-Federal
parties are generally associated with the
development of HCPs under section
10(a)(1)(B) of the Act. However, as
described above, in most cases the
incentive for the development of an
HCP is the potential issuance of an
incidental take permit in connection
with an activity or project in an area
where a listed animal species occurs.
HCPs are seldom undertaken in
response to a critical habitat
designation, but in such a case the costs
associated with the development of an
HCP prompted by the designation of
critical habitat would be considered an
incremental impact of that designation.
In this particular situation, because we
are not proposing any changes to the
boundaries of critical habitat, we do not
anticipate the initiation of any new
HCPs in response to this proposed rule;
therefore, we do not anticipate any costs
to non-Federal parties associated with
HCP development.
Other potential costs to non-Federal
entities as a result of critical habitat
designation might include costs to third
party private applicants in association
with Federal activities. In most cases,
consultations under section 7 of the Act
involve only the Service and other
Federal agencies, such as the U.S. Army
Corps of Engineers. Sometimes,
however, consultations may include a
third party involved in projects that
involve a permitted entity, such as the
recipient of a Clean Water Act section
404 permit. In such cases, these private
parties may incur some costs, such as
the cost of applying for the permit in
question, or the time spent gathering
and providing information for a permit.
These costs and administrative effort on
the part of third party applicants, if
attributable solely to critical habitat,
would be incremental impacts of the
designation. In this particular case,
however, because we are not proposing
any boundary changes to the current
critical habitat designation, we do not
anticipate any change from the current
baseline conditions in terms of potential
costs to third parties; therefore, we
expect any incremental impacts to nonFederal parties associated with this
proposed rule to be minimal.
Based on our evaluation and the
information provided to us by the
Federal action agencies within the
critical habitat area under consideration,
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we conclude that this proposed rule will
result in little if any additional
economic impacts above baseline costs,
and we seek public input on this
conclusion.
XI. Determination
We have examined all areas
designated as critical habitat for the
marbled murrelet in 1996 (May 24,
1996; 61 FR 26256), as revised in 2011
(October 5, 2011; 76 FR 61599), and
evaluated whether all areas meet the
definition of critical habitat under
section 3(5)(A) of the Act. Based upon
our evaluation, we have determined that
all 101 subunits designated as critical
habitat are within the geographical area
occupied by the species at the time of
listing, and each of these subunits
provide the physical or biological
features and PCEs essential to the
conservation of the species, which may
require special management
considerations or protections. Therefore,
we conclude that all areas designated as
critical habitat for the marbled murrelet
meet the definition of critical habitat
under section 3(5)(A)(i) of the Act. Of
the 101 subunits, 78 of those subunits
had documented detections of nesting
behavior at the time of listing. We have
determined that we do not have
sufficient data to definitively document
nesting behavior within the other 23
subunits at the time of listing. However,
even if these 23 subunits were
considered unoccupied, the Secretary
has determined that they are essential
for the conservation of the species, as
they contribute to the maintenance or
increase of suitable nesting habitat
required to achieve the conservation
and recovery of the marbled murrelet;
therefore, we conclude that they meet
the definition of critical habitat under
section 3(5)(A)(ii) of the Act.
In addition, recognizing that the
detection of nesting behaviors or the
presence of essential physical or
biological features or PCEs within a
subunit may be evaluated on multiple
scales, such that at some finer scales
some subset of the subunit may be
considered unoccupied or lacking in
PCEs, we evaluated the designation in
its entirety as if it were unoccupied
under section 3(5)(A)(ii) of the Act, and
found that all areas of critical habitat are
essential for the conservation of the
species. We have here clarified that we
have evaluated all critical habitat for the
marbled murrelet, and have concluded
that in all cases the areas designated as
critical habitat for the marbled murrelet
meet the definition of critical habitat
under section 3(5)(A) of the Act. In
addition, as required by section 4(b)(2)
of the Act, we have considered the
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potential economic impact of this
clarification, and we have concluded
that any potential economic effects
resulting from this rulemaking are
negligible.
Therefore, we conclude that, under
the Act, critical habitat as currently
designated for the marbled murrelet in
the Code of Federal Regulations remains
valid, and we seek public input on this
determination.
Public Hearings
Section 4(b)(5) of the Act provides for
one or more public hearings on this
proposal, if requested. Requests must be
received within 45 days after the date of
publication of this proposed rule in the
Federal Register. Such requests must be
sent to the address shown in the
ADDRESSES section. We will schedule
public hearings on this proposal, if any
are requested, and announce the dates,
times, and places of those hearings, as
well as how to obtain reasonable
accommodations, in the Federal
Register and local newspapers at least
15 days before the hearing.
Required Determinations
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Regulatory Planning and Review
(Executive Orders 12866 and 13563)
Executive Order 12866 provides that
the Office of Information and Regulatory
Affairs (OIRA) will review all significant
rules. The Office of Information and
Regulatory Affairs has determined that
this rule is not significant.
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
executive order 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. 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 Regulatory Flexibility Act
(RFA; 5 U.S.C. 601 et seq.), as amended
by the Small Business Regulatory
Enforcement Fairness Act of 1996
(SBREFA; 5 U.S.C. 801 et seq.),
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whenever an agency is required to
publish a notice of rulemaking for any
proposed or final rule, it must prepare
and make available for public comment
a regulatory flexibility analysis that
describes the effects of the rule on small
entities (i.e., small businesses, small
organizations, and small government
jurisdictions). However, no regulatory
flexibility analysis is required if the
head of the agency certifies the rule will
not have a significant economic impact
on a substantial number of small
entities. The SBREFA amended the RFA
to require Federal agencies to provide a
certification statement of the factual
basis for certifying that the rule will not
have a significant economic impact on
a substantial number of small entities.
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; and small businesses
(13 CFR 121.201). 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 to these
small entities are significant, we
considered the types of activities that
might trigger regulatory impacts under
this designation as well as 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.
The Service’s current understanding
of the requirements under the RFA, as
amended, and following recent court
decisions, is that Federal agencies are
only required to evaluate the potential
incremental impacts of rulemaking on
those entities directly regulated by the
rulemaking itself, and therefore, not
required to evaluate the potential
impacts to indirectly regulated entities.
The regulatory mechanism through
which critical habitat protections are
realized is section 7 of the Act, which
requires Federal agencies, in
consultation with the Service, to ensure
that any action authorized, funded, or
carried out by the Agency is not likely
to destroy or adversely modify critical
habitat. Therefore, under section 7, only
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51521
Federal action agencies are directly
subject to the specific regulatory
requirement (avoiding destruction and
adverse modification) imposed by
critical habitat designation.
Consequently, it is our position that
only Federal action agencies will be
directly regulated by this designation.
Moreover, Federal agencies are not
small entities. Therefore, because no
small entities are directly regulated by
this rulemaking, the Service certifies
that, if promulgated, this determination
of critical habitat will not have a
significant economic impact on a
substantial number of small entities.
In summary, we have considered
whether this proposed rule would result
in a significant economic impact on a
substantial number of small entities. For
the above reasons and based on
currently available information, we
certify that, if promulgated, the
proposed determination of critical
habitat would not have a significant
economic impact on a substantial
number of small business entities.
Therefore, an initial regulatory
flexibility analysis is not required.
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 action. In our
consideration of potential economic
impacts, we did not find that this rule
clarification will significantly affect
energy supplies, distribution, or use.
This proposed rule only clarifies how
the designated critical habitat meets the
definition of critical habitat under the
Act, and does not propose any changes
to the boundaries of the current critical
habitat. 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
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upon State, local, or tribal governments’’
with two exceptions. It excludes ‘‘a
condition of Federal assistance.’’ It also
excludes ‘‘a duty arising from
participation in a voluntary Federal
program,’’ unless the regulation ‘‘relates
to a then-existing Federal program
under which $500,000,000 or more is
provided annually to State, local, and
tribal governments under entitlement
authority,’’ if the provision would
‘‘increase the stringency of conditions of
assistance’’ or ‘‘place caps upon, or
otherwise decrease, the Federal
Government’s responsibility to provide
funding,’’ and the State, local, or tribal
governments ‘‘lack authority’’ to adjust
accordingly. At the time of enactment,
these entitlement programs were:
Medicaid; Aid to Families with
Dependent Children work programs;
Child Nutrition; Food Stamps; Social
Services Block Grants; Vocational
Rehabilitation State Grants; Foster Care,
Adoption Assistance, and Independent
Living; Family Support Welfare
Services; and Child Support
Enforcement. ‘‘Federal private sector
mandate’’ includes a regulation that
‘‘would impose an enforceable duty
upon the private sector, except (i) a
condition of Federal assistance or (ii) a
duty arising from participation in a
voluntary Federal program.’’
The designation of critical habitat
does not impose a legally binding duty
on non-Federal Government entities or
private parties. Under the Act, the only
regulatory effect is that Federal agencies
must ensure that their actions do not
destroy or adversely modify critical
habitat under section 7. While nonFederal entities that receive Federal
funding, assistance, or permits, or that
otherwise require approval or
authorization from a Federal agency for
an action, may be indirectly impacted
by the designation of critical habitat, the
legally binding duty to avoid
destruction or adverse modification of
critical habitat rests squarely on the
Federal agency. Furthermore, to the
extent that non-Federal entities are
indirectly impacted because they
receive Federal assistance or participate
in a voluntary Federal aid program, the
Unfunded Mandates Reform Act would
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 because this
proposed rule only clarifies how the
designated critical habitat meets the
definition of critical habitat under the
Act, and does not propose any changes
to the boundaries of the current critical
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habitat, therefore, landownership within
critical habitat does not change.
Therefore, a Small Government Agency
Plan is not required.
Takings—Executive Order 12630
In accordance with Executive Order
12630 (‘‘Government Actions and
Interference with Constitutionally
Protected Private Property Rights’’), we
analyzed the potential takings
implications of this proposed
determination of critical habitat for the
marbled murrelet. This proposed rule
clarifies whether and how the
designated critical habitat meets the
definition of critical habitat under the
Act, and does not propose any changes
to the boundaries of the current critical
habitat, therefore, landownership within
critical habitat does not change. Thus,
we conclude that this proposed rule
does not pose additional takings
implications for lands within or affected
by the original 1996 designation.
Critical habitat designation does not
affect landowner actions that do not
require Federal funding or permits, nor
does it preclude development of habitat
conservation programs or issuance of
incidental take permits to permit actions
that do require Federal funding or
permits to go forward. Therefore, based
on the best available information, as
described above, we conclude that this
proposed determination of critical
habitat for the marbled murrelet does
not pose significant takings
implications.
Federalism—Executive Order 13132
In accordance with E.O. 13132
(Federalism), this proposed rule does
not have significant Federalism effects.
A Federalism assessment is not
required. From a Federalism
perspective, the designation of critical
habitat directly affects only the
responsibilities of Federal agencies. The
Act imposes no other duties with
respect to critical habitat, either for
States and local governments, or for
anyone else. As a result, the rule does
not have substantial direct effects either
on the States, or on the relationship
between the national government and
the States, or on the distribution of
powers and responsibilities among the
various levels of government. The
designation may have some benefit to
these governments because the areas
that contain the features essential to the
conservation of the species are more
clearly defined, and the physical and
biological features of the habitat
necessary to the conservation of the
species are specifically identified. This
information does not alter where and
what federally sponsored activities may
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occur. However, it may assist these local
governments in long-range planning
(because these local governments no
longer have to wait for case-by-case
section 7 consultations to occur).
Where State and local governments
require approval or authorization from a
Federal agency for actions that may
affect critical habitat, consultation
under section 7(a)(2) would be required.
While non-Federal entities that receive
Federal funding, assistance, or permits,
or that otherwise require approval or
authorization from a Federal agency for
an action, may be indirectly impacted
by the designation of critical habitat, the
legally binding duty to avoid
destruction or adverse modification of
critical habitat rests squarely on the
Federal agency.
Civil Justice Reform—Executive Order
12988
In accordance with Executive Order
12988 (Civil Justice Reform), the Office
of the Solicitor has determined that the
rule does not unduly burden the judicial
system and that it meets the
requirements of sections 3(a) and 3(b)(2)
of the Order. In our proposal, we have
reconsidered designated critical habitat
for the marbled murrelet for the purpose
of assessing whether all of the areas
meet the statutory definition of critical
habitat in accordance with the
provisions of the Act. To assist the
public in understanding the habitat
needs of the species, the proposed rule
identifies the elements of physical or
biological features essential to the
conservation of the marbled murrelet.
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 (NEPA; 42 U.S.C. 4321 et
seq.) in connection with designating
critical habitat under the Act. We
published a notice outlining our reasons
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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), Executive
Order 13175 (Consultation and
Coordination With Indian Tribal
Governments), and the Department of
the Interior’s manual at 512 DM 2, we
readily acknowledge our responsibility
to communicate meaningfully with
recognized Federal Tribes on a
government-to-government basis. In
accordance with Secretarial Order 3206
of June 5, 1997 (American Indian Tribal
Rights, Federal-Tribal Trust
Responsibilities, and the Endangered
Species Act), we readily acknowledge
our responsibilities to work directly
with tribes in developing programs for
healthy ecosystems, to acknowledge that
tribal lands are not subject to the same
controls as Federal public lands, to
remain sensitive to Indian culture, and
to make information available to tribes.
There are no tribal lands designated
as critical habitat for the marbled
murrelet.
asabaliauskas on DSK5VPTVN1PROD with PROPOSALS
Clarity of the Rule
We are required by Executive Orders
12866 and 12988 and by the
Presidential Memorandum of June 1,
1998, to write all rules in plain
language. This means that each rule we
publish must:
(1) Be logically organized;
(2) Use the active voice to address
readers directly;
(3) Use clear language rather than
jargon;
(4) Be divided into short sections and
sentences; and
(5) Use lists and tables wherever
possible.
If you feel that we have not met these
requirements, send us comments by one
of the methods listed in ADDRESSES. To
better help us revise the rule, your
comments should be as specific as
possible. For example, you should tell
us the numbers of the sections or
paragraphs that are unclearly written,
which sections or sentences are too
long, the sections where you feel lists or
tables would be useful, etc.
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References Cited
A complete list of all references cited
in this rule is available on the Internet
at https://www.regulations.gov. In
addition, a complete list of all
references cited herein, as well as
others, is available upon request from
the Washington Fish and Wildlife Office
(see ADDRESSES).
Authors
The primary authors of this document
are the staff members of the Washington
Fish and Wildlife Office, U.S. Fish and
Wildlife Service (see ADDRESSES).
Authority
The authority for this action is the
Endangered Species Act of 1977, as
amended (16 U.S.C. 1531 et seq.).
Dated: July 29, 2015.
Michael J. Bean,
Principal Deputy Assistant Secretary for Fish
and Wildlife and Parks.
[FR Doc. 2015–20837 Filed 8–24–15; 8:45 am]
BILLING CODE 4310–55–P
DEPARTMENT OF COMMERCE
National Oceanic and Atmospheric
Administration
50 CFR Part 622
[Docket No. 150302204–5204–01]
RIN 0648–BE93
Fisheries of the Caribbean, Gulf of
Mexico, and South Atlantic; Shrimp
Fishery of the Gulf of Mexico;
Amendment 15
National Marine Fisheries
Service (NMFS), National Oceanic and
Atmospheric Administration (NOAA),
Commerce.
ACTION: Proposed rule; request for
comments.
AGENCY:
NMFS proposes regulations to
implement Amendment 15 to the
Fishery Management Plan for the
Shrimp Fishery of the Gulf of Mexico
(FMP), as prepared and submitted by
the Gulf of Mexico (Gulf) Fishery
Management Council (Council). This
rule would revise the FMP framework
procedures to streamline the process for
changing certain regulations affecting
the shrimp fishery. Additionally, this
rule proposes changes to the FMP that
would revise the maximum sustainable
yield (MSY), overfishing threshold, and
overfished threshold definitions and
values for three species of penaeid
shrimp. The intent of this proposed rule
and Amendment 15 are to streamline
SUMMARY:
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51523
the management process for Gulf shrimp
stocks and to revise criteria for
determining the overfished and
overfishing status of each penaeid
shrimp stock using the best available
science.
Written comments must be
received on or before September 24,
2015.
DATES:
You may submit comments
on the proposed rule, identified by
‘‘NOAA–NMFS–2015–0097’’ by any of
the following methods:
• Electronic Submission: Submit all
electronic public comments via the
Federal e-Rulemaking Portal. Go to
www.regulations.gov/
#!docketDetail;D=NOAA-NMFS-20150097, click the ‘‘Comment Now!’’ icon,
complete the required fields, and enter
or attach your comments.
• Mail: Submit written comments to
Susan Gerhart, Southeast Regional
Office, NMFS, 263 13th Avenue South,
St. Petersburg, FL 33701.
Instructions: Comments sent by any
other method, to any other address or
individual, or received after the end of
the comment period, may not be
considered by NMFS. All comments
received are a part of the public record
and will generally be posted for public
viewing on www.regulations.gov
without change. All personal identifying
information (e.g., name, address, etc.),
confidential business information, or
otherwise sensitive information
submitted voluntarily by the sender will
be publicly accessible. NMFS will
accept anonymous comments (enter
‘‘N/A’’ in the required fields if you wish
to remain anonymous).
Electronic copies of Amendment 15,
which includes an environmental
assessment, a Regulatory Flexibility Act
analysis, and a regulatory impact
review, may be obtained from the
Southeast Regional Office Web site at
https://sero.nmfs.noaa.gov/sustainable_
fisheries/gulf_fisheries/shrimp/2015/
Am%2015/.
ADDRESSES:
FOR FURTHER INFORMATION CONTACT:
Susan Gerhart, telephone: 727–824–
5305, or email: Susan.Gerhart@
noaa.gov.
The
shrimp fishery in the Gulf is managed
under the FMP. The FMP was prepared
by the Council and implemented
through regulations at 50 CFR part 622
under the authority of the MagnusonStevens Fishery Conservation and
Management Act (Magnuson-Stevens
Act).
SUPPLEMENTARY INFORMATION:
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Agencies
[Federal Register Volume 80, Number 164 (Tuesday, August 25, 2015)]
[Proposed Rules]
[Pages 51506-51523]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2015-20837]
=======================================================================
-----------------------------------------------------------------------
DEPARTMENT OF THE INTERIOR
Fish and Wildlife Service
50 CFR Part 17
[Docket No. FWS-R1-ES-2015-0070;4500030114]
RIN 1018-BA91
Endangered and Threatened Wildlife and Plants; Determination of
Critical Habitat for the Marbled Murrelet
AGENCY: Fish and Wildlife Service, Interior.
ACTION: Proposed rule.
-----------------------------------------------------------------------
SUMMARY: We, the U.S. Fish and Wildlife Service (Service), request
public comment in regard to our designation of critical habitat for the
marbled murrelet (Brachyramphus marmoratus) under the Endangered
Species Act of 1973, as amended (Act). The current designation includes
approximately 3,698,100 acres (1,497,000 hectares) of critical habitat
in the States of Washington, Oregon, and California. We are
reconsidering this designation for the purpose of assessing whether all
of the designated areas meet the statutory definition of critical
habitat. Because our proposed determination is that all areas currently
designated do meet the statutory definition, we are not proposing any
changes to the boundaries of the specific areas identified as critical
habitat at this time. We seek public comment on our proposed
determination.
DATES: We will consider comments received or postmarked on or before
October 26, 2015. Please note that comments submitted electronically
using the Federal eRulemaking Portal (see ADDRESSES) must be received
by 11:59 p.m. Eastern Time on the closing date. Any comments that we
receive after the closing date may not be considered in the final
determination.
ADDRESSES: Comment submission: You may submit written comments by one
of the following methods:
(1) Electronically: Go to the Federal eRulemaking Portal: https://www.regulations.gov. In the Search box, enter FWS-R1-ES-2015-0070,
which is the docket number for this rulemaking. Then, in the Search
panel on the left side of the screen, under the Document Type heading,
click on the Proposed Rules link to locate this document. You may
submit a comment by clicking on ``Comment Now!''
(2) By hard copy: Submit by U.S. mail or hand-delivery to: Public
Comments Processing, Attn: FWS-R1-ES-2015-
[[Page 51507]]
0070; Division of Policy, Performance, and Management Programs, U.S.
Fish & Wildlife Service, MS: BPHC, 5275 Leesburg Pike, Falls Church, VA
22041-3803.
We request that you send comments only by the methods described
above. We will post all comments on https://www.regulations.gov. This
generally means that we will post any personal information you provide
us (see the Information Requested section below for more information).
FOR FURTHER INFORMATION CONTACT: Eric V. Rickerson, State Supervisor,
U.S. Fish and Wildlife Service, Washington Fish and Wildlife Office,
510 Desmond Drive SE., Suite 102, Lacey, WA 98503-1273 (telephone 360-
753-9440, facsimile 360-753-9008); Paul Henson, State Supervisor, U.S.
Fish and Wildlife Service, Oregon Fish and Wildlife Office, 2600 SE
98th Avenue, Suite 100, Portland, OR 97266, telephone 503-231-6179,
facsimile 503-231-6195; Bruce Bingham, Field Supervisor, U.S. Fish and
Wildlife Service, Arcata Fish and Wildlife Office, 1655 Heindon Road,
Arcata, CA 95521, telephone 707-822-7201, facsimile 707-822-8411;
Jennifer Norris, Field Supervisor, U.S. Fish and Wildlife Service,
Sacramento Fish and Wildlife Office, 2800 Cottage Way, Room W-2605,
Sacramento, CA 95825, telephone 916-414-6700, facsimile 916-414-6713;
or Stephen P. Henry, Field Supervisor, U.S. Fish and Wildlife Service,
Ventura Fish and Wildlife Office, 2493 Portola Road, Suite B, Ventura,
CA 93003, telephone 805-644-1766, facsimile 805-644-3958. 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
Purpose of this document. On May 24, 1996, we published in the
Federal Register a final rule designating 3,887,800 acres (ac)
(1,573,340 hectares (ha)) of critical habitat for the marbled murrelet
(61 FR 26256) in the States of Washington, Oregon, and California. On
October 5, 2011, we published in the Federal Register a final rule
revising critical habitat for the marbled murrelet (76 FR 61599),
resulting in the removal of approximately 189,671 ac (76,757 ha) of
critical habitat in the States of Oregon and California. We are
reconsidering the 1996 final rule, as revised in 2011, for the purpose
of assessing whether all of the designated areas meet the statutory
definition of critical habitat. We are not proposing any changes to the
boundaries of the specific areas identified as critical habitat.
Why we need to reconsider the rule. In 2012, the American Forest
Resource Council (AFRC) and other parties filed suit against the
Service, challenging the designation of critical habitat for the
marbled murrelet, among other things. After this suit was filed, the
Service concluded that the 1996 rule that first designated critical
habitat for the marbled murrelet, as well as the 2011 rule that revised
that designation, did not comport with recent case law holding that the
Service should specify which areas were occupied at the time of
listing, and should further explain why unoccupied areas are essential
for conservation of the species. Hence, the Service moved for a
voluntary remand of the critical habitat rule, requesting until
September 30, 2015, to issue a proposed rule, and until September 30,
2016, to issue a final rule. On September 5, 2013, the court granted
the Service's motion, leaving the current critical habitat rule in
effect pending completion of the remand.
The basis for our action. Under the Act, any species that is
determined to be an endangered or threatened species shall, to the
maximum extent prudent and determinable, have habitat designated that
is considered to be critical habitat. 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 scientific data available after taking
into consideration the economic impact, national security impact, and
any other relevant impact of specifying any particular area as critical
habitat. Section 4 of the Act and its implementing regulations (50 CFR
424) set forth the procedures for designating or revising critical
habitat for listed species.
We considered the economic impacts of this proposed rule. Our
evaluation of the potential economic impacts of this rulemaking
regarding critical habitat for the marbled murrelet is provided in this
document; we seek public review of our analysis.
Information Requested
We will base any final action on the best scientific data
available. Therefore, we request comments or information from the
public, other concerned governmental agencies, Native American tribes,
the scientific community, industry, or any other interested party
concerning this proposed rule. We particularly seek comments
concerning:
(1) What areas within the currently designated critical habitat for
the marbled murrelet were occupied at the time of listing and contain
features essential to the conservation of the species;
(2) Special management considerations or protection that may be
needed in critical habitat areas, including managing for the potential
effects of climate change;
(3) What areas within the currently designated critical habitat are
essential for the conservation of the species and why; and
(4) Information on the extent to which the description of economic
impacts in this document is a reasonable estimate of the likely
economic impacts of our proposed determination.
We will consider all comments and information received during the
comment period on this proposed rulemaking during our preparation of a
final determination.
Please note that submissions merely stating support for or
opposition to the action under consideration without providing
supporting information, although noted, will not be considered in
making a determination, as section 4(b) of the Act directs that
determinations regarding the designation of critical habitat, or
revisions thereto, must be made ''on the basis of the best scientific
data available.''
You may submit your comments and materials by one of the methods
listed in ADDRESSES. We request that you send comments only by the
methods described in ADDRESSES.
If you submit information via https://www.regulations.gov, your
entire submission--including any personal identifying information--will
be posted on the Web site. If your submission is made via a hardcopy
that includes personal identifying information, you may request at the
top of your document that we withhold this information from public
review. However, we cannot guarantee that we will be able to do so. We
will post all hardcopy submissions on https://www.regulations.gov.
Please include sufficient information with your comments to allow us to
verify any scientific information you include.
In making a final decision on this matter, we will take into
consideration the comments and any additional information we receive.
Comments and materials received, as well as some of the supporting
documentation used in the preparation of a final determination, will be
available for public inspection on https://www.regulations.gov. All
information we use in making our final rule will be available by
appointment, during normal business hours, at the U.S. Fish and
Wildlife Service,
[[Page 51508]]
Washington Fish and Wildlife Office (see FOR FURTHER INFORMATION
CONTACT).
Previous Federal Actions
For additional information on previous Federal actions concerning
the marbled murrelet, refer to the final listing rule published in the
Federal Register on October 1, 1992 (57 FR 45328), the final rule
designating critical habitat published in the Federal Register on May
24, 1996 (61 FR 26256), and the final revised critical habitat rule
published in the Federal Register on October 5, 2011 (76 FR 61599). In
the 1996 final critical habitat rule, we designated 3,887,800 ac
(1,573,340 ha) of critical habitat in 32 units on Federal and non-
Federal lands. On September 24, 1997, we completed a recovery plan for
the marbled murrelet in Washington, Oregon, and California (USFWS 1997,
entire). On January 13, 2003, we entered into a settlement agreement
with AFRC and the Western Council of Industrial Workers, whereby we
agreed to review the marbled murrelet critical habitat designation and
make any revisions deemed appropriate after a revised consideration of
economic and any other relevant impacts of designation. On April 21,
2003, we published in the Federal Register a notice initiating a 5-year
review of the marbled murrelet (68 FR 19569), and published a second
information request for the 5-year review on July 25, 2003 (68 FR
44093). The 5-year review evaluation report was finished in March 2004
(McShane et al. 2004), and the 5-year review was completed on August
31, 2004.
On September 12, 2006, we published in the Federal Register a
proposed revision to critical habitat for the marbled murrelet, which
included adjustments to the original designation and proposed several
exclusions under section 4(b)(2) of the Act (71 FR 53838). On June 26,
2007, we published in the Federal Register a document announcing the
availability of a draft economic analysis (72 FR 35025) related to the
September 12, 2006, proposed critical habitat revision (71 FR 53838).
On March 6, 2008, we published a notice in the Federal Register (73 FR
12067) stating that the critical habitat for marbled murrelet should
not be revised due to uncertainties regarding U.S. Bureau of Land
Management (BLM) revisions to its District Resource Management Plans in
western Oregon, and this notice fulfilled our obligations under the
settlement agreement.
On July 31, 2008, we published in the Federal Register a proposed
rule to revise currently designated critical habitat for the marbled
murrelet by removing approximately 254,070 ac (102,820 ha) in northern
California and Oregon from the 1996 designation (73 FR 44678). A second
5-year review was completed on June 12, 2009. On January 21, 2010, in
response to a May 28, 2008, petition to delist the California/Oregon/
Washington distinct population segment (DPS) of the marbled murrelet
and our subsequent October 2, 2008, 90-day finding concluding that the
petition presented substantial information (73 FR 57314), we published
a 12-month finding notice in the Federal Register (75 FR 3424)
determining that removing the marbled murrelet from the Federal List of
Endangered and Threatened Wildlife (50 CFR 17.11) was not warranted. We
also found that the Washington/Oregon/California population of the
marbled murrelet is a valid DPS in accordance with the discreteness and
significance criteria in our 1996 DPS policy (February 7, 1996; 61 FR
4722) and concluded that the DPS continues to meet the definition of a
threatened species under the Act.
On October 5, 2011, we published in the Federal Register a final
rule revising the critical habitat designation for the marbled murrelet
(76 FR 61599). This final rule removed approximately 189,671 ac (76,757
ha) in northern California and southern Oregon from the 1996
designation, based on new information indicating these areas did not
meet the definition of critical habitat for the marbled murrelet,
resulting in a final revised designation of approx i mately 3,698,100
ac (1,497,000 ha) of critical habitat in Washington, Oregon, and
California.
On January 24, 2012, AFRC filed suit against the Service to delist
the marbled murrelet and vacate critical habitat. On March 30, 2013,
the U.S. District Court for the District of Columbia granted in part
AFRC's motion for summary judgment and denied a joint motion for
vacatur of critical habitat pending completion of a voluntary remand.
Following this ruling, the Service moved for a remand of the critical
habitat rule, without vacatur, in light of recent case law setting more
stringent requirements on the Service for specifying how designated
areas meet the definition of critical habitat. On September 5, 2013,
the district court ordered the voluntary remand without vacatur of the
critical habitat rule, and set deadlines of September 30, 2015, for a
proposed rule and September 30, 2016, for a final rule. The court ruled
in favor of the Service regarding the Service's denial of plaintiffs'
petition to delist the species, and that ruling was affirmed on appeal.
See American Forest Resource Council v. Ashe, 946 F. Supp. 2d 1 (D.D.C.
2013), aff'd 2015 U.S. App. LEXIS 6205 (D.C. Cir., Feb. 27, 2015).
Background
A final rule designating critical habitat for the marbled murrelet
was published in the Federal Register on May 24, 1996 (61 FR 26256). A
final rule revising the 1996 designation of critical habitat for the
marbled murrelet was published in the Federal Register on October 5,
2011 (76 FR 61599). Both of these rules are available under the
``Supporting Documents'' section for this docket in the Federal
eRulemaking Portal: https://www.regulations.gov at Docket Number FWS-R1-
ES-2015-0070. It is our intent to discuss only those topics directly
relevant to the 1996 and revised 2011 designations of critical habitat
for the marbled murrelet. A complete description of the marbled
murrelet, including a discussion of its life history, distribution,
ecology, and habitat, can be found in the May 24, 1996, final rule (61
FR 26256) and the final recovery plan (USFWS 1997).
In this document, we are reconsidering the final rule designating
critical habitat for the marbled murrelet (May 24, 1996; 61 FR 26256,
as revised on October 5, 2011; 76 FR 61599). The current designation
consists of approximately 3,698,100 ac (1,497,000 ha) of critical
habitat in Washington, Oregon, and California. The critical habitat
consists of 101 subunits: 37 in Washington, 33 in Oregon, and 31 in
California. We are reconsidering the final rule for the purpose of
evaluating whether all areas currently designated meet the definition
of critical habitat under the Act. We describe and assess each of the
elements of the definition of critical habitat, and evaluate whether
these statutory criteria apply to the current designation of critical
habitat for the marbled murrelet. In order to conduct this evaluation,
here we present the following relevant information:
I. The statutory definition of critical habitat.
II. A description of the physical or biological features essential
to the conservation of the marbled murrelet, for the purpose of
evaluating whether the areas designated as critical habitat provide
these essential features.
III. The primary constituent elements for the marbled murrelet.
IV. A description of why those primary constituent elements may
require special management considerations or protection.
V. Our standard for defining the geographical areas occupied by the
species at the time of listing.
VI. The evaluation of those specific areas within the geographical
area occupied at the time of listing for the purpose of determining
whether designated critical
[[Page 51509]]
habitat meets the definition under section 3(5)(A)(i) of the Act.
VII. An additional evaluation of all critical habitat to determine
whether the designated units meet the test of being essential to the
conservation of the species, under section 3(5)(A)(ii) of the Act.
We conduct this analysis to assess whether all areas of critical
habitat meet the statutory definition under either of the
definition's prongs, regardless of occupancy. This approach is
consistent with the ruling in Home Builders Ass'n of Northern
California v. U.S. Fish and Wildlife Service, 616 F.3d 983 (9th
Cir.), cert. denied 131 S.Ct. 1475 (2011), in which the court upheld
a critical habitat rule in which the Service had determined that the
areas designated, whether occupied or not, met the more demanding
standard of being essential for conservation.
VIII. Restated correction to preamble language in 1996 critical
habitat rule.
IX. Effects of critical habitat designation under section 7 of the
Act.
X. As required by section 4(b)(2) of the Act, consideration of the
potential economic impacts of this proposed rule.
XI. Proposed determination that all areas currently designated as
critical habitat for the marbled murrelet meet the statutory
definition under the Act.
I. Critical Habitat
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
(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.
Under the first prong of the Act's definition of critical habitat
in section 3(5)(a)(i), areas within the geographical area occupied by
the species at the time it was listed may be included in critical
habitat 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 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 and
biological features within an area, we focus on the primary biological
or physical constituent elements (primary constituent elements such as
roost sites, nesting grounds, seasonal wetlands, water quality, tide,
soil type) that are essential to the conservation of the species.
Primary constituent elements (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
in section 3(5)(A)(ii), we can designate critical habitat in areas
outside the geographical area occupied by the species at the time it is
listed, upon the Secretary's determination that such areas are
essential for the conservation of the species. For example, an area
currently occupied by the species but that was not occupied at the time
of listing may be essential for the conservation of the species and may
be included in the critical habitat designation. In addition, if
critical habitat is designated or revised subsequent to listing, we may
designate areas as critical habitat that may currently be unoccupied
but that were occupied at the time of listing. We designate critical
habitat in areas outside the geographical area presently occupied by a
species only when a designation limited to its present range would be
inadequate to ensure the conservation of the species.
II. Physical or Biological Features
Here we describe the physical or biological features essential to
the conservation of the marbled murrelet, for the purpose of evaluating
whether these features are present within the areas designated as
critical habitat for this reconsideration of the final rule.
We identified the specific physical or biological features
essential for the conservation of the marbled murrelet from studies of
this species' habitat, ecology, and life history as described below.
Additional information can be found in the final listing rule published
in the Federal Register on October 1, 1992 (57 FR 45328), and the
Recovery Plan for the Marbled Murrelet (USFWS 1997). In the 1996 final
critical habitat rule (May 24, 1996; 61 FR 26256), we relied on the
best available scientific information to describe the terrestrial
habitat used for nesting by the marbled murrelet. For this 2015 rule
reconsideration, the majority of the following information is taken
directly from the 1996 final critical habitat rule, where the
fundamental physical or biological features essential to the marbled
murrelet as described therein remain valid (described in the section
titled Ecological Considerations) (May 24, 1996; 61 FR 26256).
Where newer scientific information is available that refutes or
validates the information presented in the 1996 final critical habitat
rule, that information is provided here and is so noted. However, this
proposed rule does not constitute a complete summary of all new
scientific information on the biology of the marbled murrelet since
1996. Because this rule reconsideration addresses the 1996 final
critical habitat, as revised in 2011 (October 5, 2011; 76 FR 61599),
which designated critical habitat only in the terrestrial environment,
the following section will solely focus on the terrestrial nesting
habitat features. Forested areas with conditions that are capable of
supporting nesting marbled murrelets are referred to as ``suitable
nesting habitat.'' Loss of such nesting habitat was the primary basis
for listing the marbled murrelet as threatened; hence protection of
such habitat is essential to the conservation of the species. We
consider the information provided here to represent the best available
scientific data with regard to the physical or biological features
essential for the marbled murrelet's use of terrestrial habitat.
Throughout the forested portion of the species' range, marbled
murrelets typically nest in forested areas containing characteristics
of older forests (Binford et al. 1975, p. 305; Quinlan and Hughes 1990,
entire; Hamer and Cummins 1991, pp. 9-13; Kuletz 1991, p. 2; Singer et
al. 1991, pp. 332-335; Singer et al. 1992, entire; Hamer et al. 1994,
entire; Hamer and Nelson 1995, pp. 72-75; Ralph et al. 1995a, p. 4).
The marbled murrelet population in Washington, Oregon, and California
nests in most of the major types of coniferous forests (Hamer and
Nelson 1995, p. 75) in the western portions of these states, wherever
older forests remain inland of the coast. Although marbled murrelet
nesting habitat characteristics may vary throughout the range of the
species, some general habitat attributes are characteristic throughout
its range, including the presence of nesting platforms, adequate canopy
cover over the nest, landscape condition, and distance to the marine
environment (Binford et al. 1975, pp. 315-316; Hamer and Nelson 1995,
pp. 72-75; Ralph et al. 1995b, p. 4; McShane et al. 2004, p. 4-39).
Individual tree attributes that provide conditions suitable for
nesting (i.e., provide a nesting platform) include large branches
(ranging from 4 to 32 in (10 to 81 cm), with an average of 13
[[Page 51510]]
inches (in) (32 centimeters (cm)) in Washington, Oregon, and
California) or forked branches, deformities (e.g., broken tops), dwarf
mistletoe infections, witches' brooms, and growth of moss or other
structures large enough to provide a platform for a nesting adult
marbled murrelet (Hamer and Cummins 1991, p. 15; Singer et al. 1991,
pp. 332-335; Singer et al. 1992, entire; Hamer and Nelson 1995, p. 79).
These nesting platforms are generally located greater or equal to 33
feet (ft) (10 meters (m)) above ground (reviewed in Burger 2002, pp.
41-42 and McShane et al. 2004, pp. 4-55-4-56). These structures are
typically found in old-growth and mature forests, but may be found in a
variety of forest types including younger forests containing remnant
large trees. Since 1996, research has confirmed that the presence of
platforms is considered the most important characteristic of marbled
murrelet nesting habitat (Nelson 1997, p. 6; reviewed in Burger 2002,
pp. 40, 43; McShane et al. 2004, pp. 4-45-4-51, 4-53, 4-55, 4-56, 4-59;
Huff et al. 2006, pp. 12-13, 18). Platform presence is more important
than the size of the nest tree because tree size alone may not be a
good indicator of the presence and abundance of platforms (Evans Mack
et al. 2003, p. 3). Tree diameter and height can be positively
correlated with the size and abundance of platforms, but the
relationship may change depending on the variety of tree species and
forest types marbled murrelets use for nesting (Huff et al. 2006, p.
12). Overall, nest trees in Washington, Oregon, and northern California
have been greater than 19 in (48 cm) diameter at breast height (dbh)
and greater than 98 ft (30 m) tall (Hamer and Nelson 1995, p. 81; Hamer
and Meekins 1999, p. 10; Nelson and Wilson 2002, p. 27).
Northwestern forests and trees typically require 200 to 250 years
to attain the attributes necessary to support marbled murrelet nesting,
although characteristics of nesting habitat sometimes develop in
younger coastal redwood (Sequoia sempervirens) and western hemlock
(Tsuga heterophylla) forests. Forests with older residual trees
remaining from previous forest stands may also develop into nesting
habitat more quickly than those without residual trees. These remnant
attributes can be products of fire, windstorms, or previous logging
operations that did not remove all of the trees (Hansen et al. 1991, p.
383; McComb et al. 1993, pp. 32-36). Other factors that may affect the
time required to develop suitable nesting habitat characteristics
include site productivity and microclimate.
Through the 1995 nesting season, 59 active or previously used tree
nests had been located in Washington (9 nests), Oregon (36 nests), and
California (14 nests) (Hamer and Nelson 1995, pp. 70-71; Nelson and
Wilson 2002, p. 134; Washington Department of Fish and Wildlife
murrelet database; California Department of Fish and Game murrelet
database). All of the nests for which data were available in 1996 in
Washington, Oregon, and California were in large trees that were more
than 32 in (81 cm) dbh (Hamer and Nelson 1995, p. 74). Of the 33 nests
for which data were available, 73 percent were on a moss substrate and
27 percent were on litter, such as bark pieces, conifer needles, small
twigs, or duff (Hamer and Nelson 1995, p. 74). The majority of nest
platforms were created by large or deformed branches (Hamer and Nelson
1995, p. 79). Nests found subsequently have characteristics generally
consistent with these tree diameter and platform sources (McShane et
al. 2004, pp. 4-50 to 4-59; Bloxton and Raphael 2009, p. 8). However,
in Oregon, nests were found in smaller diameter trees (as small as 19
in (49 cm)) that were distinguished by platforms provided by mistletoe
infections (Nelson and Wilson 2002, p. 27). In Washington, one nest was
found on a cliff (i.e., ground nest) that exhibited features similar to
a tree platform, such as vertical and horizontal cover (Bloxton and
Raphael 2009, pp. 8 and 33). In central California, nest platforms were
located on large limbs and broken tops with 32.3 percent mean moss
cover on nest limbs (Baker et al. 2006, p. 944).
More than 94 percent of the nests for which data were available in
1996 were in the top half of the nest trees, which may allow easy nest
access and provide shelter from potential predators and weather. Canopy
cover directly over the nests was typically high (average 84 percent;
range 5 to 100 percent) in Washington, Oregon, and California (Hamer
and Nelson 1995, p. 74). This cover may provide protection from
predators and weather. Such canopy cover may be provided by trees
adjacent to the nest tree, or by the nest tree itself. Canopy closure
of the nest stand/site varied between 12 and 99 percent and averaged 48
percent (Hamer and Nelson 1995, p. 73). Information gathered subsequent
to 1996 confirms that additional attributes of the platform are
important including both vertical and horizontal cover and substrate.
Known nest sites have platforms that are generally protected by
branches above (vertical cover) or to the side (horizontal cover) (Huff
et al. 2006, p. 14). Marbled murrelets appear to select limbs and
platforms that provide protection from predation (Marzluff et al. 2000,
p. 1135; Luginbuhl et al. 2001, p. 558; Raphael et al. 2002.a, pp. 226,
228) and inclement weather (Huff et al. 2006, p. 14). Substrate, such
as moss, duff, or needles on the nest limb is important for protecting
the egg and preventing it from falling (Huff et al. 2006, p. 13).
Nests have been located in forested areas dominated by coastal
redwood, Douglas-fir (Pseudotsuga menziesii), mountain hemlock (Tsuga
mertensiana), Sitka spruce (Picea sitchensis), western hemlock, and
western red cedar (Thuja plicata) (Binford et al. 1975, p. 305; Quinlan
and Hughes 1990, entire; Hamer and Cummins 1991, p. 15; Singer et al.
1991, p. 332, Singer et al. 1992, p. 2; Hamer and Nelson 1995, p. 75).
Individual nests in Washington, Oregon, and California have been
located in Douglas-fir, coastal redwood, western hemlock, western red
cedar, and Sitka spruce trees (Hamer and Nelson 1995, p. 74).
For nesting habitat to be accessible to marbled murrelets, it must
occur close enough to the marine environment for marbled murrelets to
fly back and forth. The farthest inland distance for a site with
nesting behavior detections is 52 mi (84 km) in Washington. The
farthest known inland sites with nesting behavior detections in Oregon
and California are 40 and 24 mi (65 and 39 km), respectively (Evans
Mack et al. 2003, p. 4). Additionally, as noted below in the section
titled Definition of Geographical Area Occupied at the Time of Listing,
presence detections have been documented farther inland in Washington,
Oregon, and California (Evans Mack et al. 2003, p. 4).
Prior to Euroamerican settlement in the Pacific Northwest, nesting
habitat for the marbled murrelet was well distributed, particularly in
the wetter portions of its range in Washington, Oregon, and California.
This habitat was generally found in large, contiguous blocks of forest
(Ripple 1994, p. 47) as described under the Management Considerations
section of the 1996 final critical habitat rule (May 24, 1996; 61 FR
26256).
Areas where marbled murrelets are concentrated at sea during the
breeding season are likely determined by a combination of terrestrial
and marine conditions. However, nesting habitat appears to be the most
important factor affecting marbled murrelet distribution and numbers.
Marine survey data confirmed conclusions made in the supplemental
proposed critical habitat rule (August 10, 1995; 60 FR 40892) that
marine observations of marbled
[[Page 51511]]
murrelets during the nesting season generally correspond to the largest
remaining blocks of suitable forest nesting habitat (Nelson et al.
1992, p. 64; Varoujean et al. 1994, entire; Ralph et al. 1995b, pp. 5-
6; Ralph and Miller 1995, p. 358).
Consistent with Varoujean et al.'s (1994) 1993 and 1994 aerial
surveys, Thompson (1996, p. 11) found marbled murrelets to be more
numerous along Washington's northern outer coast and less abundant
along the southern coast. Thompson reported that this distribution
appears to be correlated with: (1) Proximity of old-growth forest, (2)
the distribution of rocky shoreline/substrate versus sandy shoreline/
substrate, and (3) abundance of kelp (Thompson 1996, p. 11). In British
Columbia Canada, Rodway et al. (1995, pp. 83, 85, 86) observed marbled
murrelets aggregating on the water close to breeding areas at the
beginning of the breeding season and, for one of their two study areas,
again in July as young were fledging. Burger (1995, pp. 305-306)
reported that the highest at-sea marbled murrelet densities in both
1991 and 1993 were seen immediately adjacent to two tracts of old-
growth forest, while areas with very low densities of marbled murrelets
were adjacent to heavily logged watersheds. More recent evidence
supports that detections of marbled murrelets at inland sites and
densities offshore were higher in or adjacent to areas with large
patches of old-growth, and in areas of low fragmentation and low
isolation of old-growth patches (Raphael et al. 1995, pp. 188-189;
Burger 2002, p. 54; Meyer and Miller 2002, pp. 763-764; Meyer et al.
2002, pp. 109-112; Miller et al. 2002, p. 100; Raphael et al. 2002a, p.
221; Raphael et al. 2002b, p. 337). Overall, landscapes with detections
indicative of nesting behavior tended to have large core areas of old-
growth and low amounts of overall edge (Meyer and Miller 2002, pp. 763-
764; Raphael et al. 2002b, p. 331).
In contrast, where nesting habitat is limited in southwest
Washington, northwest Oregon, and portions of California, few marbled
murrelets are found at sea during the nesting season (Ralph and Miller
1995, p. 358; Varoujean and Williams 1995, p. 336; Thompson 1996, p.
11). For instance, as of 1996, the area between the Olympic Peninsula
in Washington and Tillamook County in Oregon (100 mi (160 km)) had few
sites with detections indicative of nesting behavior or sightings at
sea of marbled murrelets. In California, approximately 300 mi (480 km)
separate the large breeding populations to the north in Humboldt and
Del Norte Counties from the southern breeding population in San Mateo
and Santa Cruz Counties. This reach contained few marbled murrelets
during the breeding season; however, the area likely contained
significant numbers of marbled murrelets before extensive logging
(Paton and Ralph 1988, p. 11, Larsen 1991, pp. 15-17). More recent at-
sea surveys confirm the low numbers of marbled murrelets in marine
areas adjacent to inland areas that have limited nesting habitat
(Miller et al. 2012, p. 775; Raphael et al. 2015, p. 21).
Dispersal mechanisms of marbled murrelets are not well understood;
however, social interactions may play an important role. The presence
of marbled murrelets in a forest stand may attract other pairs to
currently unused habitat within the vicinity. This may be one of the
reasons marbled murrelets have been observed in habitat not currently
suitable for nesting, but in close proximity to known nesting sites
(Hamer and Cummins 1990, p. 14; Hamer et al. 1994, entire). Although
marbled murrelets appear to be solitary in their nesting habits (Nelson
and Peck 1995, entire), they are frequently detected in groups above
the forest, especially later in the breeding season (USFWS 1995, pp.
14-16). Two active nests discovered in Washington during 1990 were
located within 150 ft (46 m) of each other (Hamer and Cummins 1990, p.
47), and two nests discovered in Oregon during 1994 were located within
100 ft (33 m) of each other (USFWS 1995, p. 14). Therefore, unused
habitat in the vicinity of known nesting habitat may be more important
for recovering the species than suitable habitat isolated from known
nesting habitat (USFWS 1995; USFWS 1997, p. 20). Similarly, marbled
murrelets are more likely to discover newly developing habitat in
proximity to sites with documented nesting behaviors. Because the
presence of marbled murrelets in a forest stand may attract other pairs
to currently unused habitat within the vicinity, the potential use of
these areas may depend on how close the new habitat is to known nesting
habitat, as well as distance to the marine environment, population
size, and other factors (McShane et al. 2004, p. 4-78).
Marbled murrelets are believed to be highly vulnerable to predation
when on the nesting grounds, and the species has evolved a variety of
morphological and behavioral characteristics indicative of selection
pressures from predation (Ralph et al. 1995b, p. 13). For example,
plumage and eggshells exhibit cryptic coloration, and adults fly to and
from nests by indirect routes and often under low-light conditions
(Nelson and Hamer 1995a, p. 66). Potential nest predators include the
great horned owl (Bubo virginianus), Cooper's hawk (Accipiter
cooperii), barred owl (Strix varia), northwestern crow (Corvus
caurinus), American crow (Corvus brachyrhynchos), and gray jay
(Perisoreus canadensis) (Nelson and Hamer 1995b, p. 93; Marzluff et al.
1996, p. 22; McShane et al. 2004, p. 2-17). The common raven (Corvus
corax), Steller's jay (Cyanocitta stelleri), and sharp-shinned hawk
(Accipiter striatus) are known predators of eggs or chicks (Nelson and
Hamer 1995b, p. 93, McShane et al. 2004, pp. 2-16-2-17). Based on
experimental work with artificial nests, predation on eggs and chicks
by squirrels and mice may also occur (Luginbuhl et al. 2001, p. 563;
Bradley and Marzluff 2003, pp. 1183-1184). In addition, a squirrel has
been documented rolling a recently abandoned egg off a nest (Malt and
Lank 2007, p. 170).
From 1974 through 1993, of those marbled murrelet nests in
Washington, Oregon, and California where nest success or failure was
documented, approximately 64 percent of the nests failed. Of those
nests, 57 percent failed due to predation (Nelson and Hamer 1995b, p.
93). Continuing research further supports predation as a significant
cause of nest failure (McShane et al. 2004, pp. 2-16 to 2-19; Peery et
al. 2004, pp. 1093-1094; Hebert and Golightly 2006, pp. 98-99; Hebert
and Golightly 2007, pp. 222-223; Malt and Lank 2007, p. 165). The
relatively high predation rate could be biased because nests near
forest edges may be more easily located by observers and also more
susceptible to predation, and because observers may attract predators.
However, Nelson and Hamer (1995b, p. 94) believed that researchers had
minimal impacts on predation in most cases because the nests were
monitored from a distance and relatively infrequently, and precautions
were implemented to minimize predator attraction. More recent research
has relied on remotely operated cameras for observing nests, rather
than people, in order to reduce the possible effects of human
attraction (Hebert and Golightly 2006, p. 12; Hebert and Golightly
2007, p. 222).
Several possible reasons exist for the high observed predation
rates of marbled murrelet nests. One possibility is that these high
predation rates are normal, although it is unlikely that a stable
population could have been maintained historically under the predation
rates observed (Beissinger 1995, p. 390).
[[Page 51512]]
In the 1996 rule we hypothesized that populations of marbled
murrelet predators such as corvids (jays, crows, and ravens) and great
horned owls are increasing in the western United States, largely in
response to habitat changes and food sources provided by humans
(Robbins et al. 1986, pp. 43-46; Johnson 1993, pp. 58-60; Marzluff et
al. 1994, pp. 214-216; National Biological Service 1996, entire),
resulting in increased predation rates on marbled murrelets. Subsequent
to the 1996 rule, surveys have confirmed that corvid populations are
indeed increasing in western North America as a result of land use and
urbanization (Marzluff et al. 2001, pp. 332-333; McShane et al. 2004,
pp. 6-11; Sauer et al. 2013, pp. 18-19). However, breeding bird surveys
in North America indicate that great horned owls are declining in 40
percent of the areas included in the surveys (Sauer et al. 2013, p.
17). Barred owls (Strix varia), foraging generalists that may prey on
marbled murrelets, were not considered in 1996, but have subsequently
been shown to be significantly increasing in numbers and distribution
(Sauer et al. 2013, p. 17).
In the 1996 rule, we also posited that creation of greater amounts
of forest edge habitat may increase the vulnerability of marbled
murrelet nests to predation and ultimately lead to higher rates of
predation. Edge effects have been implicated in increased forest bird
nest predation rates for other species of birds (Chasko and Gates 1982,
pp. 21-23; Yahner and Scott 1988, p. 160). In a comprehensive review of
the many studies on the potential relationship between forest
fragmentation, edge, and adverse effects on forest nesting birds, Paton
(1994, p. 25) concluded that ``strong evidence exists that avian nest
success declines near edges.'' Small patches of habitat have a greater
proportion of edge than do large patches of the same shape. However,
many of the studies Paton (1994, entire) reviewed involved lands where
forests and agricultural or urban areas interface, or they involved
experiments with ground nests that are not readily applicable to canopy
nesters such as marbled murrelets. Paton (1994, p. 25), therefore,
stressed the need for studies specific to forests fragmented by timber
harvest in the Pacific Northwest and elsewhere.
Some research on this topic has been conducted in areas dominated
by timber production and using nests located off the ground (Ratti and
Reese 1988, entire; Rudnicky and Hunter 1993, entire; Marzluff et al.
1996, entire; Vander Haegen and DeGraaf in press, entire). Vander
Haegen and DeGraaf (in press, p. 8; 1996, pp. 175-176) found that nests
in shrubs less than 75 m (246 ft) from an edge were three times as
likely to be depredated than nests greater than 75 m (264 ft) from an
edge. Likewise, Rudnicky and Hunter (1993, p. 360) found that shrub
nests on the forest edge were depredated almost twice as much as shrub
nests located in the forest interior. They also observed that shrub
nests were taken primarily by avian predators such as crows and jays,
which is consistent with the predators believed to be impacting marbled
murrelets, while ground nests were taken by large mammals such as
raccoons and skunks. Ratti and Reese (1988, entire) did not find the
edge relationship documented by Rudnicky and Hunter (1993, entire),
Vander Haegen and DeGraaf (in press), and others cited in Paton (1994,
entire). However, Ratti and Reese (1988, p. 488) did observe lower
rates of predation near ``feathered'' edges compared to ``abrupt''
edges (e.g., clearcut or field edges), and suggested that the
vegetative complexity of the feathered edge may better simulate natural
edge conditions than do abrupt edges. These authors also concluded that
their observations were consistent with Gates and Gysel's (1978, p.
881) hypothesis that birds are poorly adapted to predator pressure near
abrupt artificial edge zones.
Studies of artificial and natural nests conducted in Pacific
Northwest forests also indicate that predation of forest bird nests may
be affected by habitat fragmentation, forest management, and land
development (Hansen et al. 1991, p. 388; Vega 1993, pp. 57-61; Bryant
1994, pp. 14-16; Nelson and Hamer 1995b, pp. 95-97; Marzluff et al.
1996, pp. 31-35). Nelson and Hamer (1995b, p. 96), found that
successful marbled murrelet nests were further from edge than
unsuccessful nests. Marzluff et al. (1996, entire) conducted
experimental predation studies that used simulated marbled murrelet
nests, and more recent research documented predation of artificial
marbled murrelet nests by birds and arboreal mammals (Luginbuhl et al.
2001, pp. 562-563; Bradley and Marzluff 2003, pp. 1183-1884; Marzluff
and Neatherlin 2006, p. 310; Malt and Lank 2007, p. 165). Additionally,
more recent research indicates proximity to human activity and
landscape contiguity may interact to determine rate of predation
(Marzluff et al. 2000, pp. 1136-1138, Raphael et al. 2002a, entire;
Zharikov et al. 2006, p. 117; Malt and Lank 2007, p. 165). Interior
forest nests in contiguous stands far from human activity appear to
experience the least predation (Marzluff et al. 1996, p. 29; Raphael et
al. 2002a, pp. 229-231).
More recent information indicates that marbled murrelets locate
their nests throughout forest stands and fragments, including along
various types of natural and human-made edges (Hamer and Meekins 1999,
p. 1; Manley 1999, p. 66; Bradley 2002, pp. 42, 44; Burger 2002, p. 48;
Nelson and Wilson 2002, p. 98). In California and southern Oregon,
areas with abundant numbers of marbled murrelets were farther from
roads, occurred more often in parks protected from logging, and were
less likely to occupy old-growth habitat if they were isolated (greater
than 3 mi (5 km)) from other nesting marbled murrelets (Meyer et al.
2002, pp. 95, 102-103). Marbled murrelets no longer occur in areas
without suitable forested habitat, and they appear to abandon highly
fragmented areas over time (areas highly fragmented before the late
1980s generally did not support marbled murrelets by the early 1990s)
(Meyer et al. 2002, p. 103).
The conversion of large tracts of native forest to small, isolated
forest patches with large edge can create changes in microclimate,
vegetation species, and predator-prey dynamics--such changes are often
collectively referred to as ``edge effects.'' Unfragmented, older-aged
forests have lower temperatures and solar radiation and higher humidity
compared to clearcuts and other open areas (e.g., Chen et al. 1993, p.
219; Chen et al. 1995, p. 74). Edge habitat is also exposed to
increased temperatures and light, high evaporative heat loss, increased
wind, and decreased moisture. Fundamental changes in the microclimate
of a stand have been recorded at least as far as 787 ft (240 m) from
the forest edge (Chen et al. 1995, p. 74). The changes in microclimate
regimes with forest fragmentation can stress an old-growth associate
species, especially a cold-water adapted seabird such as the marbled
murrelet (Meyer and Miller 2002, p. 764), and can affect the
distribution of epiphytes that marbled murrelets use for nesting.
Branch epiphytes or substrate have been identified as a key component
of marbled murrelet nests (Nelson et al. 2003, p. 52; McShane et al.
2004, pp. 4-48, 4-89, 4-104). While there are no data on the specific
effects of microclimate changes on the availability of marbled murrelet
nesting habitat at the scale of branches and trees, as discussed in the
references above, the penetration of solar radiation and warm
temperatures into the forest could change the distribution of
epiphytes, and wind could blow moss off nesting platforms.
[[Page 51513]]
A large body of research indicates that marbled murrelet
productivity is greatest in large, complex-structured forests far from
human activity due to the reduced levels of predation present in such
landscapes. Marbled murrelet productivity is lowest in fragmented
landscapes; therefore, marbled murrelet nesting stands may be more
productive if surrounded by simple-structured forests, and minimal
human recreation and settlement. Human activities can significantly
compromise the effectiveness of the forested areas surrounding nests to
protect the birds and/or eggs from predation (Huhta et al. 1998, p.
464; Marzluff et al. 1999, pp. 3-4; Marzluff and Restani 1999, pp. 7-9,
11; Marzluff et al. 2000, pp. 1136-1138; De Santo and Willson 2001, pp.
145-147; Raphael et al. 2002a, p. 221; Ripple et al. 2003, p. 80).
In addition to studies of edge effects, some research initiated
prior to 1996 looked at the importance of stand size. Among all Pacific
Northwest birds, the marbled murrelet is considered to be one of the
most sensitive to forest fragmentation (Hansen and Urban 1992, p. 168).
Marbled murrelet nest stand size in Washington, Oregon, and California
varied between 7 and 2,717 ac (3 and 1,100 ha) and averaged 509 ac (206
ha) (Hamer and Nelson 1995, p. 73). Nelson and Hamer (1995b, p. 96)
found that successful marbled murrelets tended to nest in larger stands
than did unsuccessful marbled murrelets, but these results were not
statistically significant. Miller and Ralph (1995, entire) compared
marbled murrelet survey detection rates among four stand size classes
in California. Recording a relatively consistent trend, they observed
that a higher percentage of large stands (33.3 percent) had nesting
behavior detections when compared to smaller stands (19.8 percent),
while a greater percentage of the smallest stands (63.9 percent) had no
presence or nesting behavior detections when compared to the largest
stands (52.4 percent) (Miller and Ralph 1995, pp. 210-212). However,
these results were not statistically significant, and the authors did
not conclude that marbled murrelets preferentially select or use larger
stands. The authors suggested the effects of stand size on marbled
murrelet presence and use may be masked by other factors such as stand
history and proximity of a stand to other old-growth stands. Rodway et
al. (1993, p. 846) recommended caution when interpreting marbled
murrelet detection data, such as that used by Miller and Ralph (1995),
because numbers of detections at different sites may be affected by
variation caused by weather, visibility, and temporal shifts.
In addition to stand size, general landscape condition may
influence the degree to which marbled murrelets nest in an area. In
Washington, marbled murrelet detections increased when old-growth/
mature forests make up more than 30 percent of the landscape (Hamer and
Cummins 1990, p. 43). Hamer and Cummins (1990, p. 43) found that
detections of marbled murrelets decreased in Washington when the
percentage of clear-cut/meadow in the landscape increased above 25
percent. Additionally, Raphael et al. (1995, p. 177) found that the
percentage of old-growth forest and large sawtimber was significantly
greater within 0.5 mi (0.8 km) of sites (501-ac (203-ha) circles) that
were used by nesting marbled murrelets than at sites where they were
not detected. Raphael et al. (1995, p. 189) suggested tentative
guidelines based on this analysis that sites with 35 percent old-growth
and large sawtimber in the landscape are more likely to be used for
nesting. In California, Miller and Ralph (1995, pp. 210-211) found that
the density of old-growth cover and the presence of coastal redwood
were the strongest predictors of marbled murrelet presence.
In summary, the best scientific information available strongly
suggests that marbled murrelet reproductive success may be adversely
affected by forest fragmentation associated with either natural
disturbances, such as severe fire or windthrow, or certain land
management practices, generally associated with timber harvest or
clearing of forest. Based on this information, the Service concluded
that the maintenance and development of suitable habitat in relatively
large contiguous blocks as described in the 1996 rule and the draft
Marbled Murrelet (Washington, Oregon, and California Population)
Recovery Plan (draft recovery plan) (USFWS 1995, pp. 70-71, finalized
in 1997) would contribute to the recovery of the marbled murrelet.
These blocks of habitat should contain the structural features and
spatial heterogeneity naturally found at the landscape level, the stand
level, and the individual tree level in Pacific Northwest forest
ecosystems (Hansen et al. 1991, pp. 389-390; Hansen and Urban 1992, pp.
171-172; Ripple 1994, p. 48; Bunnell 1995, p. 641; Raphael et al. 1995,
p. 189). Newer information further supports the conclusion that the
maintenance of suitable nesting habitat in relatively large, contiguous
blocks will be needed to recover the marbled murrelet (Meyer and Miller
2002, pp. 763-764; Meyer et al. 2002, p. 95; Miller et al. 2002, pp.
105-107; Raphael et al. 2011, p. 44).
Summary of Physical or Biological Features Essential to the
Conservation of the Marbled Murrelet
Therefore, based on the information presented in the 1996 final
critical habitat rule and more recent data that continue to confirm the
conclusions drawn in that rule, we consider the physical or biological
features essential to the conservation of the marbled murrelet to
include forests that are capable of providing the characteristics
required for successful nesting by marbled murrelets. Such forests are
typically coniferous forests in contiguous stands with large core areas
of old-growth or trees with old-growth characteristics and a low ratio
of edge to interior. However, due to timber harvest history we
recognize that, in some areas, such as south of Cape Mendocino in
California, coniferous forests with relatively smaller core areas of
old-growth or trees with old-growth characteristics are essential for
the conservation of the marbled murrelet because they are all that
remain on the landscape. Forests capable of providing for successful
nesting throughout the range of the listed DPS are typically dominated
by coastal redwood, Douglas-fir, mountain hemlock, Sitka spruce,
western hemlock, or western red cedar, and must be within flight
distance to marine foraging areas for marbled murrelets.
The most important characteristic of marbled murrelet nesting
habitat is the presence of nest platforms. These structures are
typically found in old-growth and mature forests, but can also be found
in a variety of forest types including younger forests containing
remnant large trees. Potential nesting areas may contain fewer than one
suitable nesting tree per acre and nest trees may be scattered or
clumped throughout the area. Large areas of unfragmented forest are
necessary to minimize edge effects and reduce the impacts of nest
predators to increase the probability of nest success. Forests are
dynamic systems that occur on the landscape in a mosaic of successional
stages, both as the result of natural disturbances (fire, windthrow) or
anthropogenic management (timber harvest). On a landscape basis,
forests with a canopy height of at least one-half the site-potential
tree height in proximity to potential nest trees contribute to the
conservation of the marbled murrelet. Trees of at least one-half the
site-potential height are tall enough to reach up into the lower
[[Page 51514]]
canopy of nest trees, which provides nesting murrelets more cover from
predation. The site-potential tree height is the average maximum height
for trees given the local growing conditions, and is based on species-
specific site index tables. The earlier successional stages of forest
also play an essential role in providing suitable nesting habitat for
the marbled murrelet, as they proceed through successional stages and
develop into the relatively large, unfragmented blocks of suitable
nesting habitat needed for the conservation of the species.
III. Primary Constituent Elements for the Marbled Murrelet
According to 50 CFR 424.12(b), we are required to identify the
physical or biological features essential to the conservation of the
marbled murrelet within the geographical area occupied at the time of
listing, focusing on the ``primary constituent elements'' (PCEs) of
those features. We consider PCEs to be 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.
For the marbled murrelet, those life-history processes associated with
terrestrial habitat are specifically related to nesting. Therefore, as
previously described in our designation of critical habitat for the
marbled murrelet (61 FR 26256; May 24, 1996), and further supported by
more recent information, our designation of critical habitat focused on
the following PCEs specific to the marbled murrelet:
(1) Individual trees with potential nesting platforms, and
(2) forested areas within 0.5 mile (0.8 kilometer) of individual
trees with potential nesting platforms, and with a canopy height of at
least one-half the site-potential tree height. This includes all such
forest, regardless of contiguity.
These PCEs are essential to provide and support suitable nesting
habitat for successful reproduction of the marbled murrelet.
IV. Special Management Considerations or Protection
In our evaluation of whether the current designation meets the
statutory definition of critical habitat, we must assess not only
whether the specific areas within the geographical area occupied by the
species at the time of listing contain the physical or biological
features essential to the conservation of the species, but also whether
those features may require special management considerations or
protection. Here we describe the special management considerations or
protection that apply to the physical or biological features and PCEs
identified for the marbled murrelet.
As discussed above and in the 1996 final rule designating critical
habitat (May 24, 1996; 61 FR 26261-26263), marbled murrelets are found
in forests containing a variety of forest structure, which is in part
the result of varied management practices and natural disturbance
(Hansen et al. 1991, p. 383; McComb et al. 1993, pp. 32-36). In many
areas, management practices have resulted in fragmentation of the
remaining older forests and creation of large areas of younger forests
that have yet to develop habitat characteristics suitable for marbled
murrelet nesting (Hansen et al. 1991, p. 387). Past and current forest
management practices have also resulted in a forest age distribution
skewed toward younger even-aged stands at a landscape scale (Hansen et
al. 1991, p. 387; McComb et al. 1993, p. 31). Bolsinger and Waddell
(1993, p. 2) estimated that old-growth forest in Washington, Oregon,
and California had declined by two-thirds statewide during the previous
five decades.
Current and historical loss of marbled murrelet nesting habitat is
generally attributed to timber harvest and land conversion practices,
although, in some areas, natural catastrophic disturbances such as
forest fires have caused losses (Hansen et al. 1991, pp. 383, 387;
Ripple 1994, p. 47; Bunnell 1995, pp. 638-639; Raphael et al. 2011, pp.
34-39; Raphael et al. 2015 in prep, pp. 94-96). Reduction of the
remaining older forest has not been evenly distributed in western
Washington, Oregon, and California. Timber harvest has been
concentrated at lower elevations and in the Coast Ranges (Thomas et al.
1990, p. 63), generally overlapping the range of the marbled murrelet.
In California today, more than 95 percent of the original old-growth
redwood forest has been logged, and 95 percent of the remaining old-
growth is now in parks or reserves (Roa 2007, p. 169).
Some of the forests that were affected by past natural
disturbances, such as forest fires and wind throw, currently provide
suitable nesting habitat for marbled murrelets because they retain
scattered individual or clumps of large trees that provide structure
for nesting (Hansen et al. 1991, 383; McComb et al. 1993, p. 31;
Bunnell 1995, p. 640). This is particularly true in coastal Oregon
where extensive fires occurred historically. Marbled murrelet nests
have been found in remnant old-growth trees in mature and young forests
in Oregon. Forests providing suitable nesting habitat and nest trees
generally require 200 to 250 years to develop characteristics that
supply adequate nest platforms for marbled murrelets. This time period
may be shorter in redwood and western hemlock forests and in areas
where significant remnants of the previous stand remain. Intensively
managed forests in Washington, Oregon, and California have been managed
on average cutting rotations of 70 to 120 years (USDI 1984, p. 10).
Cutting rotations of 40 to 50 years are common for some private lands.
Timber harvest strategies on Federal lands and some private lands have
emphasized dispersed clear-cut patches and even-aged management. Forest
lands that are intensively managed for wood fiber production are
generally prevented from developing the characteristics required for
marbled murrelet nesting. In addition, suitable nesting habitat that
remains under these harvest patterns is highly fragmented.
Within the range of the marbled murrelet on Federal lands, the
Northwest Forest Plan (NWFP) (USDA and USDI 1994, entire) designated a
system of Late Successional Reserves (LSRs), which provides large areas
expected to eventually develop into contiguous, unfragmented forest. In
addition to LSRs, the NWFP designated a system of Adaptive Management
Areas, where efforts focus on answering management questions, and
matrix areas, where most forest production occurs. Administratively
withdrawn lands, as described in the individual National Forest or BLM
land use plans, are also part of the NWFP.
In the 1996 final rule, we acknowledged the value of implementation
of the NWFP as an integral role in marbled murrelet conservation. As a
result, designated critical habitat on lands within the NWFP area
administered by the National Forests and BLM was congruent with LSRs.
These areas, as managed under the NWFP, should develop into large
blocks of suitable murrelet nesting habitat given sufficient time.
However, LSRs are plan-level designations with less assurance of long-
term persistence than areas designated by Congress. Designation of LSRs
as critical habitat complements and supports the NWFP and helps to
ensure persistence of this management directive over time. These lands
managed under the NWFP require special management considerations or
protection to allow the full development of the essential physical or
biological features as represented by large blocks of forest with the
old-growth characteristics that will provide suitable nesting habitat
for marbled murrelets.
[[Page 51515]]
In some areas, the large blocks of Federal land under the NWFP are
presently capable of providing the necessary contribution for recovery
of the species. However, the marbled murrelet's range includes areas
that are south of the range of the northern spotted owl (the focus of
the NWFP), where Federal lands are subject to timber harvest.
Therefore, the critical habitat designated on Federal lands outside of
the NWFP also require special management considerations or protection
to enhance or restore the old-growth characteristics required for
nesting by marbled murrelets, and to attain the large blocks of
contiguous habitat necessary to reduce edge effects and predation.
In the 1996 critical habitat rule (May 24, 1996; 61 FR 26256), the
Service designated selected non-Federal lands that met the requirements
identified in the Criteria for Identifying Critical Habitat section, in
those areas where Federal lands alone were insufficient to provide
suitable nesting habitat for the recovery of the species. For example,
State lands were considered to be particularly important in
southwestern Washington, northwestern Oregon, and in California south
of Cape Mendocino. Small segments of county lands were also included in
northwestern Oregon and central California. Some private lands were
designated as critical habitat because they provided essential elements
and occurred where Federal lands were, and continue to be, very
limited, although suitable habitat on private land is typically much
more limited than on public lands. In California, south of Cape
Mendocino, State, county, city, and private lands contain the last
remnants of nesting habitat for the southern-most population of
murrelets, which is the smallest, most isolated, and most susceptible
to extirpation. All of the non-Federal lands have been and continue to
be subject to some amount of timber harvest and habitat fragmentation
and lower habitat effectiveness due to human activity. Therefore, all
non-Federal lands within the designation require special management
considerations or protection to preserve suitable nesting habitat where
it is already present, and to provide for the development of suitable
nesting habitat in areas currently in early successional stages.
In summary, areas that provide the essential physical or biological
features and PCEs for the marbled murrelet may require special
management considerations or protection. Because succession has been
set back or fragmentation has occurred due to either natural or
anthropogenic disturbance, those essential features may require special
management considerations or protections to promote the development of
the large, contiguous blocks of unfragmented, undisturbed coniferous
forest with old-growth characteristics (i.e., nest platforms) required
by marbled murrelets. Areas with these characteristics provide the
marbled murrelet with suitable nesting habitat, and reduce edge
effects, such as increased predation, resulting in greater nest success
for the species. Areas that currently provide suitable nesting habitat
for the marbled murrelet may require protection to preserve those
essential characteristics, as the development of old-growth
characteristics may take hundreds of years and thus cannot be easily
replaced once lost.
V. Definition of Geographical Area Occupied at the Time of Listing
Critical habitat is defined as the specific areas within the
geographical area occupied by the species, at the time it is listed
under section (3)(5)(A)(i) of the Act. For the purposes of critical
habitat, the Service must first determine what constitutes the
geographical area occupied by the species at the time of listing. We
consider this to be a relatively broad-scale determination, as the
wording of the Act clearly indicates that the specific areas that
constitute critical habitat will be found within some larger
geographical area. We consider the ``geographical area occupied by the
species'' at the time of listing, for the purposes of section
3(5)(A)(i), to be the area that may be broadly delineated around the
occurrences of a species, or generally equivalent to what is commonly
understood as the ``range'' of the species. We consider a species
occurrence to be a particular location in which individuals of the
species are found throughout all or part of their life cycle, even if
not used on a regular basis (e.g., migratory corridors, seasonal
habitats, and habitats used periodically, but not solely by vagrant
individuals). Because the ``geographical area occupied by the species''
can, depending on the species at issue and the relevant data available,
be defined on a relatively broad, coarse scale, individuals of the
species may or may not be present within each area at a smaller scale
within the geographical area occupied by the species. For the purposes
of critical habitat, then, we consider an area to be ``occupied''
(within the geographical area occupied by the species) if it falls
within the broader area delineated by the species' occurrences, i.e.,
its range.
Within the listed DPS, at-sea observations indicate marbled
murrelets use the marine environment along the Pacific Coast from the
British Columbia, Canada/Washington border south to the Mexico/
California border. Because they must fly back and forth to the nest
from their marine foraging areas, marbled murrelets use inland areas
for nesting that are nearby to those areas used by the species
offshore. The inland extent of terrestrial habitat use varies from
north to south and depends upon the presence of nesting structures in
relation to marine foraging areas. Marbled murrelets have been detected
as far inland as 70 miles (mi) (113 kilometers (km)) in Washington, but
the inland extent narrows going south, where marbled murrelets
generally occur within 25 mi (40 km) of the coast in California. At a
broad scale, the geographical area occupied by the listed DPS of the
marbled murrelet at the time of listing includes the west coast from
the British Columbia, Canada/Washington border south to the Mexico/
California border, ranging inland from approximately 70 mi (113 km) in
Washington to roughly 25 mi (40 km) of the coast in California.
However, the inland nesting habitat extends southward in California
only to just south of Monterey Bay. Occurrence data that supports this
geographic range includes at-sea surveys, radar detections, radio-
telemetry studies, and audio-visual surveys.
At the time the marbled murrelet was listed (October 1, 1992; 57 FR
45528), occurrence data were very limited. However, the geographic
range was generally known at that time, with the exception of the exact
inland extent.
We now describe what is known about marbled murrelet use of the
critical habitat subunits that were designated in 1996, as revised in
2011. In 1996, only terrestrial areas were designated as critical
habitat. Terrestrial habitat is used by the marbled murrelet only for
the purpose of nesting; therefore, we focus on those specific areas
used for nesting by the species. Because we did not designate critical
habitat in the marine environment, that aspect of the species' life
history or available data will not be discussed further, unless it is
pertinent to the terrestrial habitat.
At the landscape scale, marbled murrelets show fidelity to marine
foraging areas and may return to specific watersheds for nesting
(Nelson 1997, pp. 13, 16-17, 20; Cam et al. 2003, p. 1123). For
example, marbled murrelets have been observed to return to the same
specific nest branches or sites (Hebert and Golightly 2006, p. 270;
[[Page 51516]]
Bloxton and Raphael 2009, p. 11). Repeated surveys in nesting stands
have revealed site tenacity similar to that of other birds in the alcid
family (Huff et al. 2006, p. 12) in that marbled murrelets have been
observed in the same suitable habitat areas for more than 20 years in
California and Washington. Based on the high site tenacity exhibited by
marbled murrelets, it is highly likely that areas found to be used by
marbled murrelets since listing in 1992 were also being used at the
time of listing. Therefore, in order to determine whether any
particular area was being used at the time the marbled murrelet was
listed, we used all years of survey data available to us (for example,
through 2013 in Washington, and some data through 2014 for California).
Not all survey data are indicative of nesting. The specific types
of data that we relied upon include audiovisual surveys and specific
nest locations, which may have been located through radio-telemetry
studies, tree climbing, chicks on the ground, or egg shell fragments.
Audiovisual surveys result in a variety of detections, only some of
which are specific indicators of nesting behavior tied to the area
being surveyed. The types of behaviors that are indicative of nesting
include: Sub-canopy behaviors, circling above the canopy, and
stationary calling. Other types of detections, such as radar and fly-
overs observed during audiovisual surveys, provide information
regarding the general use of an area, but generally do not tie the
observed individual(s) to a specific forested area (Evans Mack et al.
2003, pp. 20-23).
There continue to be gaps in our knowledge of marbled murrelet use
in the terrestrial environment. Surveys are site/project specific and
generally have been conducted for the purposes of allowing timber
harvest. Surveys not conducted in adherence to the strict protocol may
have missed nesting behaviors due to the cryptic nature of marbled
murrelets and their nests. For example, a single visit to a location
where marbled murrelets are present has only a 55 percent chance of
detecting marbled murrelets (Evans Mack et al. 2003, p. 39). In
addition, on some lands, such as Federal LSRs, our history of
consultation under section 7 of the Act demonstrates that, in general,
land managers choose not to conduct surveys to determine site
``presence;'' rather they consider the suitable habitat to be used by
nesting murrelets and adjust their projects accordingly. Therefore, we
recognize that our information regarding marbled murrelet use of the
terrestrial landscape is incomplete; however, we have determined that
the information used in this document is the best scientific data
available.
We consider the geographical area occupied by the species at the
time of listing for the purposes of critical habitat to be equivalent
to the nesting range of the marbled murrelet, for the reasons described
above. However, it is important to note that at the time of listing, we
may not have had data that definitively demonstrated the presence of
nesting murrelets within each specific area designated as critical
habitat. Some of these areas still lack adequate survey information.
Yet because these areas fall within the broader nesting range of the
species, we consider them to have been occupied at the time of listing.
For the purposes of clarity, we further evaluated the specific areas
within that broader geographic range to determine whether we have
documented detections of behaviors indicative of nesting by the marbled
murrelet at the scale of each subunit. The following types of data are
indicative of the marbled murrelet's use of forested areas for nesting
and will be relied upon to make the determination of whether we have
documentation of nesting behavior by critical habitat subunit:
(a) Data indicative of nesting behavior. A subunit with any of the
following data will be considered to have a documented detection of
nesting behavior. We consider one detection in a subunit sufficient to
support a positive nesting behavior determination for the entire
subunit.
(1) Audio/visual surveys conducted according to the Pacific Seabird
Group (PSG) survey protocol (Evans Mack et al. 2003 or earlier
versions). Detection types that are indicative of nesting include: Sub-
canopy behaviors (such as flying through the canopy or landing),
circling above the canopy, and stationary calling.
(2) Nest locations obtained through radio-telemetry tracking, tree
climbing, egg-shell fragments, and chicks on the ground.
(b) Contiguity of forested areas within which nesting behaviors
have been observed. According to the PSG protocol (Evans Mack et al.
2003), a contiguously forested area with detections indicative of
nesting behavior is deemed to be used by nesting marbled murrelets
throughout its entirety. Therefore, any subunits where there were no
detections of behaviors indicative of nesting or possibly no surveys,
but the forested areas in the subunit are contiguous with forested
areas extending outside of the subunit within which there are
documented nesting behaviors, will be deemed to be positive in terms of
a nesting behavior detection.
Radar-based marbled murrelet detections and presence-only
detections (such as flying over or heard only) resulting from audio/
visual surveys were not used to classify a subunit as positive in terms
of nesting behavior detections. Even though these detections indicate
use of an area by marbled murrelets, these types of detections do not
link murrelet nesting to specific areas of forested habitat.
In Washington and California, occurrence data, including nest
locations and audio/visual survey data, are maintained in State
wildlife agency databases. The Washington Department of Fish and
Wildlife marbled murrelet data was obtained by the Service on June 19,
2014, and includes data collected through 2013. The California
Department of Fish and Wildlife's marbled murrelet occurrence database,
as currently maintained by the Arcata Fish and Wildlife Office, was
accessed on February 5, 2015. The database includes information on some
surveys conducted through 2006, with one observation from 2014, but is
incomplete for the State. Audio/visual surveys in Oregon are not
maintained in a centralized database. The Service, through a
cooperative agreement, provided funds to the Oregon State University to
obtain and collate Oregon survey data. The data provided to the Service
included surveys through 2003, mainly on Federal lands. Additionally,
the BLM and Oregon Department of Forestry provided a summary of current
survey data, as of March of 2015, within critical habitat in Oregon.
Survey data for private lands in Oregon were not available.
VI. Specific Areas Occupied at the Time of Listing
We have determined that all 101 subunits designated as critical
habitat in 1996, as revised in 2011, are within the geographical range
occupied by the species at the time of listing, and all 101 subunits
contain the physical or biological features and PCEs essential to the
conservation of the species. Evidence of the presence of PCEs is based
on nests located within a subunit, nesting behavior detections, audio-
visual survey station placements (generally surveys are only conducted
if there are nesting platforms present in the forested area), and
specific forest inventory data. All of these forms of evidence point to
the presence of PCE 1, nesting platforms, within the subunit, as well
as the presence of PCE 2. In addition, within all 101 subunits, the
essential physical or biological features
[[Page 51517]]
and PCEs may require special management considerations or protection,
as described above, because these subunits have received or continue to
receive some level of timber harvest, fragmentation of the forested
landscape, and reduced habitat effectiveness from human activity.
Therefore, all 101 subunits meet the definition of critical habitat
under section 3(5)(A)(i) of the Act.
Of the 101 subunits, 78 (all critical habitat subunits except for
those identified in Table 1, below) have either specific nesting
behavior detection data within the subunit or forested areas within the
subunit that are contiguous with forested areas within which nesting
behaviors have been observed. In total, the 78 subunits with nesting
behavior detections account for 3,335,400 ac (1,349,800 ha), or 90
percent of the total designation. These 78 subunits all contain the
physical or biological features and PCEs essential to the conservation
of the species, which may require special management considerations or
protection, as described above, because these subunits have received or
continue to receive some level of timber harvest, fragmentation of the
forested landscape, and reduced habitat effectiveness from human
activity. Therefore, we conclude that these 78 subunits meet the
definition of critical habitat under section 3(5)(A)(i) of the Act.
Table 1--Marbled Murrelet Critical Habitat Subunits Without Detections
Indicative of Nesting Behavior
------------------------------------------------------------------------
Subunit
-------------------------------------------------------------------------
WA-04a
WA-11d
OR-01d
OR-06a
OR-06c
OR-07f
OR-07g
CA-01d
CA-01e
CA-04b
CA-05a
CA-05b
CA-06a
CA-06b
CA-07b
CA-07c
CA-08a
CA-08b
CA-09a
CA-09b
CA-11b
CA-13
CA-14c
------------------------------------------------------------------------
There are 23 subunits that did not have data indicating marbled
murrelet nesting behaviors at the time of listing (Table 1). All of
these subunits, however, are within the range of the species at the
time of listing, and, hence, we consider them to be occupied. Of these
23 subunits, 2 are in Washington, 5 are in Oregon, and 16 are in
California, totaling up to 362,600 ac (145,800 ha) or 10 percent of the
designation. We have determined that all 23 subunits contain the
essential physical or biological features and PCEs based on specific
forest inventory data and audio-visual survey station placements. Only
7 of these 23 subunits have received partial or complete surveys to
determine use by marbled murrelets. Very limited inland distribution
information was available when the species was listed (1992) and in
1996 when critical habitat was designated (May 24, 1996; 61 FR 26256,
pp. 26269-26270). However, continued survey efforts have filled in gaps
in the distribution that were not known at the time of listing. For
example, as of June 2014, the Washington Department of Fish and
Wildlife murrelet detection database contained 5,225 nesting behavior
detections. Of these 5,225 detections, only 254 were from surveys
before 1992 and only 2,149 were prior to 1996. Therefore, it is our
opinion that had surveys been conducted in many of these 23 subunits,
it is likely that nesting behaviors would have been detected.
Even if these 23 subunits were considered unoccupied at the time of
listing because we do not have specific documentation of nesting
behaviors, the Act permits designation of such areas as critical
habitat if they are essential for the conservation of the species. We
evaluated whether each of these 23 subunits are essential for the
conservation of the species. In this evaluation we considered: (1) The
importance of the area to the future recovery of the species; (2)
whether the areas have or are capable of providing the essential
physical or biological features; and (3) whether the areas provide
connectivity between marine and terrestrial habitats. As stated above,
we determined that all 23 subunits contain the physical or biological
features and PCEs for the marbled murrelet; therefore, all 23 subunits
provide essential nesting habitat that is currently limited on the
landscape. In particular, 13 subunits in California that are south of
Cape Mendocino contain the last remnants of nesting habitat in that
part of California. All 101 designated subunits work together to create
a distribution of essential nesting habitat from north to south and
inland from marine foraging areas. All of the designated critical
habitat units occur within areas identified in the draft and final
recovery plans for the marbled murrelet (USFWS 1995 and 1997, entire)
as essential for the conservation of the species. Maintaining and
increasing suitable nesting habitat for the marbled murrelet is a key
objective for the conservation and recovery of the species, by
providing for increases in nest success and productivity needed to
attain long-term population viability. Based upon this information, we
have determined that all of the 23 subunits where nesting behaviors
have not been documented are, nonetheless, essential for the
conservation of the species. Therefore, even if these 23 subunits were
considered unoccupied, we conclude that they meet the definition of
critical habitat under section 3(5)(A)(ii) of the Act.
VII. All Critical Habitat Is Essential to the Conservation of the
Marbled Murrelet
As described above, all areas designated as critical habitat for
the marbled murrelet (101 subunits) contain the physical or biological
features and PCEs essential to the conservation of the species, which
may require special management considerations or protection. We
recognize that the physical or biological features and PCEs may not be
uniformly distributed throughout these 101 subunits because historical
harvest patterns and natural disturbances have created a mosaic of
multiple-aged forests. Replacement of essential physical or biological
features and PCEs for the marbled murrelet can take centuries to grow.
We have additionally evaluated all currently designated critical
habitat for the marbled murrelet applying the standard under section
3(5)(A)(ii) of the Act, and have determined that all 101 subunits
included in this designation are essential for the conservation of the
species. As detailed above, we have determined that all areas of
critical habitat, whether known to be occupied at the time of listing
or not, contain the physical or biological features and PCEs for the
marbled murrelet. All 101 designated subunits work together to create a
distribution of essential nesting habitat from north to south and
inland from marine foraging areas, and occur within areas identified in
the draft and final recovery plans for the marbled murrelet (USFWS 1995
and 1997, entire) as essential for the conservation of the species. All
areas designated as critical habitat are essential for the conservation
and recovery of the marbled murrelet by maintaining and
[[Page 51518]]
increasing suitable nesting habitat and limiting forest fragmentation,
thereby providing for increases in nest success and productivity to
attain long-term population viability of the species. Therefore, we
have determined that all areas currently identified as critical habitat
for the marbled murrelet, whether confirmed to be occupied at the time
of listing or not, are essential for the conservation of the species
and meet the definition of critical habitat under section 3(5)(A)(ii)
of the Act. Recent population and suitable habitat research confirms
that these areas continue to be essential because the marbled murrelet
population has declined since listing (Miller et al. 2012, entire) and
continues to decline in Washington (Lance and Pearson 2015, pp. 4-5),
hence suitable nesting areas are of increased importance to provide
recovery potential for the marbled murrelet. In addition, while habitat
loss has slowed since adoption of the NWFP, suitable nesting habitat
continues to be lost to timber harvest (Raphael et al. 2015 in prep,
pp. 94-95).
VIII. Restated Correction
The preamble to the 1996 final critical habitat rule (May 24, 1996;
61 FR 26265) stated that within the boundaries of designated critical
habitat, only those areas that contain one or more PCEs are, by
definition, critical habitat, and areas without any PCEs are excluded
by definition. This statement was in error; we clarified this language
in the revised critical habitat rule published in 2011 (October 5,
2011; 76 FR 61599, p. 61604), and we reemphasize this correction here.
By introducing some ambiguity in our delineation of critical habitat,
this language was inconsistent with the requirement that each critical
habitat unit be delineated by specific limits using reference points
and lines (50 CFR 424.12(c)). The Service does its best not to include
areas that obviously cannot attain PCEs, such as alpine areas, water
bodies, serpentine meadows, lava flows, airports, buildings, parking
lots, etc. (May 24, 1996; 61 FR 26256, p. 26269). However, the scale at
which mapping is done for publication in the Code of Federal
Regulations does not allow precise identification of these features,
and, therefore, some may fall within the critical habitat boundaries.
Hence, all lands within the mapped critical habitat boundaries for the
marbled murrelet are critical habitat.
IX. Effects of Critical Habitat Designation
Section 7(a)(2) of the Act requires Federal agencies, including the
Service, to ensure that any action they fund, authorize, or carry out
is not likely to jeopardize the continued existence of any endangered
species or threatened species or result in the destruction or adverse
modification of designated critical habitat of such species. A detailed
explanation of the regulatory effects of critical habitat in terms of
consultation under section 7 of the Act and application of the adverse
modification standard is provided in the October 5, 2011, final rule
revising critical habitat for the marbled murrelet (76 FR 61599).
Section 7 consultation is required whenever there is a
discretionary Federal action that may affect listed species or
designated critical habitat. Section 7(a)(3) also states that a Federal
agency shall consult with the Secretary on any prospective agency
action at the request of, and in cooperation with, the prospective
permit or license applicant if the applicant has reason to believe that
an endangered species or a threatened species may be present in the
area affected by his or her project and that implementation of such
action will likely affect such species. The initiation of section 7
consultation under the jeopardy standard takes place if the species may
be present and the action may affect the species. As described above,
because of the relatively coarse scale at which critical habitat is
designated, the species may or may not be present within all portions
of the ``geographical area occupied by the species'' or may be present
only periodically. Therefore, at the time of any consultation under
section 7 of the Act, the species of interest may not be present within
the action area for the purposes of the section 7 consultation, even if
that action area is within the ``geographical area occupied by the
species.''
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 information at the time of designation will not
control the direction and substance of future 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.
X. Economic Considerations
Section 4(b)(2) of the Act and its implementing regulations require
that we consider the economic impact that may result from a designation
or revision of critical habitat. If critical habitat has not been
previously designated, the probable economic impact of a proposed
critical habitat designation is analyzed by comparing scenarios both
``with critical habitat'' and ``without critical habitat.'' The
``without critical habitat'' scenario represents the baseline for the
analysis, and includes the existing regulatory and socio-economic
burden imposed on landowners, managers, or other resource users
potentially affected by the designation of critical habitat (e.g.,
under the Federal listing as well as other Federal, State, and local
regulations). In this case the baseline represents the costs of all
efforts attributable to the listing of the species under the Act (i.e.,
conservation of the species and its habitat 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. These are the
conservation efforts and associated impacts that would not be expected
but for 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 incremental costs represent the potential economic impacts we
consider in association with a designation or revision of critical
habitat, as required by the Act.
Baseline protections as a result of the listed status of the
marbled murrelet include sections 7, 9, and 10 of the Act, and any
economic impacts resulting
[[Page 51519]]
from these protections to the extent they are expected to occur absent
the designation of critical habitat:
Section 7 of the Act, even absent critical habitat
designation, requires Federal agencies to consult with the Service to
ensure that any action authorized, funded, or carried out will not
likely jeopardize the continued existence of any endangered or
threatened species. Consultations under the jeopardy standard result in
administrative costs, as well as impacts of conservation efforts
resulting from consideration of this standard.
Section 9 defines the actions that are prohibited by the
Act. In particular, it prohibits the ``take'' of endangered wildlife,
where ``take'' means to harass, harm, pursue, hunt, shoot, wound, kill,
trap, capture, or collect, or to attempt to engage in any such conduct.
The economic impacts associated with this section manifest themselves
in sections 7 and 10.
Under section 10(a)(1)(B) of the Act, an entity (e.g., a
landowner or local government) may develop an HCP for a listed animal
species in order to meet the conditions for issuance of an incidental
take permit in connection with a land or water use activity or project.
The requirements posed by the HCP may have economic impacts associated
with the goal of ensuring that the effects of incidental take are
adequately avoided or minimized. The development and implementation of
HCPs is considered a baseline protection for the species and habitat
unless the HCP is determined to be precipitated by the designation of
critical habitat, or the designation influences stipulated conservation
efforts under HCPs.
In the present rulemaking, we are not starting from a ``without
critical habitat'' baseline. In this particular case, critical habitat
has been in place for the marbled murrelet since May 24, 1996 (61 FR
26256), and was most recently revised on October 5, 2011 (76 FR 61599).
Since the 2011 revision resulted only in the removal of some areas of
critical habitat, all areas remaining in the current designation have
been critical habitat for the marbled murrelet since 1996. This current
critical habitat designation forms the baseline for our consideration
of the potential economic impacts of this proposed rule. In this
document, we describe our evaluation and conclusion that all of the
currently designated areas meet the statutory definition of critical
habitat for the marbled murrelet. Specifically, we have clarified that
all areas are within the range of the marbled murrelet and, therefore,
occupied by the species at the time of listing, and contain the
physical or biological features essential to the conservation of the
species, which may require special management consideration or
protection. Furthermore, although all areas are considered to have been
occupied at the time of listing, all areas do not necessarily have
specific data indicating known detections of nesting murrelets at the
time of listing. Therefore, we have further evaluated and determined
that all critical habitat, regardless of whether we have information
indicating definitive use by nesting murrelets at the time of listing,
is essential for the conservation of the species. As a result of our
evaluation, we are not proposing any modification to the boundaries of
critical habitat for the marbled murrelet, nor are we proposing any
changes to the definition of the PCEs (May 24, 1996; 61 FR 26256).
We have considered the probable incremental economic impacts that
may result from this proposed rule with regard to critical habitat for
the marbled murrelet. Critical habitat designation will not affect
activities that do not have any Federal involvement; designation of
critical habitat affects only activities conducted, funded, permitted,
or authorized by Federal agencies. In areas where the marbled murrelet
is present, Federal agencies already are required to consult with the
Service under section 7 of the Act on activities they fund, permit, or
implement that may affect the species. In this particular case, because
all areas that we have considered are already designated as critical
habitat for the marbled murrelet, where a Federal nexus occurs,
consultations to avoid the destruction or adverse modification of
critical habitat have been incorporated into the existing consultation
process. Federal agencies have been consulting under section 7 of the
Act on critical habitat for the marbled murrelet for approximately 20
years. As this proposed rule does not suggest the addition of any new
areas as critical habitat, any probable economic impacts resulting from
this rulemaking would result solely from our clarification of how all
of the areas currently designated meet the statutory definition of
critical habitat. The incremental economic impacts of this proposed
rule would, therefore, be equal to any additional costs incurred as the
result of a difference between the outcome of consultations as they are
currently conducted and consultations as they would be conducted if
this rulemaking is finalized as proposed.
We fully considered any probable economic impacts that may result
from this proposed rule. Based upon our evaluation, we do not
anticipate changes to the consultation process or effect determinations
made for critical habitat as a result of our evaluation and conclusion
that all areas meet the definition of critical habitat under the Act.
In addition, we do not anticipate requiring additional or different
project modifications than are currently requested when an action ``may
affect'' critical habitat. Therefore, it is the Service's expectation
that this proposed rule clarifying the 1996 critical habitat
designation, as revised in 2011, which explains how all areas within
the boundaries of the current designation meet the definition of
critical habitat under the Act, will result in no additional
(incremental) economic impacts.
In order to confirm that our assessment of the potential economic
impacts of this proposed rule is accurate, we asked those Federal
action agencies that manage lands that are critical habitat or with
whom we have consulted over the past 20 years on marbled murrelet
critical habitat to review our evaluation and characterization of the
changes, if any, to consultation under section 7 that may be
anticipated as a consequence of this proposed rule. We specifically
asked each agency whether our proposed rule would be likely to result
in any additional economic impacts on their agency (incremental
impacts), above and beyond those already incurred as a result of the
current critical habitat designation for the marbled murrelet (baseline
impacts). Based on our consultation history with Federal agencies, it
is our understanding that action agencies currently consult on effects
to marbled murrelet critical habitat through an analysis of the effects
to the PCEs. We asked the action agencies to confirm or correct this
understanding, and to verify our characterization of how these
consultations take place under the current designation, which we
described as follows:
If an action will take place within designated critical
habitat, the action agency considers the action area to be critical
habitat, irrelevant of the presence of PCEs. The action agency then
determines whether there are PCEs within the action area. If the action
agency determines there are no PCEs within the action area, the agency
makes a ``no effect'' determination and the Service is not consulted.
If the action agency determines there are PCEs within the
action area, they analyze the action's potential effects on the PCEs,
which may result in a ``no effect'' or ``may effect''
[[Page 51520]]
determination. If the action agency determines the action ``may
affect'' the PCEs, they undergo section 7 consultation with the
Service.
Whether the critical habitat subunit or action area is considered
to be ``occupied'' by the species is irrelevant to the effect
determination made for critical habitat. Rather, the determination of
``occupancy'' is relevant to the effect determination for the species
and any minimization measures that may be implemented (such as project
timing).
In this proposed rule we have reconsidered and clarified that we
consider all areas to have been occupied by the species at the time of
listing, and that all of these areas have the PCEs. Because occupancy
of the critical habitat subunit or action area is considered irrelevant
to the effect determination made for critical habitat, the Service does
not anticipate changes to the consultation process or effect
determinations made for critical habitat as a result of this
determination. In addition, the Service does not anticipate requiring
additional or different project modifications than are currently
requested when an action ``may affect'' critical habitat. Therefore, it
is the Service's expectation that the proposed rule clarifying the 1996
critical habitat designation [sic: as revised in 2011], which will
clearly explain how all areas within the boundaries of the current
designation meet the definition of critical habitat under the Act, will
not result in additional (incremental) costs to the Federal agencies.
We solicited review and comment on our draft summary of the
anticipated economic impacts of this proposed rule, as described above,
from seven Federal agencies with whom we regularly consult on marbled
murrelet critical habitat (the U.S. Forest Service (USFS), U.S. Bureau
of Land Management (BLM), National Park Service (NPS), Bureau of Indian
Affairs (BIA), U.S. Army Corps of Engineers (Corps), Federal Highway
Administration (FHA), and Federal Energy Regulatory Commission (FERC)).
We received responses from four of these agencies: the USFS
representing multiple national forests, the BLM representing multiple
districts, the NPS representing Redwood National Park and State Parks
partnership, and the BIA. All responses agreed with our evaluation of
the potential incremental effects of the proposed rule, and confirmed
that they did not anticipate any additional costs as a result of the
clarification of areas occupied at the time of listing. Our initial
letter of inquiry and all responses received from the action agencies
are available for review in the Supplemental Materials folder at https://www.regulations.gov, Docket No. FWS-R1-ES-2015-0070.
We additionally considered any potential economic impacts on non-
Federal entities as a result of this proposed rule. In our experience,
any economic impacts to non-Federal parties are generally associated
with the development of HCPs under section 10(a)(1)(B) of the Act.
However, as described above, in most cases the incentive for the
development of an HCP is the potential issuance of an incidental take
permit in connection with an activity or project in an area where a
listed animal species occurs. HCPs are seldom undertaken in response to
a critical habitat designation, but in such a case the costs associated
with the development of an HCP prompted by the designation of critical
habitat would be considered an incremental impact of that designation.
In this particular situation, because we are not proposing any changes
to the boundaries of critical habitat, we do not anticipate the
initiation of any new HCPs in response to this proposed rule;
therefore, we do not anticipate any costs to non-Federal parties
associated with HCP development.
Other potential costs to non-Federal entities as a result of
critical habitat designation might include costs to third party private
applicants in association with Federal activities. In most cases,
consultations under section 7 of the Act involve only the Service and
other Federal agencies, such as the U.S. Army Corps of Engineers.
Sometimes, however, consultations may include a third party involved in
projects that involve a permitted entity, such as the recipient of a
Clean Water Act section 404 permit. In such cases, these private
parties may incur some costs, such as the cost of applying for the
permit in question, or the time spent gathering and providing
information for a permit. These costs and administrative effort on the
part of third party applicants, if attributable solely to critical
habitat, would be incremental impacts of the designation. In this
particular case, however, because we are not proposing any boundary
changes to the current critical habitat designation, we do not
anticipate any change from the current baseline conditions in terms of
potential costs to third parties; therefore, we expect any incremental
impacts to non-Federal parties associated with this proposed rule to be
minimal.
Based on our evaluation and the information provided to us by the
Federal action agencies within the critical habitat area under
consideration, we conclude that this proposed rule will result in
little if any additional economic impacts above baseline costs, and we
seek public input on this conclusion.
XI. Determination
We have examined all areas designated as critical habitat for the
marbled murrelet in 1996 (May 24, 1996; 61 FR 26256), as revised in
2011 (October 5, 2011; 76 FR 61599), and evaluated whether all areas
meet the definition of critical habitat under section 3(5)(A) of the
Act. Based upon our evaluation, we have determined that all 101
subunits designated as critical habitat are within the geographical
area occupied by the species at the time of listing, and each of these
subunits provide the physical or biological features and PCEs essential
to the conservation of the species, which may require special
management considerations or protections. Therefore, we conclude that
all areas designated as critical habitat for the marbled murrelet meet
the definition of critical habitat under section 3(5)(A)(i) of the Act.
Of the 101 subunits, 78 of those subunits had documented detections of
nesting behavior at the time of listing. We have determined that we do
not have sufficient data to definitively document nesting behavior
within the other 23 subunits at the time of listing. However, even if
these 23 subunits were considered unoccupied, the Secretary has
determined that they are essential for the conservation of the species,
as they contribute to the maintenance or increase of suitable nesting
habitat required to achieve the conservation and recovery of the
marbled murrelet; therefore, we conclude that they meet the definition
of critical habitat under section 3(5)(A)(ii) of the Act.
In addition, recognizing that the detection of nesting behaviors or
the presence of essential physical or biological features or PCEs
within a subunit may be evaluated on multiple scales, such that at some
finer scales some subset of the subunit may be considered unoccupied or
lacking in PCEs, we evaluated the designation in its entirety as if it
were unoccupied under section 3(5)(A)(ii) of the Act, and found that
all areas of critical habitat are essential for the conservation of the
species. We have here clarified that we have evaluated all critical
habitat for the marbled murrelet, and have concluded that in all cases
the areas designated as critical habitat for the marbled murrelet meet
the definition of critical habitat under section 3(5)(A) of the Act. In
addition, as required by section 4(b)(2) of the Act, we have considered
the
[[Page 51521]]
potential economic impact of this clarification, and we have concluded
that any potential economic effects resulting from this rulemaking are
negligible.
Therefore, we conclude that, under the Act, critical habitat as
currently designated for the marbled murrelet in the Code of Federal
Regulations remains valid, and we seek public input on this
determination.
Public Hearings
Section 4(b)(5) of the Act provides for one or more public hearings
on this proposal, if requested. Requests must be received within 45
days after the date of publication of this proposed rule in the Federal
Register. Such requests must be sent to the address shown in the
ADDRESSES section. We will schedule public hearings on this proposal,
if any are requested, and announce the dates, times, and places of
those hearings, as well as how to obtain reasonable accommodations, in
the Federal Register and local newspapers at least 15 days before the
hearing.
Required Determinations
Regulatory Planning and Review (Executive Orders 12866 and 13563)
Executive Order 12866 provides that the Office of Information and
Regulatory Affairs (OIRA) will review all significant rules. The Office
of Information and Regulatory Affairs has determined that this rule is
not significant.
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 executive order 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. 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 Regulatory Flexibility Act (RFA; 5 U.S.C. 601 et seq.),
as amended by the Small Business Regulatory Enforcement Fairness Act of
1996 (SBREFA; 5 U.S.C. 801 et seq.), whenever an agency is required to
publish a notice of rulemaking for any proposed or final rule, it must
prepare and make available for public comment a regulatory flexibility
analysis that describes the effects of the rule on small entities
(i.e., small businesses, small organizations, and small government
jurisdictions). However, no regulatory flexibility analysis is required
if the head of the agency certifies the rule will not have a
significant economic impact on a substantial number of small entities.
The SBREFA amended the RFA to require Federal agencies to provide a
certification statement of the factual basis for certifying that the
rule will not have a significant economic impact on a substantial
number of small entities.
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; and small businesses (13 CFR 121.201). 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 to these small entities are significant, we considered the
types of activities that might trigger regulatory impacts under this
designation as well as 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.
The Service's current understanding of the requirements under the
RFA, as amended, and following recent court decisions, is that Federal
agencies are only required to evaluate the potential incremental
impacts of rulemaking on those entities directly regulated by the
rulemaking itself, and therefore, not required to evaluate the
potential impacts to indirectly regulated entities. The regulatory
mechanism through which critical habitat protections are realized is
section 7 of the Act, which requires Federal agencies, in consultation
with the Service, to ensure that any action authorized, funded, or
carried out by the Agency is not likely to destroy or adversely modify
critical habitat. Therefore, under section 7, only Federal action
agencies are directly subject to the specific regulatory requirement
(avoiding destruction and adverse modification) imposed by critical
habitat designation. Consequently, it is our position that only Federal
action agencies will be directly regulated by this designation.
Moreover, Federal agencies are not small entities. Therefore, because
no small entities are directly regulated by this rulemaking, the
Service certifies that, if promulgated, this determination of critical
habitat will not have a significant economic impact on a substantial
number of small entities.
In summary, we have considered whether this proposed rule would
result in a significant economic impact on a substantial number of
small entities. For the above reasons and based on currently available
information, we certify that, if promulgated, the proposed
determination of critical habitat would not have a significant economic
impact on a substantial number of small business entities. Therefore,
an initial regulatory flexibility analysis is not required.
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 action. In our consideration of potential economic impacts, we
did not find that this rule clarification will significantly affect
energy supplies, distribution, or use. This proposed rule only
clarifies how the designated critical habitat meets the definition of
critical habitat under the Act, and does not propose any changes to the
boundaries of the current critical habitat. 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
[[Page 51522]]
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 because this proposed rule only clarifies how
the designated critical habitat meets the definition of critical
habitat under the Act, and does not propose any changes to the
boundaries of the current critical habitat, therefore, landownership
within critical habitat does not change. Therefore, a Small Government
Agency Plan is not required.
Takings--Executive Order 12630
In accordance with Executive Order 12630 (``Government Actions and
Interference with Constitutionally Protected Private Property
Rights''), we analyzed the potential takings implications of this
proposed determination of critical habitat for the marbled murrelet.
This proposed rule clarifies whether and how the designated critical
habitat meets the definition of critical habitat under the Act, and
does not propose any changes to the boundaries of the current critical
habitat, therefore, landownership within critical habitat does not
change. Thus, we conclude that this proposed rule does not pose
additional takings implications for lands within or affected by the
original 1996 designation. Critical habitat designation does not affect
landowner actions that do not require Federal funding or permits, nor
does it preclude development of habitat conservation programs or
issuance of incidental take permits to permit actions that do require
Federal funding or permits to go forward. Therefore, based on the best
available information, as described above, we conclude that this
proposed determination of critical habitat for the marbled murrelet
does not pose significant takings implications.
Federalism--Executive Order 13132
In accordance with E.O. 13132 (Federalism), this proposed rule does
not have significant Federalism effects. A Federalism assessment is not
required. From a Federalism perspective, the designation of critical
habitat directly affects only the responsibilities of Federal agencies.
The Act imposes no other duties with respect to critical habitat,
either for States and local governments, or for anyone else. As a
result, the rule does not have substantial direct effects either on the
States, or on the relationship between the national government and the
States, or on the distribution of powers and responsibilities among the
various levels of government. The designation may have some benefit to
these governments because the areas that contain the features essential
to the conservation of the species are more clearly defined, and the
physical and biological features of the habitat necessary to the
conservation of the species are specifically identified. This
information does not alter where and what federally sponsored
activities may occur. However, it may assist these local governments in
long-range planning (because these local governments no longer have to
wait for case-by-case section 7 consultations to occur).
Where State and local governments require approval or authorization
from a Federal agency for actions that may affect critical habitat,
consultation under section 7(a)(2) would be required. While non-Federal
entities that receive Federal funding, assistance, or permits, or that
otherwise require approval or authorization from a Federal agency for
an action, may be indirectly impacted by the designation of critical
habitat, the legally binding duty to avoid destruction or adverse
modification of critical habitat rests squarely on the Federal agency.
Civil Justice Reform--Executive Order 12988
In accordance with Executive Order 12988 (Civil Justice Reform),
the Office of the Solicitor has determined that the rule does not
unduly burden the judicial system and that it meets the requirements of
sections 3(a) and 3(b)(2) of the Order. In our proposal, we have
reconsidered designated critical habitat for the marbled murrelet for
the purpose of assessing whether all of the areas meet the statutory
definition of critical habitat in accordance with the provisions of the
Act. To assist the public in understanding the habitat needs of the
species, the proposed rule identifies the elements of physical or
biological features essential to the conservation of the marbled
murrelet.
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 (NEPA; 42 U.S.C. 4321 et seq.) in connection with designating
critical habitat under the Act. We published a notice outlining our
reasons
[[Page 51523]]
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), Executive Order 13175 (Consultation and
Coordination With Indian Tribal Governments), and the Department of the
Interior's manual at 512 DM 2, we readily acknowledge our
responsibility to communicate meaningfully with recognized Federal
Tribes on a government-to-government basis. In accordance with
Secretarial Order 3206 of June 5, 1997 (American Indian Tribal Rights,
Federal-Tribal Trust Responsibilities, and the Endangered Species Act),
we readily acknowledge our responsibilities to work directly with
tribes in developing programs for healthy ecosystems, to acknowledge
that tribal lands are not subject to the same controls as Federal
public lands, to remain sensitive to Indian culture, and to make
information available to tribes.
There are no tribal lands designated as critical habitat for the
marbled murrelet.
Clarity of the Rule
We are required by Executive Orders 12866 and 12988 and by the
Presidential Memorandum of June 1, 1998, to write all rules in plain
language. This means that each rule we publish must:
(1) Be logically organized;
(2) Use the active voice to address readers directly;
(3) Use clear language rather than jargon;
(4) Be divided into short sections and sentences; and
(5) Use lists and tables wherever possible.
If you feel that we have not met these requirements, send us
comments by one of the methods listed in ADDRESSES. To better help us
revise the rule, your comments should be as specific as possible. For
example, you should tell us the numbers of the sections or paragraphs
that are unclearly written, which sections or sentences are too long,
the sections where you feel lists or tables would be useful, etc.
References Cited
A complete list of all references cited in this rule is available
on the Internet at https://www.regulations.gov. In addition, a complete
list of all references cited herein, as well as others, is available
upon request from the Washington Fish and Wildlife Office (see
ADDRESSES).
Authors
The primary authors of this document are the staff members of the
Washington Fish and Wildlife Office, U.S. Fish and Wildlife Service
(see ADDRESSES).
Authority
The authority for this action is the Endangered Species Act of
1977, as amended (16 U.S.C. 1531 et seq.).
Dated: July 29, 2015.
Michael J. Bean,
Principal Deputy Assistant Secretary for Fish and Wildlife and Parks.
[FR Doc. 2015-20837 Filed 8-24-15; 8:45 am]
BILLING CODE 4310-55-P