Endangered and Threatened Wildlife and Plants; Removing Deseret Milkvetch (Astragalus desereticus) From the Federal List of Endangered and Threatened Plants, 52775-52786 [2018-22718]
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Federal Register / Vol. 83, No. 202 / Thursday, October 18, 2018 / Rules and Regulations
EPA-APPROVED REGULATIONS IN THE WEST VIRGINIA SIP—Continued
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45 CSR]
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Section 45–14–25 ...
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[FR Doc. 2018–22653 Filed 10–17–18; 8:45 am]
BILLING CODE 6560–50–P
DEPARTMENT OF THE INTERIOR
Fish and Wildlife Service
50 CFR Part 17
[Docket No. FWS–R6–ES–2016–0013;
FXES11130900000C6–189–FF09E42000]
RIN 1018–BB41
Endangered and Threatened Wildlife
and Plants; Removing Deseret
Milkvetch (Astragalus desereticus)
From the Federal List of Endangered
and Threatened Plants
Fish and Wildlife Service,
Interior.
ACTION: Final rule; document
availability.
AGENCY:
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our Utah Ecological Services Field
Office (see FOR FURTHER INFORMATION
CONTACT, below). The post-delisting
monitoring plan for Deseret milkvetch is
available on our Endangered Species
Program’s national website (https://
endangered.fws.gov) and the internet at
https://www.regulations.gov under
Docket No. FWS–R6–ES–2016–0013.
FOR FURTHER INFORMATION CONTACT:
Larry Crist, Field Supervisor, telephone:
801–975–3330. Direct all questions or
requests for additional information to:
DESERET MILKVETCH QUESTIONS,
U.S. Fish and Wildlife Service; Utah
Ecological Services Field Office; 2369
Orton Circle, Suite 50; West Valley City,
UT 84119. If you use a
telecommunications device for the deaf
(TDD), you may call the Federal Relay
Service at 800–877–8339.
SUPPLEMENTARY INFORMATION:
On October 2, 2017, we published a
proposed rule to remove Deseret
milkvetch from the List of Endangered
and Threatened Plants (i.e., to ‘‘delist’’
the species) (82 FR 45779). Please refer
to that proposed rule for a detailed
description of the Federal actions
concerning this species that occurred
prior to October 2, 2017.
Species Description and Habitat
Information
Deseret milkvetch was first collected
in 1893, again in 1909, then not located
again until 1981 (Barnaby 1989, p. 126;
Franklin 1990, p. 2). The gap in
collections may be due to confusion
regarding initial records, which were
wrongly attributed to Sanpete County,
Utah (Franklin 1990, p. 2). The 1964
description and classification of Deseret
milkvetch by Barneby is the accepted
taxonomic status (Barneby 1989, p. 126;
ITIS 2015).
Deseret milkvetch is a perennial,
herbaceous plant in the legume family
with silvery-gray pubescent leaves that
are 2 to 5 inches (4 to 12 centimeters)
long and flower petals that are white to
pinkish with lilac-colored tips (Barneby
1989, p. 126). The flower structure
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Additional explanation/
citation at 40 CFR 52.2565
08/11/2016, 81 FR
53008.
08/11/2016,81 FR
53008.
Previous Federal Actions
We, the U.S. Fish and
Wildlife Service (Service), are removing
Deseret milkvetch (Astragalus
desereticus) from the Federal List of
Endangered and Threatened Plants due
to recovery. Based on the best available
scientific and commercial data, threats
to Deseret milkvetch identified at the
time of listing are not as significant as
originally anticipated and are being
adequately managed, the species’
population is much greater than was
known at the time of listing, and threats
to this species have been sufficiently
minimized such that it no longer meets
the definition of an endangered species
or threatened species under the
Endangered Species Act of 1973, as
amended (Act).
DATES: This final rule is effective
November 19, 2018.
ADDRESSES: Comments, materials
received and supporting documentation
used in the preparation of this final rule
are available on the internet at https://
www.regulations.gov under Docket No.
FWS–R6–ES–2016–0013. Additionally,
comments, materials received, and
supporting documentation are available
for public inspection by appointment at
SUMMARY:
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indicates an adaptation to pollination
primarily by large bees, likely
bumblebees (Bombus spp.), which are
generalist pollinators (Stone 1992, p. 4).
The species appears to be tolerant of
drought (Stone 1992, p. 3). A more
detailed description of the biology and
life history of Deseret milkvetch can be
found in our 5-year review of the
species (U.S. Fish and Wildlife Service
2011, pp. 5–7).
Deseret milkvetch is endemic to Utah
County in central Utah, with the only
known population near the town of
Birdseye (Stone 1992, p. 2). It occurs
exclusively on sandy-gravelly soils
weathered from the Moroni geological
formation, which are limited to an area
of approximately 100 square miles (mi2)
(259 square kilometers (km2)) (Franklin
1990, p. 4; Stone 1992, p. 3). The
species is known to occur at elevations
of 5,400 to 5,700 feet (ft) (1,646 to 1,737
meters (m)) (Stone 1992, p. 2; Anderson
2016, pers. comm.; Fitts 2016, pers.
comm.). Based upon the species’ narrow
habitat requirements, it has likely
always been rare, with little unoccupied
suitable habitat (Franklin 1990, p. 6;
Stone 1992, p. 6).
Deseret milkvetch is found on steep
south- and west-facing slopes with
scattered Colorado pinyon pine (Pinus
edulis) and Utah juniper (Juniperus
osteosperma) (Franklin 1990, p. 2). It
also grows on west-facing road-cuts
where plants are typically larger than
those found in undisturbed habitat
(Franklin 1990, p. 2). The species’
habitat is sparsely vegetated (SWCA
Environmental Consultants 2015, p. 7).
The species is an associate of the
pinyon-juniper plant community. It is
not shade-tolerant but is found in open
areas between trees (Goodrich et al.
1999, p. 265).
Deseret milkvetch is probably a
relatively new species on the scale of
geologic time. The species’ genus has
the ability to colonize disturbed or
unstable habitats in dry climates. This
ability has likely hastened the evolution
of the genus and given rise to many
species of Astragalus that are sharply
differentiated and individually
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geographically restricted (Stone 1992, p.
6). Deseret milkvetch tolerates at least
some degree of disturbance, such as that
caused by road maintenance activities
(Franklin 1990, p. 2; Fitts and Fitts
2009, p. 5).
Species Abundance, Distribution, and
Trends
In 1990, surveys for Deseret milkvetch
estimated fewer than 5,000 plants in a
single population (Franklin 1990, p. 3).
A subsequent survey at the same site in
1992 estimated more than 10,000 plants,
indicating that a large seed bank likely
exists (Stone 1992, p. 7). Consequently,
at the time of listing, we estimated a
total population of 5,000 to 10,000
plants (64 FR 56590, October 20, 1999).
In 2008, the Utah Natural Heritage
Program surveyed suitable habitats and
provided a total population estimate for
the species (Fitts 2008, p. 1). The
surveyors found new plant sites
(hereafter referred to as a colony) to the
north and west of the previously known
population. The total population
estimate was 152,229 plants––including
seedlings, juveniles, and adults (Fitts
and Fitts 2009, p. 4), well above the
number of plants known to occur in
1990. If only adults were counted in the
2008 survey, the population estimate
was 86,775 to 98,818 plants (U.S. Fish
and Wildlife Service 2011, p. 10). The
species remains known from a single
population, with multiple colonies.
In 2009, surveys were expanded, and
the updated total population estimate
was 197,277 to 211,915 juvenile and
adult plants (Fitts and Fitts 2010, p. 6);
however, the survey methodology in
this year was not clearly described.
More plants likely occurred on nearby
private land with exposed Moroni
Formation outcrops, but the landowner
did not give permission to survey (Fitts
and Fitts 2010, p. 7). These surveys may
have overestimated the species’
population using the partial census
method due to extrapolation from
earlier hand-drawn colony boundaries;
the small number of transects; and the
inclusion of seedlings, which have a
high rate of mortality (U.S. Fish and
Wildlife Service 2011, p. 10).
In 2016, partial surveys were
conducted showing dense levels of
occupancy in the northmost portion of
the range, in areas that were known to
be occupied but had not been
previously surveyed (Fitts 2018, pers.
comm.). In 2017, surveys of all
accessible habitats were conducted in
accordance with the protocol used in
2008, resulting in a population estimate
of 88,427 (adults and juveniles) in the
population total, with 50,483 on State
lands (UNHP 2018, p. 4–5). Surveys in
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2017 did not include private lands, and
so we estimated the total population by
applying known densities of adjacent
State lands to the private land acreages
(UNHP 2018, entire).
The 2017 population estimates
represent a reduction in population
from the surveys conducted in 2008 and
2009 but are still well above the number
of plants known in 1990. We believe the
reduction in numbers from 2009 to 2017
is consistent with what we know about
the species’ response to drought
conditions. In 2015 and 2016, the
habitat experienced moderate to severe
drought conditions (National Drought
Resilience Partnership 2018, entire). In
late 2016 and early 2017, the habitat
received above-average precipitation
levels, and the lower overall population
coupled with the increased proportion
of juvenile plants recorded in spring of
2017 would be consistent with a
response to two seasons of drought
followed by increased precipitation in
the preceding fall causing a germination
event. The proportion of juvenile plants
increased from 15 percent in 2008 to 44
percent in 2017 (USFWS 2011, p. 10;
UNHP 2018, p. 4). We believe this
represents a natural response cycle to
annual precipitation patterns and not a
declining trend caused by
anthropogenic stressors. Additionally,
the consistent presence of seedlings and
juveniles in the 2008, 2009, 2016, and
2017 surveys indicates that recruitment
occurs regularly and a robust seedbank
exists. Although 2018 survey results are
not yet available, we expect they will be
reflective of the low precipitation level
in 2018.
At the time of listing, we estimated
the occupied habitat of Deseret
milkvetch to include approximately 300
acres (ac) (122 hectares (ha)) in an area
1.6 miles (mi) (2.6 kilometers (km)) by
0.3 mi (0.5 km) (64 FR 56590; October
20, 1999). The most recent occupied
habitat estimate is approximately 345 ac
(140 ha) in an area 2.8 mi (4.5 km) by
0.3 mi (0.5 km) (Fitts and Fitts 2010, p.
6; SWCA Environmental Consultants
2015, p. 2). The species remains known
from one population (Birdseye) of
scattered colonies on the Moroni
formation soils near Birdseye, Utah
(U.S. Fish and Wildlife Service 2011,
p. 8).
In summary, periodic surveys of
Deseret milkvetch were completed from
1990 through 2017. The available
information indicates a substantial
population increase since 1990 when
the first surveys were conducted (from
an estimated 5,000–10,000 plants in
1999 to an estimated 88,000 plants in
2017). Population and demographic
fluctuations between 2008 and 2017 are
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likely a natural part of this species’
lifecycle that is related to precipitation.
While the exact distribution of colonies
has shifted over time, there has been no
overall reduction in the area occupied
since the time of listing and additional
colonies have been located (UNHP 2018,
p. 3). Therefore, we conclude that the
population has been stable to increasing
overall since the time of listing.
Land Ownership
An estimated 230 ac (93 ha; 67
percent) of the 345 ac (140 ha) of total
occupied habitat for Deseret milkvetch
are in the Birdseye Unit of the
Northwest Manti Wildlife Management
Area (WMA) owned by the Utah
Division of Wildlife Resources (UDWR).
Of the remaining habitat, 25 ac (10 ha;
7 percent) are owned by the Utah
Department of Transportation (UDOT)
and 90 ac (36 ha; 26 percent) are
privately owned (UDWR et al. 2006, p.
4). The Utah School and Institutional
Trust Lands Administration (SITLA)
owns most of the mineral rights in the
species’ habitat (UDWR et al. 2006, p.
7). No populations of Deseret milkvetch
are known to occur on Federal lands
(Franklin 1990, pp. 3–4; Anderson 2016,
pers. comm.).
Conservation Efforts
A recovery plan for Deseret milkvetch
was not prepared; therefore, specific
delisting criteria were not developed for
the species. However, in 2005, we
invited agencies with management or
ownership authorities within the
species’ habitat to serve on a team to
develop an interagency conservation
agreement for Deseret milkvetch
intended to facilitate a coordinated
conservation effort between the agencies
(UDWR et al. 2006, entire). The
Conservation Agreement for Astragalus
desereticus (Deseret milkvetch)
(Conservation Agreement) was signed
and approved by UDWR, UDOT, SITLA,
and the Service in 2006, with a duration
of 30 years. The Conservation
Agreement provides guidance to
stakeholders to address threats and
establish goals to ensure the long-term
survival of the species (UDWR et al.
2006, p. 7). Conservation actions
identified in the Conservation
Agreement (in italics), their current
status, and efforts to accomplish these
actions are described below.
• Maintain species’ habitat within the
WMA in its natural state, restricting
habitat disturbance: This action is
successful and ongoing. UDWR acquired
the Birdseye Unit of the Northwest
Manti WMA in 1967. Prior to this
acquisition, livestock grazing occurred
for more than 50 years on the property
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(UDWR et al. 2006, p. 6). Since the
acquisition, livestock grazing has been
used only on a limited basis as a
management tool by UDWR. However,
habitat occupied by Deseret milkvetch is
not suitable for grazing, and impacts to
the species from grazing have been
negligible (UDWR et al. 2006, p. 7). This
habitat has not been grazed by livestock
since 2002 (U.S. Fish and Wildlife 2011,
p. 17). Future grazing within the
occupied habitat is unlikely due to the
steep terrain (Howard 2016, pers.
comm.).
A draft wildlife management plan
completed by UDWR proposes closing
some unauthorized, unpaved roads
within the WMA, which likely would
further benefit the species by reducing
habitat fragmentation and reducing
future human access to the population
(Howard 2018, pers. comm.). We
anticipate that the plan will be finalized
within the next year (Howard 2018,
pers. comm.). Because this plan is
currently only in draft, we do not rely
on it in this final rule to delist the
species. However, it provides an
indication of future management
intentions of UDWR to the continuing
benefit of the species from the ongoing
management of the WMA.
Removal of juniper in the WMA to
improve habitat may occur, but areas
occupied by Deseret milkvetch will be
avoided to prevent plant damage and
mortality associated with this type of
surface-disturbing activity (Howard
2018, pers. comm.). The steep terrain
associated with Deseret milkvetch
makes grazing, juniper removal, and
livestock grazing in the species’
occupied habitat unlikely.
• Retain species’ habitat within the
WMA under the management of UDWR:
This action is successful and ongoing.
The UDWR continues to manage the
species’ habitat within the WMA in its
natural state with minimal disturbance,
as stipulated in the Conservation
Agreement (Howard 2016, pers. comm.).
• Evaluate the feasibility of acquiring
conservation easements or fee title
purchases on small private land parcels
between U.S. Highway 89 and the
existing WMA as resources, and willing
sellers become available: No easements
or property have been acquired, and we
do not rely on this conservation action
in this final rule to delist the species.
However, UDWR has a Statewide
initiative to acquire additional lands, so
that future acquisition may be possible
(Howard 2016, pers. comm.).
• Avoid using herbicides in the
species’ habitat managed by UDOT:
This action is successful and ongoing.
The UDOT does not use herbicides in
Deseret milkvetch habitat within
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highway rights-of-way, and has
committed to continuing this action as
stipulated in the Conservation
Agreement (Kisen 2016, pers. comm.).
• Avoid disturbing plants during
highway maintenance and construction
carried out by UDOT: This action is
successful and ongoing. The UDOT has
not disturbed the species during
highway maintenance and construction,
and no highway widening projects are
anticipated through at least 2040, which
is as far as their planning extends (Kisen
2016, pers. comm.).
• Monitor populations on an annual
basis as needed: This action is
successful and ongoing. Surveys were
conducted in May of 2016, 2017, and
2018 by Utah Natural Heritage Program
personnel.
• Continue discussions between the
UDWR and Service on the development
and review of management plans and
habitat restoration that may affect
species’ habitat on the WMA: This
action is successful and ongoing. The
Service’s Utah Ecological Services Field
Office is actively engaged with UDWR
in the development and review of
actions that may affect the species. The
UDWR and Service meet periodically to
implement protections identified in the
Conservation Agreement.
In summary, most of the conservation
actions described in the Conservation
Agreement have been successfully
implemented and are part of an ongoing
management strategy for conserving
Deseret milkvetch. Potential threats
from residential development, livestock
grazing, and highway maintenance and
widening are addressed by conservation
actions on the approximately 74 percent
of the species’ occupied habitat that is
owned and managed by either UDWR or
UDOT. The Conservation Agreement
will continue to be implemented
through at least 2036.
As described above, we have new
information on Deseret milkvetch since
our listing decision, and the species’
status has improved. This improvement
is likely due to expanded surveys, as
well as the amelioration of threats and
an improved understanding of the
stressors affecting the species (see
Summary of Factors Affecting the
Species, below). In addition to the
conservation actions identified in the
Conservation Agreement, new
opportunities for conservation of the
species may be implemented in the
future. For example, a new power line
proposed near the species’ habitat will
use the same corridor as an existing
transmission line (see Factor A
discussion, below). However, this future
action is not a factor in our delisting
determination.
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Survey results from 2017 (the most
recent population estimates available)
estimated that the total population was
88,427 juvenile and adult plants
occurring on approximately 345 ac (140
ha) of habitat, which is a significant
increase when compared to estimates of
5,000 to 10,000 plants occurring on
approximately 300 ac (122 ha) at the
time of listing. The majority of Deseret
milkvetch occupied habitat (74 percent)
is managed by UDWR and UDOT, and
we have no information that indicates
the species faces significant threats on
private lands. All of the conservation
actions for UDWR- and UDOT-managed
habitat have been successfully
implemented, with the exception of
acquiring conservation easements.
These measures have been effective in
preventing impacts to the species and
its habitat on State-managed lands.
Additionally, as described below,
threats identified at the time of listing
in 1999 are not as significant as
originally anticipated (U.S. Fish and
Wildlife Service 2011, p. 21).
Summary of Changes From the
Proposed Rule
We have made updates to our
discussions of the species’ population
status (including 2017 information) and
factors affecting the species, based on
comments submitted by the public and
information provided by peer reviewers.
In addition, we now refer to the species
primarily by its common name, rather
than its scientific name, throughout this
rule.
Summary of Factors Affecting the
Species
Section 4 of the Act (16 U.S.C. 1531
et seq.) and its implementing
regulations (50 CFR part 424) set forth
the procedures for listing species,
reclassifying species, or removing
species from listed status. ‘‘Species’’ is
defined by the Act as including any
species or subspecies of fish or wildlife
or plants, and any distinct vertebrate
population segment of fish or wildlife
that interbreeds when mature (16 U.S.C.
1532(16)). A species is an ‘‘endangered
species’’ for purposes of the Act if it is
in danger of extinction throughout all or
a significant portion of its range and is
a ‘‘threatened species’’ if it is likely to
become endangered within the
foreseeable future throughout all or a
significant portion of its range. We
consider ‘‘foreseeable future’’ as that
period of time within which a reliable
prediction can be reasonably relied
upon in making a determination about
the future conservation status of a
species, as described in the Solicitor’s
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opinion dated January 16, 2009 (M–
37021).
A species may be determined to be an
endangered or threatened species
because of one or more of the five
factors described in section 4(a)(1) of the
Act: (A) The present or threatened
destruction, modification, or
curtailment of its habitat or range; (B)
overutilization for commercial,
recreational, scientific, or educational
purposes; (C) disease or predation; (D)
the inadequacy of existing regulatory
mechanisms; or (E) other natural or
manmade factors affecting its continued
existence. We must consider these same
five factors in delisting a species.
For species that are already listed as
endangered or threatened and being
considered for delisting, the five-factor
analysis is an evaluation of the threats
currently facing the species and the
threats that are reasonably likely to
affect the species in the foreseeable
future following the removal of the Act’s
protections. We may delist a species
according to 50 CFR 424.11(d) if the best
available scientific and commercial data
indicate that the species is neither
endangered nor threatened for the
following reasons: (1) The species is
extinct; (2) the species has recovered
and is no longer endangered or
threatened; and/or (3) the original
scientific data used at the time the
species was classified were in error. A
recovered species has had threats
removed or reduced to the point that it
no longer meets the Act’s definitions of
endangered or threatened.
Deseret milkvetch is listed as a
threatened species. For the purposes of
this analysis, we will evaluate whether
or not the currently listed species,
Deseret milkvetch, should continue to
be listed as a threatened species, based
on the best scientific and commercial
information available.
We consider 20 years to be a
reasonably foreseeable future within
which reliable predictions can be made
for Deseret milkvetch. This time period
includes multiple generations of the
species, coincides with the duration of
the Conservation Agreement, and falls
within the planning period used by
UDOT. We consider 20 years a
conservative timeframe in view of the
much longer-term protections in place
for 67 percent of the species’ occupied
habitat that occurs within the UDWR
WMA.
In considering what factors might
constitute threats, we must look beyond
the exposure of the species to a
particular factor to evaluate whether the
species may respond to the factor in a
way that causes actual impacts to the
species. If there is exposure to a factor
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and the species responds negatively, the
factor may be a threat, and during the
five-factor threats analysis, we will
attempt to determine the significance of
the threat. The threat is significant if it
drives or contributes to the risk of
extinction of the species such that the
species warrants listing as endangered
or threatened as those terms are defined
by the Act. However, the identification
of factors that could affect a species
negatively may not be sufficient to
justify a finding that the species
warrants listing or should remain listed.
The information must include evidence
sufficient to suggest that the potential
threat is likely to materialize and that it
has the capacity (sufficient magnitude
and extent) to affect the species’ status
such that it meets the definition of
endangered or threatened under the Act.
This determination does not necessarily
require empirical proof of a threat. The
combination of exposure and some
corroborating evidence of how the
species is likely impacted could suffice.
The following analysis examines the
factors currently affecting Deseret
milkvetch, or that are likely to affect it
within the foreseeable future.
A. The Present or Threatened
Destruction, Modification, or
Curtailment of Its Habitat or Range
Deseret milkvetch is found in three
different land use zones, as categorized
by Utah County Land Use Ordinance
(Jorgensen 2016b, pers. comm.; Utah
County 2016, chapter 5). Approximately
74.6 percent of the species’ habitat
occurs in Critical Environment Zone 1,
which has the primary purpose of
supporting water resources for culinary
use, irrigation, recreation, natural
vegetation, and wildlife. Approximately
16.7 percent occurs in Residential
Agricultural Zone 5, which has the
primary purpose of preserving
agricultural lands. The remaining 8.6
percent occurs in Critical Environment
Zone 2, which has the primary purpose
of preserving fragile environmental uses
(Jorgensen 2016b, pers. comm.). These
zones do not strictly regulate
management or land use and, therefore,
are not discussed under Factor D,
below; however, the Utah County Land
Use Ordinance prioritizes uses and
provides management guidance for all
lands in Utah County, unless
specifically exempted (Utah County
2016, chapter 5). All of the conservation
actions in place for the species meet the
guidelines under their respective land
use zone, and we are not aware of any
occupied habitat specifically exempted
from the guidance described for the
aforementioned land use zones.
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The following potential stressors were
identified for this species at the time of
listing: (1) Residential development, (2)
highway maintenance and widening,
and (3) livestock grazing and trampling.
For this final rule, we also considered:
(4) Mineral development, (5)
transmission lines, and (6) climate
change. Each of these stressors is
assessed below.
Residential Development
In our October 20, 1999, final listing
rule (64 FR 56590), substantial human
population growth and urban expansion
were predicted in the Provo, Spanish
Fork, and Weber River drainages east of
the Wasatch Mountains. In that rule,
increased residential development was
considered a threat to the species due to
the potential for loss of plants and
habitat that results from the
construction of roads, buildings, and
associated infrastructure (e.g., utilities).
However, counter to the predictions of
the Quality Growth Efficiency Tools
Technical Committee cited in that final
listing rule, residential development in
these areas has been very limited. The
nearest community, Birdseye, is
unincorporated and has not been
included in recent U.S. Census Bureau
surveys; therefore, no recent population
estimates are available. We are aware of
only one house, and a barn that was
recently built adjacent to Deseret
milkvetch occupied habitat (Fitts 2016,
pers. comm.). We are aware of only
three proposed development properties
in this area. One property has the
potential for 95 lots and is 2.8 mi (4.5
km) from the known occupied habitat of
Deseret milkvetch. The other two
developments would be single dwelling
properties approximately four mi (6 km)
and five mi (8 km) from known
occupied habitat (Larsen 2016, pers.
comm.; Jorgensen 2016a, pers. comm.).
These three proposed developments are
located near Thistle Creek, upstream
from Deseret milkvetch habitat
(Jorgensen 2016a, pers. comm.).
However, the species’ habitat occurs on
steep upland slopes that are not
vulnerable to potential habitat impacts
from upstream areas. Residential
development at this scale and distance
from Deseret milkvetch population is
not likely to impact the species or its
habitat now or within the foreseeable
future.
The majority of Deseret milkvetch
habitat occurs on steep, rocky, erosive
slopes that are not favorable for
development; consequently, we do not
anticipate any future residential
development in the species’ occupied
habitat (Fitts 2016, pers. comm.).
Additionally, as previously described,
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approximately 230 ac (93 ha)—67
percent of total habitat for the species—
are in a WMA owned by the UDWR that
is protected from residential
development, as discussed under Factor
D, below.
We conclude, based on the available
information, that residential
development is not a threat to Deseret
milkvetch due to: (1) The minimal
disturbance from residential
development that has occurred on the
species’ habitat to date and the minimal
amount of disturbance anticipated in
the future; (2) the steep, rocky, erosive
nature of the species’ habitat, which
precludes most development; and (3)
the amount of habitat (67 percent) that
is protected from residential
development.
Highway Widening and Maintenance
In our October 20, 1999, final listing
rule (64 FR 56590), potential widening
of Highway 89 was considered a threat
to plants growing in the highway rightof-way. Highway 89 widening would
likely result in the loss of Deseret
milkvetch plants and habitat that are
directly adjacent to Highway 89. Regular
highway maintenance activities include
herbicide use to control weeds and
could also result in the loss of plants
and habitat within the right-of-way. The
species appears to tolerate some levels
of disturbance related to road
maintenance because it recolonizes
areas that have been disturbed by
tracked vehicles, road grading
equipment, and road cuts (Franklin
1990, p. 2; Fitts and Fitts 2009, p. 5;
SWCA 2015, p. 7).
Widening of Highway 89 has not
occurred and is not anticipated by
UDOT through at least 2040, which is as
far as planning extends (Kisen 2016,
pers. comm.). The nearest highway
development project is a modification of
the intersection of Highway 89 and
Highway 6 (Kisen 2016, pers. comm.).
This project is approximately seven mi
(11 km) north of Birdseye and four mi
(6 km) north of the nearest occurrence
of the species. Therefore, we do not
anticipate any direct or indirect impacts
to the species. No other highway
projects are currently planned within 20
mi (32 km) of Birdseye (Kisen 2016,
pers. comm.).
Road maintenance on Highway 89 is
ongoing. However, as committed to in
the Conservation Agreement, UDOT
avoids herbicide use and other
disturbance in the species’ habitat
(Lewinsohn 2016, pers. comm.; UDWR
et al. 2006, p. 9). In instances where
herbicides must be used, UDOT will not
apply it by an aerial application within
500 ft (152.5 m) of occupied habitat and
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will maintain a 100-ft (30-m) buffer for
hand application around individual
plants (UDWR et al. 2006, p. 9).
In summary, highway widening is not
anticipated within the vicinity of
occupied Deseret milkvetch habitat. We
are not aware of planned road-widening
construction projects in or near the
species’ habitat, and UDOT has
committed to avoiding herbicide use
and other disturbance in occupied
Deseret milkvetch habitat during
maintenance activities (Lewinsohn
2016, pers. comm.; UDWR et al. 2006,
p. 9). Therefore, based on the available
information, we conclude that highway
widening and maintenance are not a
threat to Deseret milkvetch.
Livestock Grazing and Trampling
In our October 20, 1999, final listing
rule (64 FR 56590), livestock grazing
and trampling were considered threats
to the species because of direct
consumption of plants, trampling of
plants and the burrows of grounddwelling pollinators, and increased soil
erosion. In contrast to many species of
Astragalus, this species apparently is
not toxic to livestock, and is palatable
and may be consumed (Stone 1992, p.
6; Tilley et al. 2010, p. 1).
Prior to UDWR acquiring the
Northwest Manti WMA in 1967,
livestock grazing occurred for more than
50 years on habitat occupied by Deseret
milkvetch and may help to explain why
attempts to locate the species were
unsuccessful for decades (UDWR et al.
2006, p. 6). Once UDWR acquired the
land, they chained (removed scrub
growth) and seeded level land upslope
of the species’ habitat to improve
grazing for wild ungulates and livestock.
The last cattle grazing on the Wildlife
Management Unit occurred in 2002
(U.S. Fish and Wildlife 2011, p. 17).
The UDWR does not currently allow
livestock grazing on the Birdseye Unit of
the WMA and does not plan for any
future grazing within the portion of the
WMA that contains Deseret milkvetch
habitat (Howard 2018, pers. comm.).
Avoidance of livestock grazing in the
species’ habitat that is managed by
UDWR is stipulated in the Conservation
Agreement (UDWR et al. 2006, p. 8).
Additionally, the species’ habitat is not
well-suited to grazing due to sparse
forage and steep slopes. Some private
lands where the species occurs allow
livestock grazing; however, when last
visited, there was no evidence of
impacts to the species (U.S. Fish and
Wildlife 2011, p. 17).
In summary, livestock grazing and
trampling were considered a threat to
Deseret milkvetch in our October 20,
1999, final listing rule (64 FR 56590)
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52779
because grazing occurred historically
over much of the species’ habitat and
we were concerned about trampling and
erosion impacts. However, livestock
grazing no longer occurs on the UDWR
WMA, representing 67 percent of the
species’ habitat. Additionally, occupied
Deseret milkvetch habitat on both
private and protected lands is steep and
rocky, with sparse forage for cattle.
Consequently, minimal grazing impacts
have been documented. We conclude,
based on the available information, that
livestock grazing and trampling are not
a threat to Deseret milkvetch.
Mineral Development
Impacts from mineral development
were not considered in our October 20,
1999, final listing rule (64 FR 56590). At
the time the Conservation Agreement
was signed, there was no information
indicating that mineral development
was going to occur in or near occupied
Deseret milkvetch habitat (UDWR et al.
2006, p. 7). SITLA owns the mineral
rights on most of the land occupied by
the species, and the agency has not had
any inquiries regarding mineral
development in the species’ habitat
since the Conservation Agreement was
signed (UDWR et al. 2006, p. 7; Wallace
2017, pers. comm.). In the Conservation
Agreement, which will remain in effect
through 2036, SITLA agreed to alert any
energy and mineral developers to the
presence of occupied habitat and
recommend surface use stipulations that
avoid disturbance and provide
mitigation for unavoidable effects to
plants or their habitat (UDWR et al.
2006, p. 8).
In summary, mineral development
was not considered a threat when
Deseret milkvetch was listed under the
Act. According to the compliance office
of SITLA, there have been no inquiries
regarding mineral development in this
area. It is a severed estate, therefore,
SITLA does not own the mineral rights,
but would manage surface disturbance
associated with mineral development
and the area is flagged in their business
system as being under a conservation
agreement (Wallace 2017, pers. comm.).
Therefore, based on the available
information, we conclude that mineral
development is not a threat to Deseret
milkvetch.
Transmission Lines
Impacts from transmission lines were
not considered in our October 20, 1999,
final listing rule (64 FR 56590). The
Mona to Bonanza high-voltage
transmission line is an existing power
line near Deseret milkvetch habitat
located at the easternmost extent of the
known range of the species (Miller 2016,
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pers. comm.). The TransWest Express
transmission line is a planned power
line that would use the same corridor as
the existing Mona to Bonanza
transmission line (SWCA
Environmental Consultants 2015, p. 1).
TransWest Express developers
estimated that approximately 10.9 ac
(4.4 ha) of potential or occupied habitat
for the species occurs within 300 ft (91
m) of proposed transmission structures,
and approximately 0.25 ac (0.10 ha)
would be directly disturbed (SWCA
Environmental Consultants 2015, p. 17).
However, minimal impacts are expected
to result from the transmission line
installation because dust abatement
measures would be implemented, the
proposed route is located farther away
from Deseret milkvetch populations
than the existing Mona to Bonanza
transmission line, and existing access
roads would be used within the species’
habitat (U.S. Fish and Wildlife Service
2016, pp. 25–31). Consequently, impacts
from the proposed TransWest Express
transmission line are not anticipated to
result in a population-level effect to the
species based upon the localized extent
of impacts and the currently robust
status of the species (see Species
Abundance, Distribution, and Trends,
above). In addition, because the species
can tolerate some levels of disturbance
and plants have recolonized disturbed
areas, any remaining developmentrelated impacts should be minimal (Fitts
and Fitts 2009, p. 5; Franklin 1990,
p. 2).
In summary, Deseret milkvetch
maintains a large, robust population
next to the existing Mona to Bonanza
transmission line, and only a very
minimal amount of habitat (less than
0.25 ac (0.10 ha)) would be disturbed by
the proposed future construction of the
TransWest transmission line. We
conclude, based on the available
information, that transmission lines are
not a threat to Deseret milkvetch.
Effects of Climate Change
Impacts from climate change were not
considered in our October 20, 1999,
final listing rule (64 FR 56590). Our
current analyses for species
classification under the Act include
consideration of ongoing and projected
changes in climate. The terms ‘‘climate’’
and ‘‘climate change’’ are defined by the
Intergovernmental Panel on Climate
Change (IPCC). ‘‘Climate’’ refers to the
mean and variability of different types
of weather conditions over time, with 30
years being a typical period for such
measurements, although shorter or
longer periods also may be used (IPCC
2007, p. 78). The term ‘‘climate change’’
thus refers to a change in the mean or
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variability of one or more measures of
climate (e.g., temperature or
precipitation) that persists for an
extended period, typically decades or
longer, whether the change is due to
natural variability, human activity, or
both (IPCC 2007, p. 78). Various types
of changes in climate can have direct or
indirect effects on species. These effects
may be positive, neutral, or negative,
and they may change over time,
depending on the species and other
relevant considerations, such as the
effects of interactions of climate with
other variables (e.g., habitat
fragmentation) (IPCC 2007, pp. 8–14,
18–19). In our analyses, we use our
expert judgment to weigh relevant
information, including uncertainty, in
our consideration of various aspects of
climate change.
Estimates regarding the risk of future
persistent droughts in the southwestern
United States range from 50 to 90
percent (Ault et al. 2013, p. 7545).
Climate models that predict future
temperatures over three different time
periods in the 21st century for the
southwestern United States show the
greatest warming in summer months
(3.5 to 6.5 degrees Fahrenheit (°F)) (1.9
to 3.6 degrees Celsius (°C)), with a
localized maximum increase in
temperatures in central Utah (Kunkel et
al. 2013, p. 72). Nationwide, Utah ranks
eighth in rate of warming since 1912,
with a 0.233 °F (0.129 °C) increase per
decade; and seventh in rate of warming
since 1970, with a 0.588 °F (0.327 °C)
increase per decade (Tebaldi et al. 2012,
pp. 3, 5).
The Astragalus genus has the ability
to colonize disturbed or unstable
habitats in progressively dry climates
and thus appears to be adapted to
drought (Stone 1992, p. 6). We do not
have a clear understanding of how
Deseret milkvetch responds to
precipitation changes, although the
species has persisted in spite of recent
dry conditions. Generally, plant
numbers decrease during drought years
and recover in subsequent seasons that
are less dry. For example, many plants
of Deseret milkvetch appeared to die-off
in response to the 2012 drought, but
have since repopulated the area from
the seed bank (Fitts 2016, pers. comm.).
Deseret milkvetch and other species in
the bean family typically have persistent
seed banks with at least some
proportion of the seed bank being longlived because the seeds are physically
dormant for long periods of time (Dodge
2009, p. 3; Orscheg and Enright 2011, p.
186; Segura et al. 2014, p. 75). Dormant
seeds have a seed coat that imposes a
physical barrier between water and the
embryo, and this type of dormancy
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provides an ecological advantage by
staggering germination over a long
period of time, protecting the embryo
from microbial attack, and increasing
the longevity of seeds within the soil
(Fulbright 1987, p. 40). Species with
physically dormant seeds typically have
seeds germinating over many years,
which increases the probability of the
species’ persistence in an unpredictable
environment and has been termed a
‘‘bet-hedging strategy’’ (Simons 2009,
pp. 1990–1991; Williams and Elliott
1960, pp. 740–742). This strategy buffers
a population against catastrophic losses
and negative effects from environmental
variation (Tielbo¨rger et al. 2014, p. 4).
Deseret milkvetch can be dormant and
not detectable for some years, but later
detected in the same area given
favorable precipitation conditions (Fitts
2016, pers. comm.). This pattern
provides some evidence the species has
a persistent seed bank and possibly
other life stages that remain dormant
during drought conditions.
Deseret milkvetch appears welladapted to a dry climate and can
quickly colonize after disturbance.
Plants growing in high-stress landscapes
(e.g., poor soils and variable moisture)
are generally adapted to stress and thus
may experience lower mortality during
severe droughts (Gitlin et al. 2006, pp.
1477, 1484). Furthermore, plants and
plant communities of arid and semi-arid
systems may be less vulnerable to the
effects of climate change if future
climate conditions are within the
historic natural climatic variation
experienced by Deseret milkvetch
(Tielbo¨rger et al. 2014, p. 7). The species
likely has experienced multiple periods
of prolonged drought conditions in the
past as documented from reconstructed
pollen records in sagebrush steppe
lands (Mensing et al. 2007, pp. 8–10).
Natural climatic variation in the
Southwest for the last 500 years
included periodic major droughts
(Kunkle et al. 2013, p. 14). Therefore, it
is likely that Deseret milkvetch will be
able to withstand future periods of
prolonged drought.
In summary, climate change is
affecting and will continue to affect
temperature and precipitation events.
We expect that Deseret milkvetch, like
other narrow endemics, could
experience future climate changerelated drought. However, the scope of
any effects is mostly speculative at this
time because current data are not
reliable at the local level. The
information we do have indicates the
species and the genus are adapted to
drought and are able to recolonize
disturbed areas. Therefore, based upon
available information, we conclude that
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climate change is not a threat to Deseret
milkvetch currently or within the
foreseeable future.
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Summary of Factor A
The following stressors warranted
consideration as possible current or
future threats to Deseret milkvetch
under Factor A: (1) Residential
development, (2) highway maintenance
and widening, (3) livestock grazing and
trampling, (4) mineral development, (5)
transmission lines, and (6) climate
change. However, these stressors either
have not occurred to the extent
anticipated at the time of listing or are
being adequately managed, or the
species is tolerant of the stressor as
described below.
• Minimal disturbance from
residential development has occurred
on Deseret milkvetch habitat to date or
is anticipated in the future because of
the steep, rocky, erosive nature of the
species’ habitat. In addition, 67 percent
of the species’ habitat is protected from
residential development due to its
inclusion in a State WMA.
• UDOT anticipates no highway
widening in habitat occupied by Deseret
milkvetch, and herbicide use and other
disturbances are avoided in habitat for
the species.
• The steep, rocky nature of Deseret
milkvetch habitat and sparse forage
availability minimize livestock grazing,
and 67 percent of all of the species’
known habitat is carefully managed by
UDWR to restrict it from grazing.
• The lack of inquiries and severed
estate status of the habitat occupied by
Deseret milkvetch indicate that mineral
development is not a threat.
• The existing transmission line is
not a threat to Deseret milkvetch, and
activity associated with the proposed
transmission line occurring within the
species’ occupied habitat will be
confined to existing access roads.
• Deseret milkvetch and its genus are
likely adapted to drought related to
climate change.
• Deseret milkvetch appears able to
recolonize disturbed areas readily.
Therefore, based on the available
information, we do not consider there to
be any threats related to the present or
threatened destruction, modification, or
curtailment of habitat or range of
Deseret milkvetch.
B. Overutilization for Commercial,
Recreational, Scientific, or Educational
Purposes
Overutilization for any purpose was
not considered a threat in the final rule
to list the species (64 FR 56590; October
20, 1999). The only collections of the
species that we are aware of were for
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scientific purposes. An unknown
number of seeds were collected in 2007,
and approximately 850 seeds were
collected from 45 plants in 2008. In
addition, 1,016 seeds were collected
from 55 plants in 2009, for germination
trials and long-term seed storage at Red
Butte Gardens and Arboretum in Salt
Lake City, Utah, and the National Center
for Genetic Resources Preservation in
Fort Collins, Colorado (Dodge 2009, p.
4). This amount of collection is
insignificant given the current
population estimates for the species,
and overall it is beneficial because it
will improve our understanding of
species propagation and ensure genetic
preservation. We are not aware of any
other utilization of the species.
Therefore, based on the available
information, we do not consider there to
be any threats related to overutilization
for commercial, recreational, scientific,
or educational purposes of Deseret
milkvetch.
C. Disease or Predation
Disease and predation were not
considered threats in the final rule to
list the species (64 FR 56590; October
20, 1999). We are not aware of any
issues or potential stressors regarding
disease or insect predation. As
described in more detail above under
Factor A, grazing—which could be
considered a form of predation—is
limited in the species’ habitat and does
not affect the species throughout its
range or at a population level.
Therefore, based on the available
information, we do not consider there to
be any threats related to disease or
predation of Deseret milkvetch.
D. The Inadequacy of Existing
Regulatory Mechanisms
Section 4(b)(1)(A) of the Act requires
the Service to take into account ‘‘those
efforts, if any, being made by any State
or foreign nation, or any political
subdivision of a State or foreign nation,
to protect such species.’’ In relation to
Factor D under the Act, we interpret this
language to require us to consider
relevant Federal, State, and Tribal laws,
regulations, and other such mechanisms
that may minimize any of the threats we
describe in the threats analyses under
the other four factors or otherwise
enhance conservation of the species. We
give the strongest weight to statutes and
their implementing regulations and to
management direction that stems from
those laws and regulations; an example
would be State governmental actions
enforced under a State statute,
constitution, or regulation or Federal
action under statute or regulation.
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52781
For currently listed species that are
being considered for delisting, we
consider the adequacy of existing
regulatory mechanisms to address
threats to the species absent the
protections of the Act. We examine
whether other regulatory mechanisms
would remain in place if the species
were delisted, and the extent to which
those mechanisms would continue to
help ensure that future threats will be
reduced or minimized.
In our discussion under Factors A, B,
C, and E, we evaluate the significance of
threats as mitigated by any conservation
efforts and existing regulatory
mechanisms. Where threats exist, we
analyze the extent to which
conservation measures and existing
regulatory mechanisms address the
specific threats to the species.
Regulatory mechanisms, if they exist,
may reduce or eliminate the impacts
from one or more identified threats. As
previously discussed, conservation
measures initiated by UDWR, SITLA,
and UDOT under the Conservation
Agreement manage potential threats
caused by residential development,
highway maintenance and widening,
and livestock grazing and trampling, as
well as the more recently identified
proposed transmission line. In addition
to these conservation measures, relevant
Utah State statutes and UDWR
administrative rules that will remain in
effect regardless of Deseret milkvetch’s
status under the Act include:
1. Title 23—Wildlife Resources Code
of Utah, Chapter 21—Lands and Waters
for Wildlife Purposes, Section 5—Stateowned lands authorized for use as
wildlife management areas, fishing
waters and other recreational activities.
This statute authorizes the creation,
operation, maintenance, and
management of wildlife management
areas including the Birdseye Unit of the
Northwest Manti WMA. The Birdseye
Unit contains 67 percent of all known
habitat occupied by Deseret milkvetch.
Consequently, two-thirds of all known
habitat is currently managed and will
continue to be managed as wildlife
habitat regardless of the species’ status
under the Act.
2. Utah Administrative Code, Rule
R657–28—Use of Division Lands. This
administrative rule describes the lawful
uses and activities on UDWR lands
including Birdseye Unit of the
Northwest Manti WMA. These uses
cannot conflict with the intended land
use or be detrimental to wildlife or
wildlife habitat. This administrative
rule provides further support to
beneficial management on the 67
percent of occupied habitat managed by
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UDWR, regardless of the species’ status
under the Act.
We are not aware of any habitat
occupied by Deseret milkvetch on
Federal lands. We anticipate that the
conservation measures initiated by
UDWR, SITLA, and UDOT under the
Conservation Agreement will continue
through at least 2036. Consequently, we
find that conservation measures along
with existing State regulatory
mechanisms are adequate to address
specific stressors absent protections
under the Act.
E. Other Natural or Manmade Factors
Affecting Its Continued Existence
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Rarity
In our October 20, 1999, final listing
rule (64 FR 56590), small population
size was considered a concern for the
species because of the potential for low
levels of genetic diversity as compared
to other more widespread, related
species. A species may be considered
rare due to: (1) Limited geographic
range, (2) occupation of specialized
habitats, or (3) small population
numbers (Primack 1998, p. 176). This
species meets each of these
qualifications.
Deseret milkvetch is likely a localized
neoendemic, that is, it is a relatively
new species on the scale of geologic
time and likely has always been
geographically restricted (rare) (Stone
1992, p. 6). A species that has always
been rare, yet continues to survive,
could be well-equipped to continue to
exist in the future. Many naturally rare
species exhibit traits that allow them to
persist for long periods within small
geographic areas, despite their small
population size. Consequently, the fact
that a species is rare does not
necessarily indicate that it may be
endangered or threatened. Rarity alone,
in the absence of other stressors, is not
a threat. Despite the species’ unique
habitat characteristics and limited
range, its current population numbers
and preliminary demographic analyses
show that its known population (via
information at monitored sites) is much
larger than in 1990, when the first
surveys were conducted, and will likely
be sustained due to the species’
resiliency and the absence of significant
stressors. Additionally, as noted under
Factor B, above, seeds have been
collected for long-term seed storage at
Red Butte Gardens and Arboretum in
Salt Lake City, Utah, and the National
Center for Genetic Resources
Preservation in Fort Collins, Colorado
(Dodge 2009, p. 4). This collection
provides added security for the species.
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Stochastic Events
In our October 20, 1999, final listing
rule (64 FR 56590), stochastic events—
particularly fire, drought, and disease—
were considered a threat because of the
species’ small population size and
highly restricted range. Because rare
species may be vulnerable to single
event occurrences, it is important to
have information on how likely it is
such an event may occur and how it
may affect the species. Demographic
stochasticity—random events in
survival and reproductive success—and
genetic stochasticity—from inbreeding
and changes in gene frequency—are not
significant threats based on limited
abundance trends and the known
population size of Deseret milkvetch
(Stone 1992, pp. 8–10).
Environmental stochasticity—such as
fire, drought, and disease—may also be
a threat to the species (Stone 1992, p.
10). However, we have concluded that
fire is unlikely in the open, a sparsely
wooded habitat that the species favors
(72 FR 3379, January 25, 2007; U.S. Fish
and Wildlife 2011, p. 21). As explained
above under ‘‘Climate Change’’ in the
Factor A discussion, the species appears
to be drought tolerant, showing an
ability to rebound the following drought
and recolonize disturbed areas in
progressively dry climates. Lastly, as
noted above in the Factor C discussion,
there is no evidence of disease or insect
pests affecting Deseret milkvetch. Since
listing in 1999, survey data have shown
that the species’ known range is
somewhat larger and its population
numbers are much higher than
previously thought, thus indicating
tolerance to stochastic events. These
increases are likely due to a
combination of expanded surveys and
increases in population.
Summary of Factor E
Given the lack of threats within the
Deseret milkvetch population and the
robust population size, we conclude
that rarity and stochastic events are not
threats to the species.
Cumulative Effects
Many of the stressors discussed in
this analysis could work in concert with
each other and result in a cumulative
adverse effect to Deseret milkvetch, i.e.,
one stressor may make the species more
vulnerable to other threats. For example,
stressors discussed under Factor A that
individually do not rise to the level of
a threat could together result in habitat
loss. Similarly, small population size in
combination with stressors discussed
under Factor A (residential
development, highway maintenance and
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widening, livestock grazing and
trampling, mineral development,
transmission lines, and climate change)
could present a potential concern.
However, most of the potential
stressors we identified either have not
occurred to the extent originally
anticipated at the time of listing in 1999
or are adequately managed as described
in this final rule. Furthermore, those
stressors that are evident, such as
drought and rarity, appear welltolerated by the species. In addition, we
do not anticipate stressors to increase on
UDWR lands that afford protections to
the species on 67 percent of occupied
habitat for the reasons discussed earlier
in this rule. Furthermore, the increases
documented in the abundance and
distribution of the species since it was
listed in 1999 do not support a
conclusion that cumulative activities
threaten the species.
Summary of Comments and
Recommendations
In the proposed rule published in the
Federal Register on October 2, 2017 (82
FR 45779), we requested that all
interested parties submit written
comments on the proposal by December
1, 2017. We also contacted appropriate
Federal and State agencies, scientific
experts and organizations, and other
interested parties and invited them to
comment on the proposal. We did not
receive any requests for a public
hearing. All substantive information
provided during the comment period
has either been incorporated directly
into this final determination or is
addressed below.
Peer Reviewer Comments
In accordance with our peer review
policy published on July 1, 1994 (59 FR
34270) and updated guidance issued on
August 22, 2016 (USFWS 2016, entire),
we solicited expert opinion from three
knowledgeable individuals with
scientific expertise that included
familiarity with Deseret milkvetch, its
habitat, its biological needs and
potential threats, or principles of
conservation biology. We received
responses from all of the peer reviewers.
We reviewed all comments we
received from the peer reviewers for
substantive issues and new information
regarding the proposed delisting of
Deseret milkvetch. The peer reviewers
provided additional information,
clarifications, and suggestions to
improve the final rule. We included
their information in this final rule. Two
peer reviewers were supportive of the
delisting action. The third provided
only minor technical comments and
editorial suggestions on the rule and did
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not express an opinion regarding the
action.
Public Comments
We received 15 letters from the public
(as well as one from a peer reviewer)
that provided comments on the
proposed rule. Of these, six commenters
stated their support for the delisting of
Deseret milkvetch, and six commenters
believed that it does not warrant
delisting. We also received three
comments that were not directly related
to the proposed action in any way and
are not addressed below.
Relevant public comments are
addressed in the following summary,
and new information was incorporated
into the final rule as appropriate.
(1) Comment: We received four public
comments that the species should not be
delisted based primarily on its limited
range and single population.
Our Response: Rarity or range
restriction alone is not a basis for
determining that a species meets the
definition of ‘‘endangered species’’ or
‘‘threatened species.’’ Our analysis of
the best commercial and scientific
information available indicates that the
population of Deseret milkvetch is
secure. We also determined that despite
the limited range of this species,
stressors either have not occurred to the
extent anticipated at the time of listing
in 1999 or are being adequately
managed, or the species is tolerant of
the stressor.
(2) Comment: We received one
comment that our proposed delisting
was premature because survey data
results from 2016 were not available at
the time of publication of the proposed
rule (October 2, 2017). This commenter
suggested that we should not base our
decision on information that was being
excluded from public access.
Our Response: The proposed delisting
was based on the best commercial and
scientific information available at the
time. We did not have access to 2016
survey data at the time and did not base
our decision on it or withhold this
information from the public. Partial
surveys were conducted in 2016, and
full surveys were conducted in 2017.
This rule has been updated with
relevant information from both years.
Survey results are not yet available for
2018.
(3) Comment: We received two public
comments suggesting that additional
surveys should be conducted before the
species is delisted, to provide more
information on population status and
also how stressors are impacting the
population.
Our Response: This final rule
includes survey information from 2017,
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which supports our conclusion that the
species has maintained occupancy and
a robust population. Additionally, the
post-delisting monitoring (PDM) plan
provides for a minimum of 5 years of
annual monitoring after this rule takes
effect. The PDM plan also includes
criteria to determine whether
population trends allow for completion
of monitoring, or if additional
monitoring or a status review is needed.
We believe this will provide adequate
confirmation of population stability in
the absence of the Act’s protections.
(4) Comment: We received four public
comments supporting the delisting of
Deseret milkvetch on the basis that its
listing has impeded human use on the
land it occupies, specifically in regards
to grazing and off-road vehicle use.
These comments suggested the species
should be delisted so that grazing and
off-road vehicle use could increase
within the habitat.
Our Response: We may only base our
determination of the status of a species
on the best available commercial or
scientific information. We may not
consider the impact to land
management or the demand for other
uses within the species’ habitat when
determining whether a species is
endangered or threatened, except
insofar as to whether such uses
represent stressors that may threaten the
species. Additionally, a conservation
agreement for this species remains in
effect, and we do not anticipate existing
regulations regarding motorized vehicle
use or grazing in the habitat to change
as a result of this delisting. If the human
use of the habitat for recreation, grazing,
or other purposes increase significantly
in the future, a reassessment of this
species’ status may be initiated.
(5) Comment: We received a comment
stating that the lack of a recovery plan
for the species, combined with the
voluntary nature of the existing
Conservation Agreement and the fact
that only 18 years remain in the current
agreement, means that adequate
protections are not provided to the
species in the absence of the protections
of the Act.
Our Response: Recovery plans
provide roadmaps to species recovery,
but are not required in order to achieve
recovery of a species or to evaluate it for
delisting. Recovery plans are also
nonbinding documents that rely on
voluntary participation from
landowners, land managers, and other
recovery partners. Additionally, we
have no information to suggest that
UDWR, SITLA, and UDOT will not
continue to act in good faith according
to the Conservation Agreement as it
exists. A listing decision must consider
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actions taken by States to provide for
the conservation of a species. Lack of
continued implementation of the
Conservation Agreement or large
changes in management practices in the
species’ habitat by the State of Utah may
result in reevaluation of the status of
Deseret milkvetch.
(6) Comment: We received one public
comment stating that the projected
development rates in Utah County are
likely to negatively impact Deseret
milkvetch habitat to the degree that
would constitute a species-level threat;
thus, delisting the species at this time is
not appropriate.
Our Response: We agree that
residential development in Utah County
is increasing and that the patterns of
such development are not entirely
predictable. However, we have no
information to suggest that development
within Deseret milkvetch occupied
habitat on private lands is imminent.
Furthermore, development is prohibited
within the Birdseye Wildlife
Management Unit, which represents the
majority of the known population. For
additional detail, see our threats
analysis under A. The Present or
Threatened Destruction, Modification,
or Curtailment of Its Habitat or Range.
(7) Comment: We received a public
comment stating that we should not
delist Deseret milkvetch due to our lack
of information regarding the species,
particularly in the areas of population
biology, population viability, genetics,
phenology, and response to stressors.
Our Response: We utilized the best
scientific and commercial information
available for this species in our
determination. We conclude that
enough information is available for
Deseret milkvetch and its stressors to
adequately evaluate its status. Should
additional research or post-delisting
monitoring in the future provide
information that indicates our
evaluation is in error or, the species’
status has declined since delisting, we
would reevaluate the status of the
species based on this information.
Determination of Species Status
Section 4 of the Act (16 U.S.C. 1533),
and its implementing regulations at 50
CFR part 424, set forth the procedures
for determining whether a species meets
the definition of ‘‘endangered species’’
or ‘‘threatened species.’’ The Act defines
an endangered species as any species
that is ‘‘in danger of extinction
throughout all or a significant portion of
its range’’ and a threatened species as
any species ‘‘that is likely to become an
endangered species within the
foreseeable future throughout all or a
significant portion of its range.’’ The Act
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requires that we determine whether a
species meets the definition of
‘‘endangered species’’ or ‘‘threatened
species’’ because of any of the following
factors:
(A) The present or threatened
destruction, modification, or
curtailment of its habitat or range;
(B) Overutilization for commercial,
recreational, scientific, or educational
purposes;
(C) Disease or predation;
(D) The inadequacy of existing
regulatory mechanisms; or
(E) Other natural or manmade factors
affecting its continued existence.
The same factors apply whether we
are analyzing the species’ status
throughout all of its range or a
significant portion of its range.
Determination of Status Throughout All
of Deseret Milkvetch’s Range
We conducted a review of the status
of Deseret milkvetch and assessed the
five factors to evaluate whether Deseret
milkvetch is in danger of extinction, or
likely to become so in the foreseeable
future, throughout all of its range. We
also consulted with species experts and
land management staff with UDWR and
UDOT who are actively managing for
the conservation of the species. We
carefully assessed the best scientific and
commercial information available
regarding the past, present, and future
threats to the species. We considered all
of the stressors identified at the time of
listing (1999) as well as newly identified
potential stressors such as mineral
development, transmission lines, and
climate change. As previously
described, the stressors considered in
our five-factor analysis fall into one or
more of the following categories:
• Stressors including residential
development, highway widening, and
livestock grazing and trampling have
not occurred to the extent anticipated at
the time of listing, and existing
information indicates that the extent of
the impact will not change in the future.
• Stressors including highway
maintenance, livestock grazing,
transmission lines, and mineral
development are adequately managed
through the Conservation Agreement.
• The species is tolerant of stressors
including climate change, rarity,
stochastic events, and cumulative
effects, and existing information
indicates that this tolerance will not
change in the future.
These conclusions are supported by
the available information regarding
species abundance, distribution, and
trends, and are in agreement with
information presented in our advance
notice of proposed rulemaking (72 FR
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3379; January 25, 2007), in our 5-year
review (U.S. Fish and Wildlife Service
2011), and in our proposed delisting
rule (82 FR 45779; October 2, 2017).
Thus, after assessing the best available
information, we conclude that Deseret
milkvetch is not in danger of extinction
throughout all of its range, nor is it
likely to become so in the foreseeable
future.
Because we determined that Deseret
milkvetch is not in danger of extinction
or likely to become so in the foreseeable
future throughout all of its range, we
will consider whether the Deseret
milkvetch is in danger of extinction or
likely to become so in the foreseeable
future within any significant portions of
its range.
Determination of Status Throughout a
Significant Portion of Deseret
Milkvetch’s Range
Under the Act and our implementing
regulations, a species may warrant
listing if it is in danger of extinction or
likely to become so in the foreseeable
future throughout all or a significant
portion of its range. The Act defines
‘‘endangered species’’ as any species
which is ‘‘in danger of extinction
throughout all or a significant portion of
its range,’’ and ‘‘threatened species’’ as
any species which is ‘‘likely to become
an endangered species within the
foreseeable future throughout all or a
significant portion of its range.’’ The
term ‘‘species’’ includes ‘‘any
subspecies of fish or wildlife or plants,
and any distinct population segment
[DPS] of any species of vertebrate fish or
wildlife which interbreeds when
mature.’’ We published a final policy
interpreting the phrase ‘‘significant
portion of its range’’ (SPR) (79 FR
37578; July 1, 2014). The final policy
states that: (1) If a species is found to be
an in danger of extinction or likely to
become so in the foreseeable future
throughout a significant portion of its
range, the entire species is listed as an
endangered species or a threatened
species, respectively, and the Act’s
protections apply to all individuals of
the species wherever found; (2) a
portion of the range of a species is
‘‘significant’’ if the species is not
currently in danger of extinction or
likely to become so in the foreseeable
future throughout all of its range, but
the portion’s contribution to the
viability of the species is so important
that, without the members in that
portion, the species would be in danger
of extinction, or likely to become so in
the foreseeable future, throughout all of
its range; (3) the range of a species is
considered to be the general
geographical area within which that
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species can be found at the time the
Service or the National Marine Fisheries
Service makes any particular status
determination; and (4) if a vertebrate
species is in danger of extinction or
likely to become so in the foreseeable
future throughout an SPR, and the
population in that significant portion is
a valid DPS, we will list the DPS rather
than the entire taxonomic species or
subspecies.
The SPR policy is applied to all status
determinations, including analyses for
the purposes of making the listing,
delisting, and reclassification
determinations. However, we
acknowledge the recent adverse ruling
by the United States District Court for
the Northern District of California,
which has vacated the ‘‘significant
portion’’ part of the Services’ SPR Policy
(Desert Survivors, et al. v. U.S.
Department of the Interior, et al., No.
16–cv–01165–JCS (Northern District of
California, Aug. 24, 2018)). The
procedure for analyzing whether any
portion is an SPR is similar, regardless
of the type of status determination we
are making. The first step in our
analysis of the status of a species is to
determine its status throughout all of its
range. If we determine that the species
is in danger of extinction, or likely to
become so in the foreseeable future,
throughout all of its range, we list the
species as an endangered (or threatened)
species, and no SPR analysis will be
required.
When we conduct an SPR analysis,
we first identify any portions of the
species’ range that warrant further
consideration. The range of a species
can theoretically be divided into
portions in an infinite number of ways.
However, there is no purpose in
analyzing portions of the range that are
not reasonably likely to be significant
and either in danger of extinction or
likely to become so in the foreseeable
future. To identify only those portions
that warrant further consideration, we
determine whether there is substantial
information indicating that (1) the
portions may be significant and (2) the
species may be in danger of extinction
in those portions or likely to become so
within the foreseeable future. We
emphasize that answering these
questions in the affirmative is not a
determination that the species is in
danger of extinction or likely to become
so in the foreseeable future throughout
a significant portion of its range—rather,
it is a step in determining whether a
more detailed analysis of the issue is
required. In practice, a key part of this
analysis is whether the threats are
geographically concentrated in some
way. If the threats to the species are
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affecting it uniformly throughout its
range, no portion is likely to warrant
further consideration. Moreover, if any
concentration of threats applies only to
portions of the range that clearly do not
meet the biologically based definition of
‘‘significant’’ (i.e., the loss of that
portion clearly would not be expected to
increase the vulnerability to extinction
of the entire species), those portions
will not warrant further consideration.
If we identify any portions that may
be both (1) significant and (2) in danger
of extinction or likely to become so in
the foreseeable future, we engage in a
more detailed analysis to determine
whether both of these standards are
indeed met. The identification of an
SPR does not create a presumption,
prejudgment, or other determination as
to whether the species in that identified
SPR is in danger of extinction or likely
to become so in the foreseeable future.
We must go through a separate analysis
to determine whether the species is in
danger of extinction or likely to become
so in the foreseeable future in the SPR.
To determine whether a species is in
danger of extinction or likely to become
so in the foreseeable future throughout
an SPR, we will use the same standards
and methodology that we use to
determine if a species is in danger of
extinction or likely to become so in the
foreseeable future throughout its range.
Depending on the biology of the
species, its range, and the threats it
faces, it may be more efficient to address
the ‘‘significant’’ question first, or the
status question first. Thus, if we
determine that a portion of the range is
not ‘‘significant,’’ we do not need to
determine whether the species is in
danger of extinction or likely to become
so in the foreseeable future. If we
determine that the species is not in
danger of extinction or likely to become
so in the foreseeable future in a portion
of its range, we do not need to
determine if that portion is
‘‘significant.’’
Applying the process described
above, to identify whether any portions
warrant further consideration for
Deseret milkvetch, we determine
whether there is substantial information
indicating that (1) particular portions
may be significant and (2) the species
may be in danger of extinction in those
portions or likely to become so within
the foreseeable future. To identify
portions that may be significant, we
consider whether any natural divisions
within the range might be of biological
or conservation importance. To identify
portions where the species may be in
danger of extinction or likely to become
so in the foreseeable future, we consider
whether the threats are geographically
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concentrated in any portion of the
species’ range.
We evaluated the range of Deseret
milkvetch to determine if any area may
be a significant portion of the range.
Based on the small range of Deseret
milkvetch—approximately 345 ac (140
ha) in an area 2.8 mi (4.5 km) by 0.3 mi
(0.5 km)—we determined that the
species is a single, contiguous
population and that no separate areas of
the range are significantly different from
others or likely to be of greater
biological or conservation importance
than any other areas due to natural
biological reasons alone. Therefore,
there is not substantial information that
logical, biological divisions exist within
the species’ range.
After determining no natural
biological divisions are delineating
separate portions of the Deseret
milkvetch population, we next
examined whether any threats are
geographically concentrated in some
way that would indicate the species
could be in danger of extinction, or
likely to become so, in that area. There
is some difference in livestock grazing
between State and private lands, with
little or no grazing on the 67 percent of
habitat occurring on State lands and
occasional potential grazing on the
remaining private lands. However, steep
topography limits grazing everywhere,
and no fences are separating State and
private lands (U.S. Fish and Wildlife
Service 2011, p. 17). We have reviewed
other potential threats and conclude
that none of them is concentrated in any
portion of the species’ range to affect the
representation, redundancy, or
resiliency of the species.
We did not identify any portions of
the species’ range that are likely to be
both significant and in danger of
extinction or likely to become so in the
foreseeable future. Therefore, no portion
warrant further consideration to
determine whether the species is in
danger of extinction or likely to become
so in the foreseeable future in a
significant portion of its range. We
conclude that the species is, therefore,
not an endangered species or threatened
species based on its status in a
significant portion of its range.
Determination of Status
We have carefully assessed the best
scientific and commercial information
available regarding the past, present,
and future threats to Deseret milkvetch.
After review and analysis of the
information regarding stressors as
related to the five statutory factors, we
find that the ongoing stressors are not of
sufficient imminence, intensity, or
magnitude to indicate that this species
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is presently in danger of extinction
throughout all or a significant portion of
its range. Additionally, no threats exist
currently, nor are any potential stressors
expected to rise to the level that would
likely cause the species to become in
danger of extinction in the foreseeable
future, throughout all or a significant
portion of the species’ range. Because
the species is not in danger of extinction
now or the foreseeable future
throughout all of its range or any
significant portion of its range, it does
not meet the definition of an
endangered species or threatened
species. Therefore we find that Deseret
milkvetch no longer requires the
protection of the Act, and we are
removing the species from the List of
Endangered and Threatened Plants.
Effects of the Rule
This final rule revises 50 CFR 17.12(h)
by removing Deseret milkvetch from the
Federal List of Endangered and
Threatened Plants. The prohibitions and
conservation measures provided by the
Act, particularly through sections 7 and
9, no longer apply to this species.
Federal agencies will no longer be
required to consult with the Service
under section 7 of the Act in the event
that activities they authorize, fund, or
carry out may affect Deseret milkvetch.
There is no critical habitat designated
for this species; therefore, this rule does
not affect 50 CFR 17.96.
Post-Delisting Monitoring
Section 4(g)(1) of the Act requires us,
in cooperation with the States, to
implement a monitoring program for not
less than five years for all species that
have been delisted due to recovery. The
purpose of this requirement is to verify
that a species remains secure from risk
of extinction after it has been removed
from the protection of the Act. The
monitoring is designed to detect the
failure of any delisted species to sustain
itself without the protective measures
provided by the Act. If at any time
during the monitoring period, data
indicate that protective status under the
Act should be reinstated, we can initiate
listing procedures, including, if
appropriate, emergency listing under
section 4(b)(7) of the Act. Section 4(g) of
the Act explicitly requires us to
cooperate with the States in
development and implementation of
post-delisting monitoring programs, but
we remain responsible for compliance
with section 4(g) of the Act and,
therefore, must remain actively engaged
in all phases of post-delisting
monitoring. We also seek active
participation of other entities that are
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expected to assume responsibilities for
the species’ conservation post-delisting.
We are delisting Deseret milkvetch
based on new information we have
received as well as recovery actions
taken. Since delisting will be due in part
to recovery, we have prepared the postdelisting monitoring (PDM) plan for
Deseret milkvetch. The PDM plan was
prepared in coordination with the Utah
Department of Natural Resources
(UDNR) and UDWR. Monitoring will be
a joint effort between UDNR and the
Service. The PDM plan discusses the
current status of the species and
describes the methods proposed for
monitoring if the species is removed
from the Federal List of Endangered and
Threatened Plants. Monitoring will
occur annually for at least five years,
beginning in 2019. At the end of 5 years,
the species’ population status will be
evaluated, with three possible
outcomes: (1) If the population is stable
or increasing with no new or increasing
stressors, PDM will conclude; (2) if the
population is decreasing, but may be
correlated with precipitation levels and
remains above 20,000 plants on the
WMA, PDM will be extended for an
additional 3 to 5 years and then the
population status will be reevaluated; or
(3) if the population is decreasing
without correlation to precipitation
levels, and fewer than 20,000 plants
exist on the WMA, a formal status
review will be initiated.
A final PDM plan is available (see
ADDRESSES). We will work closely with
our partners to maintain the recovered
status of Deseret milkvetch and ensure
post-delisting monitoring is conducted
and future management strategies are
implemented (as necessary) to benefit
Deseret milkvetch.
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Required Determinations
National Environmental Policy Act
We have determined that we do not
need to prepare an environmental
assessment or environmental impact
statement, as defined under the
authority of the National Environmental
Policy Act of 1969 (42 U.S.C. 4321 et
seq.), in connection with regulations
pursuant to section 4(a) of the Act. We
published a notice outlining our reasons
for this determination in the Federal
Register on October 25, 1983 (48 FR
49244).
Government-to-Government
Relationship With Tribes
In accordance with the President’s
memorandum of April 29, 1994,
Government-to-Government Relations
with Native American Tribal
Governments (59 FR 22951), E.O. 13175,
and the Department of the Interior’s
manual at 512 DM 2, we readily
acknowledge our responsibility to
communicate meaningfully with
recognized Federal Tribes on a
government-to-government basis. In
accordance with Secretarial Order 3206
of June 5, 1997 (American Indian Tribal
Rights, Federal-Tribal Trust
Responsibilities, and the Endangered
Species Act), we readily acknowledge
our responsibilities to work directly
with Tribes in developing programs for
healthy ecosystems, to acknowledge that
tribal lands are not subject to the same
controls as Federal public lands, to
remain sensitive to Indian culture, and
to make information available to Tribes.
We have determined that no Tribes will
be affected by this rule because no tribal
lands are within or adjacent to Deseret
milkvetch habitat.
References Cited
A complete list of all references cited
in this final rule is available at https://
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www.regulations.gov under Docket No.
FWS–R6–ES–2016–0013, or upon
request from the Utah Ecological
Services Field Office (see FOR FURTHER
INFORMATION CONTACT).
Authors
The primary authors of this final rule
are staff members of the Service’s
Mountain-Prairie Region and the Utah
Ecological Services Field Office.
List of Subjects in 50 CFR Part 17
Endangered and threatened species,
Exports, Imports, Reporting and
recordkeeping requirements,
Transportation.
Regulation Promulgation
Accordingly, we amend part 17,
subchapter B of chapter I, title 50 of the
Code of Federal Regulations, as set forth
below:
PART 17—ENDANGERED AND
THREATENED WILDLIFE AND PLANTS
1. The authority citation for part 17
continues to read as follows:
■
Authority: 16 U.S.C. 1361–1407; 1531–
1544; and 4201–4245, unless otherwise
noted.
§ 17.12
[Amended]
2. Amend § 17.12(h) by removing the
entry for ‘‘Astragalus desereticus’’ under
FLOWERING PLANTS from the List of
Endangered and Threatened Plants.
■
Dated: August 22, 2018.
James W. Kurth,
Deputy Director, U.S. Fish and Wildlife
Service, Exercising the Authority of the
Director, U.S. Fish and Wildlife Service.
[FR Doc. 2018–22718 Filed 10–17–18; 8:45 am]
BILLING CODE 4333–15–P
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Agencies
[Federal Register Volume 83, Number 202 (Thursday, October 18, 2018)]
[Rules and Regulations]
[Pages 52775-52786]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2018-22718]
=======================================================================
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DEPARTMENT OF THE INTERIOR
Fish and Wildlife Service
50 CFR Part 17
[Docket No. FWS-R6-ES-2016-0013; FXES11130900000C6-189-FF09E42000]
RIN 1018-BB41
Endangered and Threatened Wildlife and Plants; Removing Deseret
Milkvetch (Astragalus desereticus) From the Federal List of Endangered
and Threatened Plants
AGENCY: Fish and Wildlife Service, Interior.
ACTION: Final rule; document availability.
-----------------------------------------------------------------------
SUMMARY: We, the U.S. Fish and Wildlife Service (Service), are removing
Deseret milkvetch (Astragalus desereticus) from the Federal List of
Endangered and Threatened Plants due to recovery. Based on the best
available scientific and commercial data, threats to Deseret milkvetch
identified at the time of listing are not as significant as originally
anticipated and are being adequately managed, the species' population
is much greater than was known at the time of listing, and threats to
this species have been sufficiently minimized such that it no longer
meets the definition of an endangered species or threatened species
under the Endangered Species Act of 1973, as amended (Act).
DATES: This final rule is effective November 19, 2018.
ADDRESSES: Comments, materials received and supporting documentation
used in the preparation of this final rule are available on the
internet at https://www.regulations.gov under Docket No. FWS-R6-ES-2016-
0013. Additionally, comments, materials received, and supporting
documentation are available for public inspection by appointment at our
Utah Ecological Services Field Office (see FOR FURTHER INFORMATION
CONTACT, below). The post-delisting monitoring plan for Deseret
milkvetch is available on our Endangered Species Program's national
website (https://endangered.fws.gov) and the internet at https://www.regulations.gov under Docket No. FWS-R6-ES-2016-0013.
FOR FURTHER INFORMATION CONTACT: Larry Crist, Field Supervisor,
telephone: 801-975-3330. Direct all questions or requests for
additional information to: DESERET MILKVETCH QUESTIONS, U.S. Fish and
Wildlife Service; Utah Ecological Services Field Office; 2369 Orton
Circle, Suite 50; West Valley City, UT 84119. If you use a
telecommunications device for the deaf (TDD), you may call the Federal
Relay Service at 800-877-8339.
SUPPLEMENTARY INFORMATION:
Previous Federal Actions
On October 2, 2017, we published a proposed rule to remove Deseret
milkvetch from the List of Endangered and Threatened Plants (i.e., to
``delist'' the species) (82 FR 45779). Please refer to that proposed
rule for a detailed description of the Federal actions concerning this
species that occurred prior to October 2, 2017.
Species Description and Habitat Information
Deseret milkvetch was first collected in 1893, again in 1909, then
not located again until 1981 (Barnaby 1989, p. 126; Franklin 1990, p.
2). The gap in collections may be due to confusion regarding initial
records, which were wrongly attributed to Sanpete County, Utah
(Franklin 1990, p. 2). The 1964 description and classification of
Deseret milkvetch by Barneby is the accepted taxonomic status (Barneby
1989, p. 126; ITIS 2015).
Deseret milkvetch is a perennial, herbaceous plant in the legume
family with silvery-gray pubescent leaves that are 2 to 5 inches (4 to
12 centimeters) long and flower petals that are white to pinkish with
lilac-colored tips (Barneby 1989, p. 126). The flower structure
indicates an adaptation to pollination primarily by large bees, likely
bumblebees (Bombus spp.), which are generalist pollinators (Stone 1992,
p. 4). The species appears to be tolerant of drought (Stone 1992, p.
3). A more detailed description of the biology and life history of
Deseret milkvetch can be found in our 5-year review of the species
(U.S. Fish and Wildlife Service 2011, pp. 5-7).
Deseret milkvetch is endemic to Utah County in central Utah, with
the only known population near the town of Birdseye (Stone 1992, p. 2).
It occurs exclusively on sandy-gravelly soils weathered from the Moroni
geological formation, which are limited to an area of approximately 100
square miles (mi\2\) (259 square kilometers (km\2\)) (Franklin 1990, p.
4; Stone 1992, p. 3). The species is known to occur at elevations of
5,400 to 5,700 feet (ft) (1,646 to 1,737 meters (m)) (Stone 1992, p. 2;
Anderson 2016, pers. comm.; Fitts 2016, pers. comm.). Based upon the
species' narrow habitat requirements, it has likely always been rare,
with little unoccupied suitable habitat (Franklin 1990, p. 6; Stone
1992, p. 6).
Deseret milkvetch is found on steep south- and west-facing slopes
with scattered Colorado pinyon pine (Pinus edulis) and Utah juniper
(Juniperus osteosperma) (Franklin 1990, p. 2). It also grows on west-
facing road-cuts where plants are typically larger than those found in
undisturbed habitat (Franklin 1990, p. 2). The species' habitat is
sparsely vegetated (SWCA Environmental Consultants 2015, p. 7). The
species is an associate of the pinyon-juniper plant community. It is
not shade-tolerant but is found in open areas between trees (Goodrich
et al. 1999, p. 265).
Deseret milkvetch is probably a relatively new species on the scale
of geologic time. The species' genus has the ability to colonize
disturbed or unstable habitats in dry climates. This ability has likely
hastened the evolution of the genus and given rise to many species of
Astragalus that are sharply differentiated and individually
[[Page 52776]]
geographically restricted (Stone 1992, p. 6). Deseret milkvetch
tolerates at least some degree of disturbance, such as that caused by
road maintenance activities (Franklin 1990, p. 2; Fitts and Fitts 2009,
p. 5).
Species Abundance, Distribution, and Trends
In 1990, surveys for Deseret milkvetch estimated fewer than 5,000
plants in a single population (Franklin 1990, p. 3). A subsequent
survey at the same site in 1992 estimated more than 10,000 plants,
indicating that a large seed bank likely exists (Stone 1992, p. 7).
Consequently, at the time of listing, we estimated a total population
of 5,000 to 10,000 plants (64 FR 56590, October 20, 1999).
In 2008, the Utah Natural Heritage Program surveyed suitable
habitats and provided a total population estimate for the species
(Fitts 2008, p. 1). The surveyors found new plant sites (hereafter
referred to as a colony) to the north and west of the previously known
population. The total population estimate was 152,229 plants--including
seedlings, juveniles, and adults (Fitts and Fitts 2009, p. 4), well
above the number of plants known to occur in 1990. If only adults were
counted in the 2008 survey, the population estimate was 86,775 to
98,818 plants (U.S. Fish and Wildlife Service 2011, p. 10). The species
remains known from a single population, with multiple colonies.
In 2009, surveys were expanded, and the updated total population
estimate was 197,277 to 211,915 juvenile and adult plants (Fitts and
Fitts 2010, p. 6); however, the survey methodology in this year was not
clearly described. More plants likely occurred on nearby private land
with exposed Moroni Formation outcrops, but the landowner did not give
permission to survey (Fitts and Fitts 2010, p. 7). These surveys may
have overestimated the species' population using the partial census
method due to extrapolation from earlier hand-drawn colony boundaries;
the small number of transects; and the inclusion of seedlings, which
have a high rate of mortality (U.S. Fish and Wildlife Service 2011, p.
10).
In 2016, partial surveys were conducted showing dense levels of
occupancy in the northmost portion of the range, in areas that were
known to be occupied but had not been previously surveyed (Fitts 2018,
pers. comm.). In 2017, surveys of all accessible habitats were
conducted in accordance with the protocol used in 2008, resulting in a
population estimate of 88,427 (adults and juveniles) in the population
total, with 50,483 on State lands (UNHP 2018, p. 4-5). Surveys in 2017
did not include private lands, and so we estimated the total population
by applying known densities of adjacent State lands to the private land
acreages (UNHP 2018, entire).
The 2017 population estimates represent a reduction in population
from the surveys conducted in 2008 and 2009 but are still well above
the number of plants known in 1990. We believe the reduction in numbers
from 2009 to 2017 is consistent with what we know about the species'
response to drought conditions. In 2015 and 2016, the habitat
experienced moderate to severe drought conditions (National Drought
Resilience Partnership 2018, entire). In late 2016 and early 2017, the
habitat received above-average precipitation levels, and the lower
overall population coupled with the increased proportion of juvenile
plants recorded in spring of 2017 would be consistent with a response
to two seasons of drought followed by increased precipitation in the
preceding fall causing a germination event. The proportion of juvenile
plants increased from 15 percent in 2008 to 44 percent in 2017 (USFWS
2011, p. 10; UNHP 2018, p. 4). We believe this represents a natural
response cycle to annual precipitation patterns and not a declining
trend caused by anthropogenic stressors. Additionally, the consistent
presence of seedlings and juveniles in the 2008, 2009, 2016, and 2017
surveys indicates that recruitment occurs regularly and a robust
seedbank exists. Although 2018 survey results are not yet available, we
expect they will be reflective of the low precipitation level in 2018.
At the time of listing, we estimated the occupied habitat of
Deseret milkvetch to include approximately 300 acres (ac) (122 hectares
(ha)) in an area 1.6 miles (mi) (2.6 kilometers (km)) by 0.3 mi (0.5
km) (64 FR 56590; October 20, 1999). The most recent occupied habitat
estimate is approximately 345 ac (140 ha) in an area 2.8 mi (4.5 km) by
0.3 mi (0.5 km) (Fitts and Fitts 2010, p. 6; SWCA Environmental
Consultants 2015, p. 2). The species remains known from one population
(Birdseye) of scattered colonies on the Moroni formation soils near
Birdseye, Utah (U.S. Fish and Wildlife Service 2011, p. 8).
In summary, periodic surveys of Deseret milkvetch were completed
from 1990 through 2017. The available information indicates a
substantial population increase since 1990 when the first surveys were
conducted (from an estimated 5,000-10,000 plants in 1999 to an
estimated 88,000 plants in 2017). Population and demographic
fluctuations between 2008 and 2017 are likely a natural part of this
species' lifecycle that is related to precipitation. While the exact
distribution of colonies has shifted over time, there has been no
overall reduction in the area occupied since the time of listing and
additional colonies have been located (UNHP 2018, p. 3). Therefore, we
conclude that the population has been stable to increasing overall
since the time of listing.
Land Ownership
An estimated 230 ac (93 ha; 67 percent) of the 345 ac (140 ha) of
total occupied habitat for Deseret milkvetch are in the Birdseye Unit
of the Northwest Manti Wildlife Management Area (WMA) owned by the Utah
Division of Wildlife Resources (UDWR). Of the remaining habitat, 25 ac
(10 ha; 7 percent) are owned by the Utah Department of Transportation
(UDOT) and 90 ac (36 ha; 26 percent) are privately owned (UDWR et al.
2006, p. 4). The Utah School and Institutional Trust Lands
Administration (SITLA) owns most of the mineral rights in the species'
habitat (UDWR et al. 2006, p. 7). No populations of Deseret milkvetch
are known to occur on Federal lands (Franklin 1990, pp. 3-4; Anderson
2016, pers. comm.).
Conservation Efforts
A recovery plan for Deseret milkvetch was not prepared; therefore,
specific delisting criteria were not developed for the species.
However, in 2005, we invited agencies with management or ownership
authorities within the species' habitat to serve on a team to develop
an interagency conservation agreement for Deseret milkvetch intended to
facilitate a coordinated conservation effort between the agencies (UDWR
et al. 2006, entire). The Conservation Agreement for Astragalus
desereticus (Deseret milkvetch) (Conservation Agreement) was signed and
approved by UDWR, UDOT, SITLA, and the Service in 2006, with a duration
of 30 years. The Conservation Agreement provides guidance to
stakeholders to address threats and establish goals to ensure the long-
term survival of the species (UDWR et al. 2006, p. 7). Conservation
actions identified in the Conservation Agreement (in italics), their
current status, and efforts to accomplish these actions are described
below.
Maintain species' habitat within the WMA in its natural
state, restricting habitat disturbance: This action is successful and
ongoing. UDWR acquired the Birdseye Unit of the Northwest Manti WMA in
1967. Prior to this acquisition, livestock grazing occurred for more
than 50 years on the property
[[Page 52777]]
(UDWR et al. 2006, p. 6). Since the acquisition, livestock grazing has
been used only on a limited basis as a management tool by UDWR.
However, habitat occupied by Deseret milkvetch is not suitable for
grazing, and impacts to the species from grazing have been negligible
(UDWR et al. 2006, p. 7). This habitat has not been grazed by livestock
since 2002 (U.S. Fish and Wildlife 2011, p. 17). Future grazing within
the occupied habitat is unlikely due to the steep terrain (Howard 2016,
pers. comm.).
A draft wildlife management plan completed by UDWR proposes closing
some unauthorized, unpaved roads within the WMA, which likely would
further benefit the species by reducing habitat fragmentation and
reducing future human access to the population (Howard 2018, pers.
comm.). We anticipate that the plan will be finalized within the next
year (Howard 2018, pers. comm.). Because this plan is currently only in
draft, we do not rely on it in this final rule to delist the species.
However, it provides an indication of future management intentions of
UDWR to the continuing benefit of the species from the ongoing
management of the WMA.
Removal of juniper in the WMA to improve habitat may occur, but
areas occupied by Deseret milkvetch will be avoided to prevent plant
damage and mortality associated with this type of surface-disturbing
activity (Howard 2018, pers. comm.). The steep terrain associated with
Deseret milkvetch makes grazing, juniper removal, and livestock grazing
in the species' occupied habitat unlikely.
Retain species' habitat within the WMA under the
management of UDWR: This action is successful and ongoing. The UDWR
continues to manage the species' habitat within the WMA in its natural
state with minimal disturbance, as stipulated in the Conservation
Agreement (Howard 2016, pers. comm.).
Evaluate the feasibility of acquiring conservation
easements or fee title purchases on small private land parcels between
U.S. Highway 89 and the existing WMA as resources, and willing sellers
become available: No easements or property have been acquired, and we
do not rely on this conservation action in this final rule to delist
the species. However, UDWR has a Statewide initiative to acquire
additional lands, so that future acquisition may be possible (Howard
2016, pers. comm.).
Avoid using herbicides in the species' habitat managed by
UDOT: This action is successful and ongoing. The UDOT does not use
herbicides in Deseret milkvetch habitat within highway rights-of-way,
and has committed to continuing this action as stipulated in the
Conservation Agreement (Kisen 2016, pers. comm.).
Avoid disturbing plants during highway maintenance and
construction carried out by UDOT: This action is successful and
ongoing. The UDOT has not disturbed the species during highway
maintenance and construction, and no highway widening projects are
anticipated through at least 2040, which is as far as their planning
extends (Kisen 2016, pers. comm.).
Monitor populations on an annual basis as needed: This
action is successful and ongoing. Surveys were conducted in May of
2016, 2017, and 2018 by Utah Natural Heritage Program personnel.
Continue discussions between the UDWR and Service on the
development and review of management plans and habitat restoration that
may affect species' habitat on the WMA: This action is successful and
ongoing. The Service's Utah Ecological Services Field Office is
actively engaged with UDWR in the development and review of actions
that may affect the species. The UDWR and Service meet periodically to
implement protections identified in the Conservation Agreement.
In summary, most of the conservation actions described in the
Conservation Agreement have been successfully implemented and are part
of an ongoing management strategy for conserving Deseret milkvetch.
Potential threats from residential development, livestock grazing, and
highway maintenance and widening are addressed by conservation actions
on the approximately 74 percent of the species' occupied habitat that
is owned and managed by either UDWR or UDOT. The Conservation Agreement
will continue to be implemented through at least 2036.
As described above, we have new information on Deseret milkvetch
since our listing decision, and the species' status has improved. This
improvement is likely due to expanded surveys, as well as the
amelioration of threats and an improved understanding of the stressors
affecting the species (see Summary of Factors Affecting the Species,
below). In addition to the conservation actions identified in the
Conservation Agreement, new opportunities for conservation of the
species may be implemented in the future. For example, a new power line
proposed near the species' habitat will use the same corridor as an
existing transmission line (see Factor A discussion, below). However,
this future action is not a factor in our delisting determination.
Survey results from 2017 (the most recent population estimates
available) estimated that the total population was 88,427 juvenile and
adult plants occurring on approximately 345 ac (140 ha) of habitat,
which is a significant increase when compared to estimates of 5,000 to
10,000 plants occurring on approximately 300 ac (122 ha) at the time of
listing. The majority of Deseret milkvetch occupied habitat (74
percent) is managed by UDWR and UDOT, and we have no information that
indicates the species faces significant threats on private lands. All
of the conservation actions for UDWR- and UDOT-managed habitat have
been successfully implemented, with the exception of acquiring
conservation easements. These measures have been effective in
preventing impacts to the species and its habitat on State-managed
lands. Additionally, as described below, threats identified at the time
of listing in 1999 are not as significant as originally anticipated
(U.S. Fish and Wildlife Service 2011, p. 21).
Summary of Changes From the Proposed Rule
We have made updates to our discussions of the species' population
status (including 2017 information) and factors affecting the species,
based on comments submitted by the public and information provided by
peer reviewers. In addition, we now refer to the species primarily by
its common name, rather than its scientific name, throughout this rule.
Summary of Factors Affecting the Species
Section 4 of the Act (16 U.S.C. 1531 et seq.) and its implementing
regulations (50 CFR part 424) set forth the procedures for listing
species, reclassifying species, or removing species from listed status.
``Species'' is defined by the Act as including any species or
subspecies of fish or wildlife or plants, and any distinct vertebrate
population segment of fish or wildlife that interbreeds when mature (16
U.S.C. 1532(16)). A species is an ``endangered species'' for purposes
of the Act if it is in danger of extinction throughout all or a
significant portion of its range and is a ``threatened species'' if it
is likely to become endangered within the foreseeable future throughout
all or a significant portion of its range. We consider ``foreseeable
future'' as that period of time within which a reliable prediction can
be reasonably relied upon in making a determination about the future
conservation status of a species, as described in the Solicitor's
[[Page 52778]]
opinion dated January 16, 2009 (M-37021).
A species may be determined to be an endangered or threatened
species because of one or more of the five factors described in section
4(a)(1) of the Act: (A) The present or threatened destruction,
modification, or curtailment of its habitat or range; (B)
overutilization for commercial, recreational, scientific, or
educational purposes; (C) disease or predation; (D) the inadequacy of
existing regulatory mechanisms; or (E) other natural or manmade factors
affecting its continued existence. We must consider these same five
factors in delisting a species.
For species that are already listed as endangered or threatened and
being considered for delisting, the five-factor analysis is an
evaluation of the threats currently facing the species and the threats
that are reasonably likely to affect the species in the foreseeable
future following the removal of the Act's protections. We may delist a
species according to 50 CFR 424.11(d) if the best available scientific
and commercial data indicate that the species is neither endangered nor
threatened for the following reasons: (1) The species is extinct; (2)
the species has recovered and is no longer endangered or threatened;
and/or (3) the original scientific data used at the time the species
was classified were in error. A recovered species has had threats
removed or reduced to the point that it no longer meets the Act's
definitions of endangered or threatened.
Deseret milkvetch is listed as a threatened species. For the
purposes of this analysis, we will evaluate whether or not the
currently listed species, Deseret milkvetch, should continue to be
listed as a threatened species, based on the best scientific and
commercial information available.
We consider 20 years to be a reasonably foreseeable future within
which reliable predictions can be made for Deseret milkvetch. This time
period includes multiple generations of the species, coincides with the
duration of the Conservation Agreement, and falls within the planning
period used by UDOT. We consider 20 years a conservative timeframe in
view of the much longer-term protections in place for 67 percent of the
species' occupied habitat that occurs within the UDWR WMA.
In considering what factors might constitute threats, we must look
beyond the exposure of the species to a particular factor to evaluate
whether the species may respond to the factor in a way that causes
actual impacts to the species. If there is exposure to a factor and the
species responds negatively, the factor may be a threat, and during the
five-factor threats analysis, we will attempt to determine the
significance of the threat. The threat is significant if it drives or
contributes to the risk of extinction of the species such that the
species warrants listing as endangered or threatened as those terms are
defined by the Act. However, the identification of factors that could
affect a species negatively may not be sufficient to justify a finding
that the species warrants listing or should remain listed. The
information must include evidence sufficient to suggest that the
potential threat is likely to materialize and that it has the capacity
(sufficient magnitude and extent) to affect the species' status such
that it meets the definition of endangered or threatened under the Act.
This determination does not necessarily require empirical proof of a
threat. The combination of exposure and some corroborating evidence of
how the species is likely impacted could suffice. The following
analysis examines the factors currently affecting Deseret milkvetch, or
that are likely to affect it within the foreseeable future.
A. The Present or Threatened Destruction, Modification, or Curtailment
of Its Habitat or Range
Deseret milkvetch is found in three different land use zones, as
categorized by Utah County Land Use Ordinance (Jorgensen 2016b, pers.
comm.; Utah County 2016, chapter 5). Approximately 74.6 percent of the
species' habitat occurs in Critical Environment Zone 1, which has the
primary purpose of supporting water resources for culinary use,
irrigation, recreation, natural vegetation, and wildlife. Approximately
16.7 percent occurs in Residential Agricultural Zone 5, which has the
primary purpose of preserving agricultural lands. The remaining 8.6
percent occurs in Critical Environment Zone 2, which has the primary
purpose of preserving fragile environmental uses (Jorgensen 2016b,
pers. comm.). These zones do not strictly regulate management or land
use and, therefore, are not discussed under Factor D, below; however,
the Utah County Land Use Ordinance prioritizes uses and provides
management guidance for all lands in Utah County, unless specifically
exempted (Utah County 2016, chapter 5). All of the conservation actions
in place for the species meet the guidelines under their respective
land use zone, and we are not aware of any occupied habitat
specifically exempted from the guidance described for the
aforementioned land use zones.
The following potential stressors were identified for this species
at the time of listing: (1) Residential development, (2) highway
maintenance and widening, and (3) livestock grazing and trampling. For
this final rule, we also considered: (4) Mineral development, (5)
transmission lines, and (6) climate change. Each of these stressors is
assessed below.
Residential Development
In our October 20, 1999, final listing rule (64 FR 56590),
substantial human population growth and urban expansion were predicted
in the Provo, Spanish Fork, and Weber River drainages east of the
Wasatch Mountains. In that rule, increased residential development was
considered a threat to the species due to the potential for loss of
plants and habitat that results from the construction of roads,
buildings, and associated infrastructure (e.g., utilities). However,
counter to the predictions of the Quality Growth Efficiency Tools
Technical Committee cited in that final listing rule, residential
development in these areas has been very limited. The nearest
community, Birdseye, is unincorporated and has not been included in
recent U.S. Census Bureau surveys; therefore, no recent population
estimates are available. We are aware of only one house, and a barn
that was recently built adjacent to Deseret milkvetch occupied habitat
(Fitts 2016, pers. comm.). We are aware of only three proposed
development properties in this area. One property has the potential for
95 lots and is 2.8 mi (4.5 km) from the known occupied habitat of
Deseret milkvetch. The other two developments would be single dwelling
properties approximately four mi (6 km) and five mi (8 km) from known
occupied habitat (Larsen 2016, pers. comm.; Jorgensen 2016a, pers.
comm.). These three proposed developments are located near Thistle
Creek, upstream from Deseret milkvetch habitat (Jorgensen 2016a, pers.
comm.). However, the species' habitat occurs on steep upland slopes
that are not vulnerable to potential habitat impacts from upstream
areas. Residential development at this scale and distance from Deseret
milkvetch population is not likely to impact the species or its habitat
now or within the foreseeable future.
The majority of Deseret milkvetch habitat occurs on steep, rocky,
erosive slopes that are not favorable for development; consequently, we
do not anticipate any future residential development in the species'
occupied habitat (Fitts 2016, pers. comm.). Additionally, as previously
described,
[[Page 52779]]
approximately 230 ac (93 ha)--67 percent of total habitat for the
species--are in a WMA owned by the UDWR that is protected from
residential development, as discussed under Factor D, below.
We conclude, based on the available information, that residential
development is not a threat to Deseret milkvetch due to: (1) The
minimal disturbance from residential development that has occurred on
the species' habitat to date and the minimal amount of disturbance
anticipated in the future; (2) the steep, rocky, erosive nature of the
species' habitat, which precludes most development; and (3) the amount
of habitat (67 percent) that is protected from residential development.
Highway Widening and Maintenance
In our October 20, 1999, final listing rule (64 FR 56590),
potential widening of Highway 89 was considered a threat to plants
growing in the highway right-of-way. Highway 89 widening would likely
result in the loss of Deseret milkvetch plants and habitat that are
directly adjacent to Highway 89. Regular highway maintenance activities
include herbicide use to control weeds and could also result in the
loss of plants and habitat within the right-of-way. The species appears
to tolerate some levels of disturbance related to road maintenance
because it recolonizes areas that have been disturbed by tracked
vehicles, road grading equipment, and road cuts (Franklin 1990, p. 2;
Fitts and Fitts 2009, p. 5; SWCA 2015, p. 7).
Widening of Highway 89 has not occurred and is not anticipated by
UDOT through at least 2040, which is as far as planning extends (Kisen
2016, pers. comm.). The nearest highway development project is a
modification of the intersection of Highway 89 and Highway 6 (Kisen
2016, pers. comm.). This project is approximately seven mi (11 km)
north of Birdseye and four mi (6 km) north of the nearest occurrence of
the species. Therefore, we do not anticipate any direct or indirect
impacts to the species. No other highway projects are currently planned
within 20 mi (32 km) of Birdseye (Kisen 2016, pers. comm.).
Road maintenance on Highway 89 is ongoing. However, as committed to
in the Conservation Agreement, UDOT avoids herbicide use and other
disturbance in the species' habitat (Lewinsohn 2016, pers. comm.; UDWR
et al. 2006, p. 9). In instances where herbicides must be used, UDOT
will not apply it by an aerial application within 500 ft (152.5 m) of
occupied habitat and will maintain a 100-ft (30-m) buffer for hand
application around individual plants (UDWR et al. 2006, p. 9).
In summary, highway widening is not anticipated within the vicinity
of occupied Deseret milkvetch habitat. We are not aware of planned
road-widening construction projects in or near the species' habitat,
and UDOT has committed to avoiding herbicide use and other disturbance
in occupied Deseret milkvetch habitat during maintenance activities
(Lewinsohn 2016, pers. comm.; UDWR et al. 2006, p. 9). Therefore, based
on the available information, we conclude that highway widening and
maintenance are not a threat to Deseret milkvetch.
Livestock Grazing and Trampling
In our October 20, 1999, final listing rule (64 FR 56590),
livestock grazing and trampling were considered threats to the species
because of direct consumption of plants, trampling of plants and the
burrows of ground-dwelling pollinators, and increased soil erosion. In
contrast to many species of Astragalus, this species apparently is not
toxic to livestock, and is palatable and may be consumed (Stone 1992,
p. 6; Tilley et al. 2010, p. 1).
Prior to UDWR acquiring the Northwest Manti WMA in 1967, livestock
grazing occurred for more than 50 years on habitat occupied by Deseret
milkvetch and may help to explain why attempts to locate the species
were unsuccessful for decades (UDWR et al. 2006, p. 6). Once UDWR
acquired the land, they chained (removed scrub growth) and seeded level
land upslope of the species' habitat to improve grazing for wild
ungulates and livestock. The last cattle grazing on the Wildlife
Management Unit occurred in 2002 (U.S. Fish and Wildlife 2011, p. 17).
The UDWR does not currently allow livestock grazing on the Birdseye
Unit of the WMA and does not plan for any future grazing within the
portion of the WMA that contains Deseret milkvetch habitat (Howard
2018, pers. comm.). Avoidance of livestock grazing in the species'
habitat that is managed by UDWR is stipulated in the Conservation
Agreement (UDWR et al. 2006, p. 8). Additionally, the species' habitat
is not well-suited to grazing due to sparse forage and steep slopes.
Some private lands where the species occurs allow livestock grazing;
however, when last visited, there was no evidence of impacts to the
species (U.S. Fish and Wildlife 2011, p. 17).
In summary, livestock grazing and trampling were considered a
threat to Deseret milkvetch in our October 20, 1999, final listing rule
(64 FR 56590) because grazing occurred historically over much of the
species' habitat and we were concerned about trampling and erosion
impacts. However, livestock grazing no longer occurs on the UDWR WMA,
representing 67 percent of the species' habitat. Additionally, occupied
Deseret milkvetch habitat on both private and protected lands is steep
and rocky, with sparse forage for cattle. Consequently, minimal grazing
impacts have been documented. We conclude, based on the available
information, that livestock grazing and trampling are not a threat to
Deseret milkvetch.
Mineral Development
Impacts from mineral development were not considered in our October
20, 1999, final listing rule (64 FR 56590). At the time the
Conservation Agreement was signed, there was no information indicating
that mineral development was going to occur in or near occupied Deseret
milkvetch habitat (UDWR et al. 2006, p. 7). SITLA owns the mineral
rights on most of the land occupied by the species, and the agency has
not had any inquiries regarding mineral development in the species'
habitat since the Conservation Agreement was signed (UDWR et al. 2006,
p. 7; Wallace 2017, pers. comm.). In the Conservation Agreement, which
will remain in effect through 2036, SITLA agreed to alert any energy
and mineral developers to the presence of occupied habitat and
recommend surface use stipulations that avoid disturbance and provide
mitigation for unavoidable effects to plants or their habitat (UDWR et
al. 2006, p. 8).
In summary, mineral development was not considered a threat when
Deseret milkvetch was listed under the Act. According to the compliance
office of SITLA, there have been no inquiries regarding mineral
development in this area. It is a severed estate, therefore, SITLA does
not own the mineral rights, but would manage surface disturbance
associated with mineral development and the area is flagged in their
business system as being under a conservation agreement (Wallace 2017,
pers. comm.). Therefore, based on the available information, we
conclude that mineral development is not a threat to Deseret milkvetch.
Transmission Lines
Impacts from transmission lines were not considered in our October
20, 1999, final listing rule (64 FR 56590). The Mona to Bonanza high-
voltage transmission line is an existing power line near Deseret
milkvetch habitat located at the easternmost extent of the known range
of the species (Miller 2016,
[[Page 52780]]
pers. comm.). The TransWest Express transmission line is a planned
power line that would use the same corridor as the existing Mona to
Bonanza transmission line (SWCA Environmental Consultants 2015, p. 1).
TransWest Express developers estimated that approximately 10.9 ac (4.4
ha) of potential or occupied habitat for the species occurs within 300
ft (91 m) of proposed transmission structures, and approximately 0.25
ac (0.10 ha) would be directly disturbed (SWCA Environmental
Consultants 2015, p. 17). However, minimal impacts are expected to
result from the transmission line installation because dust abatement
measures would be implemented, the proposed route is located farther
away from Deseret milkvetch populations than the existing Mona to
Bonanza transmission line, and existing access roads would be used
within the species' habitat (U.S. Fish and Wildlife Service 2016, pp.
25-31). Consequently, impacts from the proposed TransWest Express
transmission line are not anticipated to result in a population-level
effect to the species based upon the localized extent of impacts and
the currently robust status of the species (see Species Abundance,
Distribution, and Trends, above). In addition, because the species can
tolerate some levels of disturbance and plants have recolonized
disturbed areas, any remaining development-related impacts should be
minimal (Fitts and Fitts 2009, p. 5; Franklin 1990, p. 2).
In summary, Deseret milkvetch maintains a large, robust population
next to the existing Mona to Bonanza transmission line, and only a very
minimal amount of habitat (less than 0.25 ac (0.10 ha)) would be
disturbed by the proposed future construction of the TransWest
transmission line. We conclude, based on the available information,
that transmission lines are not a threat to Deseret milkvetch.
Effects of Climate Change
Impacts from climate change were not considered in our October 20,
1999, final listing rule (64 FR 56590). Our current analyses for
species classification under the Act include consideration of ongoing
and projected changes in climate. The terms ``climate'' and ``climate
change'' are defined by the Intergovernmental Panel on Climate Change
(IPCC). ``Climate'' refers to the mean and variability of different
types of weather conditions over time, with 30 years being a typical
period for such measurements, although shorter or longer periods also
may be used (IPCC 2007, p. 78). The term ``climate change'' thus refers
to a change in the mean or variability of one or more measures of
climate (e.g., temperature or precipitation) that persists for an
extended period, typically decades or longer, whether the change is due
to natural variability, human activity, or both (IPCC 2007, p. 78).
Various types of changes in climate can have direct or indirect effects
on species. These effects may be positive, neutral, or negative, and
they may change over time, depending on the species and other relevant
considerations, such as the effects of interactions of climate with
other variables (e.g., habitat fragmentation) (IPCC 2007, pp. 8-14, 18-
19). In our analyses, we use our expert judgment to weigh relevant
information, including uncertainty, in our consideration of various
aspects of climate change.
Estimates regarding the risk of future persistent droughts in the
southwestern United States range from 50 to 90 percent (Ault et al.
2013, p. 7545). Climate models that predict future temperatures over
three different time periods in the 21st century for the southwestern
United States show the greatest warming in summer months (3.5 to 6.5
degrees Fahrenheit ([deg]F)) (1.9 to 3.6 degrees Celsius ([deg]C)),
with a localized maximum increase in temperatures in central Utah
(Kunkel et al. 2013, p. 72). Nationwide, Utah ranks eighth in rate of
warming since 1912, with a 0.233 [deg]F (0.129 [deg]C) increase per
decade; and seventh in rate of warming since 1970, with a 0.588 [deg]F
(0.327 [deg]C) increase per decade (Tebaldi et al. 2012, pp. 3, 5).
The Astragalus genus has the ability to colonize disturbed or
unstable habitats in progressively dry climates and thus appears to be
adapted to drought (Stone 1992, p. 6). We do not have a clear
understanding of how Deseret milkvetch responds to precipitation
changes, although the species has persisted in spite of recent dry
conditions. Generally, plant numbers decrease during drought years and
recover in subsequent seasons that are less dry. For example, many
plants of Deseret milkvetch appeared to die-off in response to the 2012
drought, but have since repopulated the area from the seed bank (Fitts
2016, pers. comm.). Deseret milkvetch and other species in the bean
family typically have persistent seed banks with at least some
proportion of the seed bank being long-lived because the seeds are
physically dormant for long periods of time (Dodge 2009, p. 3; Orscheg
and Enright 2011, p. 186; Segura et al. 2014, p. 75). Dormant seeds
have a seed coat that imposes a physical barrier between water and the
embryo, and this type of dormancy provides an ecological advantage by
staggering germination over a long period of time, protecting the
embryo from microbial attack, and increasing the longevity of seeds
within the soil (Fulbright 1987, p. 40). Species with physically
dormant seeds typically have seeds germinating over many years, which
increases the probability of the species' persistence in an
unpredictable environment and has been termed a ``bet-hedging
strategy'' (Simons 2009, pp. 1990-1991; Williams and Elliott 1960, pp.
740-742). This strategy buffers a population against catastrophic
losses and negative effects from environmental variation
(Tielb[ouml]rger et al. 2014, p. 4). Deseret milkvetch can be dormant
and not detectable for some years, but later detected in the same area
given favorable precipitation conditions (Fitts 2016, pers. comm.).
This pattern provides some evidence the species has a persistent seed
bank and possibly other life stages that remain dormant during drought
conditions.
Deseret milkvetch appears well-adapted to a dry climate and can
quickly colonize after disturbance. Plants growing in high-stress
landscapes (e.g., poor soils and variable moisture) are generally
adapted to stress and thus may experience lower mortality during severe
droughts (Gitlin et al. 2006, pp. 1477, 1484). Furthermore, plants and
plant communities of arid and semi-arid systems may be less vulnerable
to the effects of climate change if future climate conditions are
within the historic natural climatic variation experienced by Deseret
milkvetch (Tielb[ouml]rger et al. 2014, p. 7). The species likely has
experienced multiple periods of prolonged drought conditions in the
past as documented from reconstructed pollen records in sagebrush
steppe lands (Mensing et al. 2007, pp. 8-10). Natural climatic
variation in the Southwest for the last 500 years included periodic
major droughts (Kunkle et al. 2013, p. 14). Therefore, it is likely
that Deseret milkvetch will be able to withstand future periods of
prolonged drought.
In summary, climate change is affecting and will continue to affect
temperature and precipitation events. We expect that Deseret milkvetch,
like other narrow endemics, could experience future climate change-
related drought. However, the scope of any effects is mostly
speculative at this time because current data are not reliable at the
local level. The information we do have indicates the species and the
genus are adapted to drought and are able to recolonize disturbed
areas. Therefore, based upon available information, we conclude that
[[Page 52781]]
climate change is not a threat to Deseret milkvetch currently or within
the foreseeable future.
Summary of Factor A
The following stressors warranted consideration as possible current
or future threats to Deseret milkvetch under Factor A: (1) Residential
development, (2) highway maintenance and widening, (3) livestock
grazing and trampling, (4) mineral development, (5) transmission lines,
and (6) climate change. However, these stressors either have not
occurred to the extent anticipated at the time of listing or are being
adequately managed, or the species is tolerant of the stressor as
described below.
Minimal disturbance from residential development has
occurred on Deseret milkvetch habitat to date or is anticipated in the
future because of the steep, rocky, erosive nature of the species'
habitat. In addition, 67 percent of the species' habitat is protected
from residential development due to its inclusion in a State WMA.
UDOT anticipates no highway widening in habitat occupied
by Deseret milkvetch, and herbicide use and other disturbances are
avoided in habitat for the species.
The steep, rocky nature of Deseret milkvetch habitat and
sparse forage availability minimize livestock grazing, and 67 percent
of all of the species' known habitat is carefully managed by UDWR to
restrict it from grazing.
The lack of inquiries and severed estate status of the
habitat occupied by Deseret milkvetch indicate that mineral development
is not a threat.
The existing transmission line is not a threat to Deseret
milkvetch, and activity associated with the proposed transmission line
occurring within the species' occupied habitat will be confined to
existing access roads.
Deseret milkvetch and its genus are likely adapted to
drought related to climate change.
Deseret milkvetch appears able to recolonize disturbed
areas readily.
Therefore, based on the available information, we do not consider
there to be any threats related to the present or threatened
destruction, modification, or curtailment of habitat or range of
Deseret milkvetch.
B. Overutilization for Commercial, Recreational, Scientific, or
Educational Purposes
Overutilization for any purpose was not considered a threat in the
final rule to list the species (64 FR 56590; October 20, 1999). The
only collections of the species that we are aware of were for
scientific purposes. An unknown number of seeds were collected in 2007,
and approximately 850 seeds were collected from 45 plants in 2008. In
addition, 1,016 seeds were collected from 55 plants in 2009, for
germination trials and long-term seed storage at Red Butte Gardens and
Arboretum in Salt Lake City, Utah, and the National Center for Genetic
Resources Preservation in Fort Collins, Colorado (Dodge 2009, p. 4).
This amount of collection is insignificant given the current population
estimates for the species, and overall it is beneficial because it will
improve our understanding of species propagation and ensure genetic
preservation. We are not aware of any other utilization of the species.
Therefore, based on the available information, we do not consider there
to be any threats related to overutilization for commercial,
recreational, scientific, or educational purposes of Deseret milkvetch.
C. Disease or Predation
Disease and predation were not considered threats in the final rule
to list the species (64 FR 56590; October 20, 1999). We are not aware
of any issues or potential stressors regarding disease or insect
predation. As described in more detail above under Factor A, grazing--
which could be considered a form of predation--is limited in the
species' habitat and does not affect the species throughout its range
or at a population level. Therefore, based on the available
information, we do not consider there to be any threats related to
disease or predation of Deseret milkvetch.
D. The Inadequacy of Existing Regulatory Mechanisms
Section 4(b)(1)(A) of the Act requires the Service to take into
account ``those efforts, if any, being made by any State or foreign
nation, or any political subdivision of a State or foreign nation, to
protect such species.'' In relation to Factor D under the Act, we
interpret this language to require us to consider relevant Federal,
State, and Tribal laws, regulations, and other such mechanisms that may
minimize any of the threats we describe in the threats analyses under
the other four factors or otherwise enhance conservation of the
species. We give the strongest weight to statutes and their
implementing regulations and to management direction that stems from
those laws and regulations; an example would be State governmental
actions enforced under a State statute, constitution, or regulation or
Federal action under statute or regulation.
For currently listed species that are being considered for
delisting, we consider the adequacy of existing regulatory mechanisms
to address threats to the species absent the protections of the Act. We
examine whether other regulatory mechanisms would remain in place if
the species were delisted, and the extent to which those mechanisms
would continue to help ensure that future threats will be reduced or
minimized.
In our discussion under Factors A, B, C, and E, we evaluate the
significance of threats as mitigated by any conservation efforts and
existing regulatory mechanisms. Where threats exist, we analyze the
extent to which conservation measures and existing regulatory
mechanisms address the specific threats to the species. Regulatory
mechanisms, if they exist, may reduce or eliminate the impacts from one
or more identified threats. As previously discussed, conservation
measures initiated by UDWR, SITLA, and UDOT under the Conservation
Agreement manage potential threats caused by residential development,
highway maintenance and widening, and livestock grazing and trampling,
as well as the more recently identified proposed transmission line. In
addition to these conservation measures, relevant Utah State statutes
and UDWR administrative rules that will remain in effect regardless of
Deseret milkvetch's status under the Act include:
1. Title 23--Wildlife Resources Code of Utah, Chapter 21--Lands and
Waters for Wildlife Purposes, Section 5--State-owned lands authorized
for use as wildlife management areas, fishing waters and other
recreational activities. This statute authorizes the creation,
operation, maintenance, and management of wildlife management areas
including the Birdseye Unit of the Northwest Manti WMA. The Birdseye
Unit contains 67 percent of all known habitat occupied by Deseret
milkvetch. Consequently, two-thirds of all known habitat is currently
managed and will continue to be managed as wildlife habitat regardless
of the species' status under the Act.
2. Utah Administrative Code, Rule R657-28--Use of Division Lands.
This administrative rule describes the lawful uses and activities on
UDWR lands including Birdseye Unit of the Northwest Manti WMA. These
uses cannot conflict with the intended land use or be detrimental to
wildlife or wildlife habitat. This administrative rule provides further
support to beneficial management on the 67 percent of occupied habitat
managed by
[[Page 52782]]
UDWR, regardless of the species' status under the Act.
We are not aware of any habitat occupied by Deseret milkvetch on
Federal lands. We anticipate that the conservation measures initiated
by UDWR, SITLA, and UDOT under the Conservation Agreement will continue
through at least 2036. Consequently, we find that conservation measures
along with existing State regulatory mechanisms are adequate to address
specific stressors absent protections under the Act.
E. Other Natural or Manmade Factors Affecting Its Continued Existence
Rarity
In our October 20, 1999, final listing rule (64 FR 56590), small
population size was considered a concern for the species because of the
potential for low levels of genetic diversity as compared to other more
widespread, related species. A species may be considered rare due to:
(1) Limited geographic range, (2) occupation of specialized habitats,
or (3) small population numbers (Primack 1998, p. 176). This species
meets each of these qualifications.
Deseret milkvetch is likely a localized neoendemic, that is, it is
a relatively new species on the scale of geologic time and likely has
always been geographically restricted (rare) (Stone 1992, p. 6). A
species that has always been rare, yet continues to survive, could be
well-equipped to continue to exist in the future. Many naturally rare
species exhibit traits that allow them to persist for long periods
within small geographic areas, despite their small population size.
Consequently, the fact that a species is rare does not necessarily
indicate that it may be endangered or threatened. Rarity alone, in the
absence of other stressors, is not a threat. Despite the species'
unique habitat characteristics and limited range, its current
population numbers and preliminary demographic analyses show that its
known population (via information at monitored sites) is much larger
than in 1990, when the first surveys were conducted, and will likely be
sustained due to the species' resiliency and the absence of significant
stressors. Additionally, as noted under Factor B, above, seeds have
been collected for long-term seed storage at Red Butte Gardens and
Arboretum in Salt Lake City, Utah, and the National Center for Genetic
Resources Preservation in Fort Collins, Colorado (Dodge 2009, p. 4).
This collection provides added security for the species.
Stochastic Events
In our October 20, 1999, final listing rule (64 FR 56590),
stochastic events--particularly fire, drought, and disease--were
considered a threat because of the species' small population size and
highly restricted range. Because rare species may be vulnerable to
single event occurrences, it is important to have information on how
likely it is such an event may occur and how it may affect the species.
Demographic stochasticity--random events in survival and reproductive
success--and genetic stochasticity--from inbreeding and changes in gene
frequency--are not significant threats based on limited abundance
trends and the known population size of Deseret milkvetch (Stone 1992,
pp. 8-10).
Environmental stochasticity--such as fire, drought, and disease--
may also be a threat to the species (Stone 1992, p. 10). However, we
have concluded that fire is unlikely in the open, a sparsely wooded
habitat that the species favors (72 FR 3379, January 25, 2007; U.S.
Fish and Wildlife 2011, p. 21). As explained above under ``Climate
Change'' in the Factor A discussion, the species appears to be drought
tolerant, showing an ability to rebound the following drought and
recolonize disturbed areas in progressively dry climates. Lastly, as
noted above in the Factor C discussion, there is no evidence of disease
or insect pests affecting Deseret milkvetch. Since listing in 1999,
survey data have shown that the species' known range is somewhat larger
and its population numbers are much higher than previously thought,
thus indicating tolerance to stochastic events. These increases are
likely due to a combination of expanded surveys and increases in
population.
Summary of Factor E
Given the lack of threats within the Deseret milkvetch population
and the robust population size, we conclude that rarity and stochastic
events are not threats to the species.
Cumulative Effects
Many of the stressors discussed in this analysis could work in
concert with each other and result in a cumulative adverse effect to
Deseret milkvetch, i.e., one stressor may make the species more
vulnerable to other threats. For example, stressors discussed under
Factor A that individually do not rise to the level of a threat could
together result in habitat loss. Similarly, small population size in
combination with stressors discussed under Factor A (residential
development, highway maintenance and widening, livestock grazing and
trampling, mineral development, transmission lines, and climate change)
could present a potential concern.
However, most of the potential stressors we identified either have
not occurred to the extent originally anticipated at the time of
listing in 1999 or are adequately managed as described in this final
rule. Furthermore, those stressors that are evident, such as drought
and rarity, appear well-tolerated by the species. In addition, we do
not anticipate stressors to increase on UDWR lands that afford
protections to the species on 67 percent of occupied habitat for the
reasons discussed earlier in this rule. Furthermore, the increases
documented in the abundance and distribution of the species since it
was listed in 1999 do not support a conclusion that cumulative
activities threaten the species.
Summary of Comments and Recommendations
In the proposed rule published in the Federal Register on October
2, 2017 (82 FR 45779), we requested that all interested parties submit
written comments on the proposal by December 1, 2017. We also contacted
appropriate Federal and State agencies, scientific experts and
organizations, and other interested parties and invited them to comment
on the proposal. We did not receive any requests for a public hearing.
All substantive information provided during the comment period has
either been incorporated directly into this final determination or is
addressed below.
Peer Reviewer Comments
In accordance with our peer review policy published on July 1, 1994
(59 FR 34270) and updated guidance issued on August 22, 2016 (USFWS
2016, entire), we solicited expert opinion from three knowledgeable
individuals with scientific expertise that included familiarity with
Deseret milkvetch, its habitat, its biological needs and potential
threats, or principles of conservation biology. We received responses
from all of the peer reviewers.
We reviewed all comments we received from the peer reviewers for
substantive issues and new information regarding the proposed delisting
of Deseret milkvetch. The peer reviewers provided additional
information, clarifications, and suggestions to improve the final rule.
We included their information in this final rule. Two peer reviewers
were supportive of the delisting action. The third provided only minor
technical comments and editorial suggestions on the rule and did
[[Page 52783]]
not express an opinion regarding the action.
Public Comments
We received 15 letters from the public (as well as one from a peer
reviewer) that provided comments on the proposed rule. Of these, six
commenters stated their support for the delisting of Deseret milkvetch,
and six commenters believed that it does not warrant delisting. We also
received three comments that were not directly related to the proposed
action in any way and are not addressed below.
Relevant public comments are addressed in the following summary,
and new information was incorporated into the final rule as
appropriate.
(1) Comment: We received four public comments that the species
should not be delisted based primarily on its limited range and single
population.
Our Response: Rarity or range restriction alone is not a basis for
determining that a species meets the definition of ``endangered
species'' or ``threatened species.'' Our analysis of the best
commercial and scientific information available indicates that the
population of Deseret milkvetch is secure. We also determined that
despite the limited range of this species, stressors either have not
occurred to the extent anticipated at the time of listing in 1999 or
are being adequately managed, or the species is tolerant of the
stressor.
(2) Comment: We received one comment that our proposed delisting
was premature because survey data results from 2016 were not available
at the time of publication of the proposed rule (October 2, 2017). This
commenter suggested that we should not base our decision on information
that was being excluded from public access.
Our Response: The proposed delisting was based on the best
commercial and scientific information available at the time. We did not
have access to 2016 survey data at the time and did not base our
decision on it or withhold this information from the public. Partial
surveys were conducted in 2016, and full surveys were conducted in
2017. This rule has been updated with relevant information from both
years. Survey results are not yet available for 2018.
(3) Comment: We received two public comments suggesting that
additional surveys should be conducted before the species is delisted,
to provide more information on population status and also how stressors
are impacting the population.
Our Response: This final rule includes survey information from
2017, which supports our conclusion that the species has maintained
occupancy and a robust population. Additionally, the post-delisting
monitoring (PDM) plan provides for a minimum of 5 years of annual
monitoring after this rule takes effect. The PDM plan also includes
criteria to determine whether population trends allow for completion of
monitoring, or if additional monitoring or a status review is needed.
We believe this will provide adequate confirmation of population
stability in the absence of the Act's protections.
(4) Comment: We received four public comments supporting the
delisting of Deseret milkvetch on the basis that its listing has
impeded human use on the land it occupies, specifically in regards to
grazing and off-road vehicle use. These comments suggested the species
should be delisted so that grazing and off-road vehicle use could
increase within the habitat.
Our Response: We may only base our determination of the status of a
species on the best available commercial or scientific information. We
may not consider the impact to land management or the demand for other
uses within the species' habitat when determining whether a species is
endangered or threatened, except insofar as to whether such uses
represent stressors that may threaten the species. Additionally, a
conservation agreement for this species remains in effect, and we do
not anticipate existing regulations regarding motorized vehicle use or
grazing in the habitat to change as a result of this delisting. If the
human use of the habitat for recreation, grazing, or other purposes
increase significantly in the future, a reassessment of this species'
status may be initiated.
(5) Comment: We received a comment stating that the lack of a
recovery plan for the species, combined with the voluntary nature of
the existing Conservation Agreement and the fact that only 18 years
remain in the current agreement, means that adequate protections are
not provided to the species in the absence of the protections of the
Act.
Our Response: Recovery plans provide roadmaps to species recovery,
but are not required in order to achieve recovery of a species or to
evaluate it for delisting. Recovery plans are also nonbinding documents
that rely on voluntary participation from landowners, land managers,
and other recovery partners. Additionally, we have no information to
suggest that UDWR, SITLA, and UDOT will not continue to act in good
faith according to the Conservation Agreement as it exists. A listing
decision must consider actions taken by States to provide for the
conservation of a species. Lack of continued implementation of the
Conservation Agreement or large changes in management practices in the
species' habitat by the State of Utah may result in reevaluation of the
status of Deseret milkvetch.
(6) Comment: We received one public comment stating that the
projected development rates in Utah County are likely to negatively
impact Deseret milkvetch habitat to the degree that would constitute a
species-level threat; thus, delisting the species at this time is not
appropriate.
Our Response: We agree that residential development in Utah County
is increasing and that the patterns of such development are not
entirely predictable. However, we have no information to suggest that
development within Deseret milkvetch occupied habitat on private lands
is imminent. Furthermore, development is prohibited within the Birdseye
Wildlife Management Unit, which represents the majority of the known
population. For additional detail, see our threats analysis under A.
The Present or Threatened Destruction, Modification, or Curtailment of
Its Habitat or Range.
(7) Comment: We received a public comment stating that we should
not delist Deseret milkvetch due to our lack of information regarding
the species, particularly in the areas of population biology,
population viability, genetics, phenology, and response to stressors.
Our Response: We utilized the best scientific and commercial
information available for this species in our determination. We
conclude that enough information is available for Deseret milkvetch and
its stressors to adequately evaluate its status. Should additional
research or post-delisting monitoring in the future provide information
that indicates our evaluation is in error or, the species' status has
declined since delisting, we would reevaluate the status of the species
based on this information.
Determination of Species Status
Section 4 of the Act (16 U.S.C. 1533), and its implementing
regulations at 50 CFR part 424, set forth the procedures for
determining whether a species meets the definition of ``endangered
species'' or ``threatened species.'' The Act defines an endangered
species as any species that is ``in danger of extinction throughout all
or a significant portion of its range'' and a threatened species as any
species ``that is likely to become an endangered species within the
foreseeable future throughout all or a significant portion of its
range.'' The Act
[[Page 52784]]
requires that we determine whether a species meets the definition of
``endangered species'' or ``threatened species'' because of any of the
following factors:
(A) The present or threatened destruction, modification, or
curtailment of its habitat or range;
(B) Overutilization for commercial, recreational, scientific, or
educational purposes;
(C) Disease or predation;
(D) The inadequacy of existing regulatory mechanisms; or
(E) Other natural or manmade factors affecting its continued
existence.
The same factors apply whether we are analyzing the species' status
throughout all of its range or a significant portion of its range.
Determination of Status Throughout All of Deseret Milkvetch's Range
We conducted a review of the status of Deseret milkvetch and
assessed the five factors to evaluate whether Deseret milkvetch is in
danger of extinction, or likely to become so in the foreseeable future,
throughout all of its range. We also consulted with species experts and
land management staff with UDWR and UDOT who are actively managing for
the conservation of the species. We carefully assessed the best
scientific and commercial information available regarding the past,
present, and future threats to the species. We considered all of the
stressors identified at the time of listing (1999) as well as newly
identified potential stressors such as mineral development,
transmission lines, and climate change. As previously described, the
stressors considered in our five-factor analysis fall into one or more
of the following categories:
Stressors including residential development, highway
widening, and livestock grazing and trampling have not occurred to the
extent anticipated at the time of listing, and existing information
indicates that the extent of the impact will not change in the future.
Stressors including highway maintenance, livestock
grazing, transmission lines, and mineral development are adequately
managed through the Conservation Agreement.
The species is tolerant of stressors including climate
change, rarity, stochastic events, and cumulative effects, and existing
information indicates that this tolerance will not change in the
future.
These conclusions are supported by the available information
regarding species abundance, distribution, and trends, and are in
agreement with information presented in our advance notice of proposed
rulemaking (72 FR 3379; January 25, 2007), in our 5-year review (U.S.
Fish and Wildlife Service 2011), and in our proposed delisting rule (82
FR 45779; October 2, 2017). Thus, after assessing the best available
information, we conclude that Deseret milkvetch is not in danger of
extinction throughout all of its range, nor is it likely to become so
in the foreseeable future.
Because we determined that Deseret milkvetch is not in danger of
extinction or likely to become so in the foreseeable future throughout
all of its range, we will consider whether the Deseret milkvetch is in
danger of extinction or likely to become so in the foreseeable future
within any significant portions of its range.
Determination of Status Throughout a Significant Portion of Deseret
Milkvetch's Range
Under the Act and our implementing regulations, a species may
warrant listing if it is in danger of extinction or likely to become so
in the foreseeable future throughout all or a significant portion of
its range. The Act defines ``endangered species'' as any species which
is ``in danger of extinction throughout all or a significant portion of
its range,'' and ``threatened species'' as any species which is
``likely to become an endangered species within the foreseeable future
throughout all or a significant portion of its range.'' The term
``species'' includes ``any subspecies of fish or wildlife or plants,
and any distinct population segment [DPS] of any species of vertebrate
fish or wildlife which interbreeds when mature.'' We published a final
policy interpreting the phrase ``significant portion of its range''
(SPR) (79 FR 37578; July 1, 2014). The final policy states that: (1) If
a species is found to be an in danger of extinction or likely to become
so in the foreseeable future throughout a significant portion of its
range, the entire species is listed as an endangered species or a
threatened species, respectively, and the Act's protections apply to
all individuals of the species wherever found; (2) a portion of the
range of a species is ``significant'' if the species is not currently
in danger of extinction or likely to become so in the foreseeable
future throughout all of its range, but the portion's contribution to
the viability of the species is so important that, without the members
in that portion, the species would be in danger of extinction, or
likely to become so in the foreseeable future, throughout all of its
range; (3) the range of a species is considered to be the general
geographical area within which that species can be found at the time
the Service or the National Marine Fisheries Service makes any
particular status determination; and (4) if a vertebrate species is in
danger of extinction or likely to become so in the foreseeable future
throughout an SPR, and the population in that significant portion is a
valid DPS, we will list the DPS rather than the entire taxonomic
species or subspecies.
The SPR policy is applied to all status determinations, including
analyses for the purposes of making the listing, delisting, and
reclassification determinations. However, we acknowledge the recent
adverse ruling by the United States District Court for the Northern
District of California, which has vacated the ``significant portion''
part of the Services' SPR Policy (Desert Survivors, et al. v. U.S.
Department of the Interior, et al., No. 16-cv-01165-JCS (Northern
District of California, Aug. 24, 2018)). The procedure for analyzing
whether any portion is an SPR is similar, regardless of the type of
status determination we are making. The first step in our analysis of
the status of a species is to determine its status throughout all of
its range. If we determine that the species is in danger of extinction,
or likely to become so in the foreseeable future, throughout all of its
range, we list the species as an endangered (or threatened) species,
and no SPR analysis will be required.
When we conduct an SPR analysis, we first identify any portions of
the species' range that warrant further consideration. The range of a
species can theoretically be divided into portions in an infinite
number of ways. However, there is no purpose in analyzing portions of
the range that are not reasonably likely to be significant and either
in danger of extinction or likely to become so in the foreseeable
future. To identify only those portions that warrant further
consideration, we determine whether there is substantial information
indicating that (1) the portions may be significant and (2) the species
may be in danger of extinction in those portions or likely to become so
within the foreseeable future. We emphasize that answering these
questions in the affirmative is not a determination that the species is
in danger of extinction or likely to become so in the foreseeable
future throughout a significant portion of its range--rather, it is a
step in determining whether a more detailed analysis of the issue is
required. In practice, a key part of this analysis is whether the
threats are geographically concentrated in some way. If the threats to
the species are
[[Page 52785]]
affecting it uniformly throughout its range, no portion is likely to
warrant further consideration. Moreover, if any concentration of
threats applies only to portions of the range that clearly do not meet
the biologically based definition of ``significant'' (i.e., the loss of
that portion clearly would not be expected to increase the
vulnerability to extinction of the entire species), those portions will
not warrant further consideration.
If we identify any portions that may be both (1) significant and
(2) in danger of extinction or likely to become so in the foreseeable
future, we engage in a more detailed analysis to determine whether both
of these standards are indeed met. The identification of an SPR does
not create a presumption, prejudgment, or other determination as to
whether the species in that identified SPR is in danger of extinction
or likely to become so in the foreseeable future. We must go through a
separate analysis to determine whether the species is in danger of
extinction or likely to become so in the foreseeable future in the SPR.
To determine whether a species is in danger of extinction or likely to
become so in the foreseeable future throughout an SPR, we will use the
same standards and methodology that we use to determine if a species is
in danger of extinction or likely to become so in the foreseeable
future throughout its range.
Depending on the biology of the species, its range, and the threats
it faces, it may be more efficient to address the ``significant''
question first, or the status question first. Thus, if we determine
that a portion of the range is not ``significant,'' we do not need to
determine whether the species is in danger of extinction or likely to
become so in the foreseeable future. If we determine that the species
is not in danger of extinction or likely to become so in the
foreseeable future in a portion of its range, we do not need to
determine if that portion is ``significant.''
Applying the process described above, to identify whether any
portions warrant further consideration for Deseret milkvetch, we
determine whether there is substantial information indicating that (1)
particular portions may be significant and (2) the species may be in
danger of extinction in those portions or likely to become so within
the foreseeable future. To identify portions that may be significant,
we consider whether any natural divisions within the range might be of
biological or conservation importance. To identify portions where the
species may be in danger of extinction or likely to become so in the
foreseeable future, we consider whether the threats are geographically
concentrated in any portion of the species' range.
We evaluated the range of Deseret milkvetch to determine if any
area may be a significant portion of the range. Based on the small
range of Deseret milkvetch--approximately 345 ac (140 ha) in an area
2.8 mi (4.5 km) by 0.3 mi (0.5 km)--we determined that the species is a
single, contiguous population and that no separate areas of the range
are significantly different from others or likely to be of greater
biological or conservation importance than any other areas due to
natural biological reasons alone. Therefore, there is not substantial
information that logical, biological divisions exist within the
species' range.
After determining no natural biological divisions are delineating
separate portions of the Deseret milkvetch population, we next examined
whether any threats are geographically concentrated in some way that
would indicate the species could be in danger of extinction, or likely
to become so, in that area. There is some difference in livestock
grazing between State and private lands, with little or no grazing on
the 67 percent of habitat occurring on State lands and occasional
potential grazing on the remaining private lands. However, steep
topography limits grazing everywhere, and no fences are separating
State and private lands (U.S. Fish and Wildlife Service 2011, p. 17).
We have reviewed other potential threats and conclude that none of them
is concentrated in any portion of the species' range to affect the
representation, redundancy, or resiliency of the species.
We did not identify any portions of the species' range that are
likely to be both significant and in danger of extinction or likely to
become so in the foreseeable future. Therefore, no portion warrant
further consideration to determine whether the species is in danger of
extinction or likely to become so in the foreseeable future in a
significant portion of its range. We conclude that the species is,
therefore, not an endangered species or threatened species based on its
status in a significant portion of its range.
Determination of Status
We have carefully assessed the best scientific and commercial
information available regarding the past, present, and future threats
to Deseret milkvetch. After review and analysis of the information
regarding stressors as related to the five statutory factors, we find
that the ongoing stressors are not of sufficient imminence, intensity,
or magnitude to indicate that this species is presently in danger of
extinction throughout all or a significant portion of its range.
Additionally, no threats exist currently, nor are any potential
stressors expected to rise to the level that would likely cause the
species to become in danger of extinction in the foreseeable future,
throughout all or a significant portion of the species' range. Because
the species is not in danger of extinction now or the foreseeable
future throughout all of its range or any significant portion of its
range, it does not meet the definition of an endangered species or
threatened species. Therefore we find that Deseret milkvetch no longer
requires the protection of the Act, and we are removing the species
from the List of Endangered and Threatened Plants.
Effects of the Rule
This final rule revises 50 CFR 17.12(h) by removing Deseret
milkvetch from the Federal List of Endangered and Threatened Plants.
The prohibitions and conservation measures provided by the Act,
particularly through sections 7 and 9, no longer apply to this species.
Federal agencies will no longer be required to consult with the Service
under section 7 of the Act in the event that activities they authorize,
fund, or carry out may affect Deseret milkvetch. There is no critical
habitat designated for this species; therefore, this rule does not
affect 50 CFR 17.96.
Post-Delisting Monitoring
Section 4(g)(1) of the Act requires us, in cooperation with the
States, to implement a monitoring program for not less than five years
for all species that have been delisted due to recovery. The purpose of
this requirement is to verify that a species remains secure from risk
of extinction after it has been removed from the protection of the Act.
The monitoring is designed to detect the failure of any delisted
species to sustain itself without the protective measures provided by
the Act. If at any time during the monitoring period, data indicate
that protective status under the Act should be reinstated, we can
initiate listing procedures, including, if appropriate, emergency
listing under section 4(b)(7) of the Act. Section 4(g) of the Act
explicitly requires us to cooperate with the States in development and
implementation of post-delisting monitoring programs, but we remain
responsible for compliance with section 4(g) of the Act and, therefore,
must remain actively engaged in all phases of post-delisting
monitoring. We also seek active participation of other entities that
are
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expected to assume responsibilities for the species' conservation post-
delisting.
We are delisting Deseret milkvetch based on new information we have
received as well as recovery actions taken. Since delisting will be due
in part to recovery, we have prepared the post-delisting monitoring
(PDM) plan for Deseret milkvetch. The PDM plan was prepared in
coordination with the Utah Department of Natural Resources (UDNR) and
UDWR. Monitoring will be a joint effort between UDNR and the Service.
The PDM plan discusses the current status of the species and describes
the methods proposed for monitoring if the species is removed from the
Federal List of Endangered and Threatened Plants. Monitoring will occur
annually for at least five years, beginning in 2019. At the end of 5
years, the species' population status will be evaluated, with three
possible outcomes: (1) If the population is stable or increasing with
no new or increasing stressors, PDM will conclude; (2) if the
population is decreasing, but may be correlated with precipitation
levels and remains above 20,000 plants on the WMA, PDM will be extended
for an additional 3 to 5 years and then the population status will be
reevaluated; or (3) if the population is decreasing without correlation
to precipitation levels, and fewer than 20,000 plants exist on the WMA,
a formal status review will be initiated.
A final PDM plan is available (see ADDRESSES). We will work closely
with our partners to maintain the recovered status of Deseret milkvetch
and ensure post-delisting monitoring is conducted and future management
strategies are implemented (as necessary) to benefit Deseret milkvetch.
Required Determinations
National Environmental Policy Act
We have determined that we do not need to prepare an environmental
assessment or environmental impact statement, as defined under the
authority of the National Environmental Policy Act of 1969 (42 U.S.C.
4321 et seq.), in connection with regulations pursuant to section 4(a)
of the Act. We published a notice outlining our reasons for this
determination in the Federal Register on October 25, 1983 (48 FR
49244).
Government-to-Government Relationship With Tribes
In accordance with the President's memorandum of April 29, 1994,
Government-to-Government Relations with Native American Tribal
Governments (59 FR 22951), E.O. 13175, and the Department of the
Interior's manual at 512 DM 2, we readily acknowledge our
responsibility to communicate meaningfully with recognized Federal
Tribes on a government-to-government basis. In accordance with
Secretarial Order 3206 of June 5, 1997 (American Indian Tribal Rights,
Federal-Tribal Trust Responsibilities, and the Endangered Species Act),
we readily acknowledge our responsibilities to work directly with
Tribes in developing programs for healthy ecosystems, to acknowledge
that tribal lands are not subject to the same controls as Federal
public lands, to remain sensitive to Indian culture, and to make
information available to Tribes. We have determined that no Tribes will
be affected by this rule because no tribal lands are within or adjacent
to Deseret milkvetch habitat.
References Cited
A complete list of all references cited in this final rule is
available at https://www.regulations.gov under Docket No. FWS-R6-ES-
2016-0013, or upon request from the Utah Ecological Services Field
Office (see FOR FURTHER INFORMATION CONTACT).
Authors
The primary authors of this final rule are staff members of the
Service's Mountain-Prairie Region and the Utah Ecological Services
Field Office.
List of Subjects in 50 CFR Part 17
Endangered and threatened species, Exports, Imports, Reporting and
recordkeeping requirements, Transportation.
Regulation Promulgation
Accordingly, we amend part 17, subchapter B of chapter I, title 50
of the Code of Federal Regulations, as set forth below:
PART 17--ENDANGERED AND THREATENED WILDLIFE AND PLANTS
0
1. The authority citation for part 17 continues to read as follows:
Authority: 16 U.S.C. 1361-1407; 1531-1544; and 4201-4245, unless
otherwise noted.
Sec. 17.12 [Amended]
0
2. Amend Sec. 17.12(h) by removing the entry for ``Astragalus
desereticus'' under FLOWERING PLANTS from the List of Endangered and
Threatened Plants.
Dated: August 22, 2018.
James W. Kurth,
Deputy Director, U.S. Fish and Wildlife Service, Exercising the
Authority of the Director, U.S. Fish and Wildlife Service.
[FR Doc. 2018-22718 Filed 10-17-18; 8:45 am]
BILLING CODE 4333-15-P