Endangered and Threatened Wildlife and Plants; Threatened Species Status for West Coast Distinct Population Segment of Fisher With Section 4(d) Rule, 60278-60305 [2019-23737]
Download as PDF
60278
Federal Register / Vol. 84, No. 216 / Thursday, November 7, 2019 / Proposed Rules
DEPARTMENT OF THE INTERIOR
Fish and Wildlife Service
50 CFR Part 17
[Docket No. FWS–R8–ES–2018–0105;
4500030113]
RIN 1018–BD85
Endangered and Threatened Wildlife
and Plants; Threatened Species Status
for West Coast Distinct Population
Segment of Fisher With Section 4(d)
Rule
Fish and Wildlife Service,
Interior.
ACTION: Revised proposed rule;
availability of proposed section 4(d)
rule; and reopening of comment period.
AGENCY:
We, the U.S. Fish and
Wildlife Service (Service), notify the
public that we are making changes to
our October 7, 2014, proposed rule to
list the West Coast Distinct Population
Segment (DPS) of fisher (Pekania
pennanti) as a threatened species under
the Endangered Species Act (Act). Based
on new information since 2014 and a
reconsideration of the best available
information in our files (including all
comments received to date), we are
revising the proposed rule to list the
DPS as a threatened species under the
Act. We also propose a concurrent rule
under section 4(d) of the Act for this
DPS. We are reopening the comment
period to allow comments on the new
information presented in this document
relevant to the changes and proposed
4(d) rule described below. If we finalize
this listing rule as proposed, it would
extend the Act’s protections to this DPS
and, accordingly, add this DPS to the
List of Endangered and Threatened
Wildlife.
DATES: We will accept comments
received or postmarked on or before
December 9, 2019. Please note that if
you are using the Federal eRulemaking
Portal (see ADDRESSES, below), the
deadline for submitting an electronic
comment is 11:59 p.m. Eastern time on
this date. We must receive requests for
public hearings, in writing, at the
address shown in FOR FURTHER
INFORMATION CONTACT by December 23,
2019.
ADDRESSES: You may submit comments
by one of the following methods:
(1) Electronically: Go to the Federal
eRulemaking Portal: https://
www.regulations.gov. In the Search box,
enter FWS–R8–ES–2018–0105, which is
the docket number for this rulemaking.
Then, click on the Search button. On the
resulting page, in the Search panel on
SUMMARY:
VerDate Sep<11>2014
19:51 Nov 06, 2019
Jkt 250001
the left side of the screen, under the
Document Type heading, click on the
Proposed Rule box to locate this
document. You may submit a comment
by clicking on ‘‘Comment Now!’’ Please
ensure that you have found the correct
rulemaking before submitting your
comment.
(2) By hard copy: Submit by U.S. mail
or hand delivery to: Public Comments
Processing, Attn: Docket No. FWS–R8–
ES–2018–0105; U.S. Fish and Wildlife
Service, MS: JAO/1N, 5275 Leesburg
Pike, Falls Church, VA 22041–3803.
We request that you send comments
only by the methods described above.
We will post all comments on https://
www.regulations.gov. This generally
means that we will post any personal
information you provide us (see ‘‘Public
Comments,’’ below). See Information
Requested, below, for more information
on submitting comments on the
proposed rule.
Document availability: The revised
proposed rule is available on https://
www.regulations.gov at Docket No.
FWS–R8–ES–2018–0105 and on our
website at https://www.fws.gov/Yreka.
Comments and materials we received
during previous comment periods for
the preceding proposed rule, as well as
supporting documentation we used in
preparing the preceding proposed rule,
are also available for public inspection
at Docket No. FWS–R8–ES–2014–0041.
In addition, the supporting files for this
revised proposed rule will be available
for public inspection, by appointment,
during normal business hours, at our
Yreka Fish and Wildlife Office, 1829
South Oregon Street, Yreka, CA 96097;
telephone 530–842–5763.
FOR FURTHER INFORMATION CONTACT:
Jenny Ericson, Field Supervisor, Yreka
Fish and Wildlife Office, telephone:
530–842–5763. Direct all questions or
requests for additional information to:
WEST COAST DPS FISHER
QUESTIONS, U.S. Fish and Wildlife
Service, Yreka Fish and Wildlife Office,
1829 South Oregon Street, Yreka, CA
96097. Persons who use a
telecommunications device for the deaf
may call the Federal Relay Service at
1–800–877–8339.
SUPPLEMENTARY INFORMATION:
Executive Summary
Why we need to publish a rule. Under
the Act, if we determine that a species
may be an endangered or threatened
species throughout all or a significant
portion of its range, we are required to
promptly publish a proposal in the
Federal Register and make a
determination on our proposal within 1
year. To the maximum extent prudent
PO 00000
Frm 00002
Fmt 4701
Sfmt 4702
and determinable, we must designate
critical habitat for any species that we
determine to be an endangered or
threatened species under the Act.
Listing a species as an endangered or
threatened species and designation of
critical habitat can only be completed
by issuing a rule.
What this document does. This
document revises the proposed rule to
add the West Coast DPS of fisher
(Pekania pennanti) as a threatened
species to the List of Endangered and
Threatened Wildlife in title 50 of the
Code of Federal Regulations at 50 CFR
17.11(h) and proposes a rule under
section 4(d) of the Act (a ‘‘4(d) rule’’).
The basis for our action. Under the
Act, we may determine that a species is
an endangered or threatened species
based on any of five 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. We
have determined that the threats to the
West Coast DPS of fisher are loss and
fragmentation of habitat resulting from
high-severity wildfire and wildfire
suppression (i.e., loss of snags and other
large habitat structures on which the
species relies, which are removed for
human safety concerns), climate change,
forest insects and tree diseases, and
vegetation management; and potential
direct impacts to individuals (e.g.,
increased mortality, decreased
reproductive rates, increased stress/
hormone levels, alterations in
behavioral patterns) from wildfire,
increased temperatures resulting from
climate change, disease and predation,
exposure to toxicants, and potential
effects associated with small population
size. These factors are resulting in a
cumulative effect to such a degree that
the best available information indicates
the West Coast DPS of fisher meets the
definition of a threatened species.
Peer review. In accordance with our
joint policy on peer review published in
the Federal Register on July 1, 1994 (59
FR 34270), we sought the expert
opinions of multiple appropriate
specialists on the 2014 draft Species
Report to ensure that our decisions are
based on scientifically sound data,
assumptions, and analyses. Information
received has been incorporated into the
final (2016) Species Report and this
revised proposed rule. Because we will
consider all comments and information
received during the comment period,
our final determination may differ from
E:\FR\FM\07NOP3.SGM
07NOP3
Federal Register / Vol. 84, No. 216 / Thursday, November 7, 2019 / Proposed Rules
this proposal. Based on the new
information we receive (and any
comments on that new information), we
may conclude that the species is
endangered instead of threatened, or we
may conclude that the species does not
warrant listing as either an endangered
species or a threatened species. Such
final decisions would be a logical
outgrowth of this proposal as long as
we: (a) Base the decisions on the best
scientific and commercial data available
after considering all of the relevant
factors; (2) do not rely on factors
Congress has not intended us to
consider; and (3) articulate a rational
connection between the facts found and
the conclusions made, including why
we changed our conclusion.
Information Requested
We will accept written comments and
information during this reopened
comment period on our revised
proposed listing for the West Coast DPS
of fisher. We will consider information
and recommendations from all
interested parties. We intend that any
final action resulting from this revised
proposal be as accurate as possible and
based on the best available scientific
and commercial data.
We are particularly interested in new
information and comments regarding:
(1) Information related to
anticoagulant and neurotoxicant
rodenticides, and other toxicants,
including law enforcement information
and trend data.
(2) Information regarding population
trend studies or data for the West Coast
DPS of fisher, including information
regarding areas that have been surveyed
compared to areas that have not been
surveyed, as well as all positive and
negative survey results to help us assess
distribution and population trends.
(3) Information regarding the threat of
wildfire, including studies or
information pertaining to current and
future trends in wildfire frequency and
severity, as well as information
pertaining to the immediate response of
fishers to post-fire landscapes in the
West Coast DPS of fisher.
(4) Information regarding changes in
low- to mid-elevation forests in different
eco-regions within the range of the West
Coast DPS of fisher, including scope and
severity of vegetation management on
Federal and non-Federal lands.
(5) Information regarding any effects
associated with population size and
isolation relevant to the West Coast DPS
of fisher (e.g., low reproductive
capacity, inbreeding depression,
demographic and environmental
stochasticity).
VerDate Sep<11>2014
19:51 Nov 06, 2019
Jkt 250001
(6) Information regarding any effects
of ongoing and widespread tree
mortality in the Sierra Nevada range on
the West Coast DPS of fisher.
(7) Information regarding any
conservation efforts designed to benefit
the West Coast DPS of fisher that have
been planned or implemented since the
October 7, 2014, proposed rule.
(8) Information regarding our revised
DPS determination.
(9) Information on regulations that are
necessary and advisable for the
conservation of the West Coast DPS of
fisher to include in a section 4(d) rule
for the species. Section 4(d) of the Act
provides that when a species is listed as
a threatened species, the Secretary shall
issue such regulations as he deems
necessary and advisable to provide for
the conservation of such species. The
Service has proposed such measures
here and will evaluate ideas provided
by the public in considering the
prohibitions that are appropriate to
include in the 4(d) rule.
(10) The reasons why we should or
should not designate habitat as ‘‘critical
habitat’’ under section 4 of the Act (16
U.S.C. 1531 et seq.) including
information to inform the following
factors such that a designation of critical
habitat may be determined to be not
prudent:
(a) The species is threatened by taking
or other human activity and
identification of critical habitat can be
expected to increase the degree of such
threat to the species;
(b) The present or threatened
destruction, modification, or
curtailment of a species’ habitat or range
is not a threat to the species, or threats
to the species’ habitat stem solely from
causes that cannot be addressed through
management actions resulting from
consultations under section 7(a)(2) of
the Act;
(c) Areas within the jurisdiction of the
United States provide no more than
negligible conservation value, if any, for
a species occurring primarily outside
the jurisdiction of the United States;
(d) No areas meet the definition of
critical habitat;
(11) Specific information on:
(a) The amount and distribution of
habitat for the West Coast DPS of fisher,
(b) What areas, that are considered
occupied at the time of listing and that
contain the physical or biological
features essential to the conservation of
the species, should be included in the
designation and why,
(c) Special management
considerations or protection that may be
needed in critical habitat areas we may
propose, including managing for the
potential effects of climate change, and
PO 00000
Frm 00003
Fmt 4701
Sfmt 4702
60279
(d) What areas not occupied at the
time of listing are essential for the
conservation of the species. We
particularly seek comments regarding:
(i) Whether occupied areas are
inadequate for the conservation of the
species; and,
(ii) Specific information that may
support a determination that
unoccupied areas will, with reasonable
certainty, contribute to the conservation
of the species and, contain at least one
physical or biological feature essential
to the conservation of the species.
(12) Any probable economic, national
security, or other relevant impacts of
designating any area that may be
included in a proposed and final
designation, and the benefits of
including or excluding areas that may
be impacted.
As indicated under SUMMARY, above, if
you previously submitted comments or
information on the October 7, 2014,
proposed rule, please do not resubmit
them. We have incorporated previously
submitted comments into the public
record, and we will fully consider them
in the preparation of our final
determination. Our final determination
concerning this revised proposed listing
will take into consideration all written
comments and any additional
information we have received since
April 18, 2016 (81 FR 22710).
You may submit your comments and
materials concerning the revised
proposed rule by one of the methods
listed in ADDRESSES. We request that
you send comments only by the
methods described in ADDRESSES.
If you submit information via https://
www.regulations.gov, your entire
submission—including any personal
identifying information—will be posted
on the website. If your submission is
made via a hardcopy that includes
personal identifying information, you
may request at the top of your document
that we withhold this information from
public review. However, we cannot
guarantee that we will be able to do so.
We will post all hardcopy submissions
on https://www.regulations.gov.
Public Hearing
Section 4(b)(5) of the Act provides for
one or more public hearings on this
proposal, if requested. Requests for
public hearings must be received by the
date specified in DATES at the address
shown in FOR FURTHER INFORMATION
CONTACT. We will schedule public
hearings on this proposal, if any are
requested, and announce the dates,
times, and places of those hearings, as
well as how to obtain reasonable
accommodations, in the Federal
E:\FR\FM\07NOP3.SGM
07NOP3
60280
Federal Register / Vol. 84, No. 216 / Thursday, November 7, 2019 / Proposed Rules
Register and local newspapers at least
15 days before the hearing.
Previous Federal Actions
We first found the West Coast DPS of
fisher (previously delineated as a
contiguous area encompassing parts of
the three States of Washington, Oregon,
and California) to be warranted for
listing in 2004 and each subsequent year
in the annual Candidate Notice of
Review. On October 7, 2014, we
proposed to list the West Coast DPS of
fisher as a threatened species under the
Endangered Species Act of 1973, as
amended (Act; 16 U.S.C. 1531 et seq.)
(79 FR 60419; Docket No. FWS–R8–ES–
2014–0041). On April 18, 2016, we
withdrew the proposed rule to list the
West Coast DPS of fisher (81 FR 22710),
concluding that the potential threats
(stressors) acting upon the DPS were not
of sufficient imminence, intensity, or
magnitude to indicate that they were
singly or cumulatively resulting in
significant impacts at either the
population or rangewide scales.
On October 19, 2016, the Center for
Biological Diversity, Environmental
Protection Information Center, KlamathSiskiyou Wildlands Center, and Sierra
Forest Legacy filed a complaint for
declaratory and injunctive relief,
alleging that our determination on the
West Coast DPS of fisher violated the
Act. By Order Re: Summary Judgment
issued on September 21, 2018, the
District Court for the Northern District
of California vacated the listing
withdrawal and remanded the Service’s
final determination for reconsideration.
The Court’s amended order, dated
November 20, 2018, directs the Service
to prepare a new determination by
September 21, 2019.
On January 31, 2019, we reopened the
comment period on the October 7, 2014,
proposed rule to list the DPS as a
threatened species (84 FR 644).
On May 17, 2019, the District Court
for the Northern District of California
granted a request by the Service for a 35day extension to comply with the
November 20, 2018, order as a result of
delays due to the Federal Government’s
lapse in appropriations that prohibited
the Service from working on this
determination. The Court’s amended
order directed the Service to submit for
publication a final listing determination
or notice of a revised proposed rule by
October 26, 2019, and in the event of
publishing a revised proposed rule,
submit for publication a final listing
determination by April 25, 2020.
Additional information on Federal
actions concerning the West Coast DPS
of fisher prior to October 7, 2014, is
outlined in the October 7, 2014,
VerDate Sep<11>2014
19:51 Nov 06, 2019
Jkt 250001
proposed listing rule (79 FR 60419)
(hereafter referred to as the 2014
Proposed Rule).
Summary of Changes From the 2014
Proposed Rule
In this revised proposed listing rule,
we incorporate additional information
regarding the fishers, their habitat, and
threats potentially impacting the species
or its habitat; make clarifications
regarding the delineation of the DPS;
include a proposed 4(d) rule; and
provide some changes to the structure of
the rule as they relate to our analysis
and policy information. Specifically:
(1) We have revised our delineation of
the DPS for the West Coast population
of fishers. In the 2014 Proposed Rule,
we explained that the West Coast DPS
encompassed the area where fishers
historically occurred throughout
western Washington, western Oregon,
and California to the Sierra Nevada. We
further elaborated that the West Coast
DPS occurred in two original native
populations (Northern CaliforniaSouthwestern Oregon Population
[NCSO] and the Southern Sierra Nevada
Population [SSN]), three reintroduced
populations (Northern Sierra Nevada
Reintroduced Population [NSN] in
California, Southern Oregon Cascades
Reintroduced Population [SOC] in
Oregon, and the Olympic Peninsula
Reintroduced Population [ONP] in
Washington). In this revised proposed
listing rule, the West Coast DPS is now
identified as comprising the two extant
historically native subpopulations,
NCSO and SSN, as well as the NSN and
SOC subpopulations that resulted from
reintroductions within a portion of the
historical range of the DPS. Our
decision to revise the DPS was
predominantly based on: (a) The
apparent absence of any extant
historically native subpopulations in
Washington or northern Oregon; and (b)
the marked separation of the fisher
subpopulations in the NCSO, SOC,
NSN, and SSN from fishers
reintroduced in Washington.
(2) The structure of this revised
proposed rule varies slightly from the
2014 Proposed Rule. Information is
organized in roughly the same order,
although new sections have been added
or sections have been revised to
accommodate new information received
since 2014; we have also updated policy
standards and added discussion where
relevant (e.g., addition of a section on
the DPS’s resiliency, redundancy, and
representation).
(3) New information has been added
to this revised proposed rule that was
not available for the 2014 Proposed Rule
or 2014 draft Species Report (Service
PO 00000
Frm 00004
Fmt 4701
Sfmt 4702
2014, entire). Our record also includes
our 2016 final Species Report (Service
2016, entire).
(4) At the time of the 2014 Proposed
Rule, fisher populations in Oregon and
California were identified and described
as the historically native extant NCSO
and SSN subpopulations, the NSN
subpopulation established with fishers
from the NCSO subpopulation, and the
SOC subpopulation established with
fishers from British Columbia and
Minnesota populations. Since that time,
the best available information indicates
that the range of the NCSO
subpopulation is adjacent to the range of
the (reintroduced) SOC subpopulation,
with documented interbreeding activity
occurring in the SOC range (Pilgrim and
Schwartz 2016, entire; Pilgrim and
Schwartz 2017, entire). Therefore, we
determined it was appropriate to
conduct our new evaluation of the
status of the DPS by including the
contribution of the SOC, along with the
other three subpopulations (NCSO, SSN,
and NSN), to the DPS’s overall viability.
(5) We added a proposed section 4(d)
rule because we determined it was
necessary and advisable to issue
protective regulations in order to reduce
the likelihood of the West Coast DPS of
fisher becoming an endangered species.
Under our proposed section 4(d) rule,
with specific exceptions, all
prohibitions and provisions that apply
to endangered wildlife under section
9(a)(1) of the Act would apply to the
DPS. The specific exceptions from
prohibitions include forestry
management activities for the purposes
of reducing the risk or severity of
wildfires, forestry management
activities pursuant to an approved fisher
conservation plan or strategy, forestry
management activities that are
consistent with the conservation needs
of the fisher but are not specifically
designed as fisher conservation plans or
strategies, and management activities
designed to identify and clean-up
toxicant-contaminated sites.
Distinct Population Segment Analysis
Under section 3(16) of the Act, we
may consider for listing any species,
including subspecies, of fish, wildlife,
or plants, or any DPS of vertebrate fish
or wildlife that interbreeds when mature
(16 U.S.C. 1532(16)). Such entities are
considered eligible for listing under the
Act (and, therefore, are referred to as
listable entities), should we determine
that they meet the definition of an
endangered or threatened species.
Under the Service’s DPS Policy, three
elements are considered in the decision
concerning the determination and
classification of a possible DPS as
E:\FR\FM\07NOP3.SGM
07NOP3
Federal Register / Vol. 84, No. 216 / Thursday, November 7, 2019 / Proposed Rules
threatened or endangered. These
elements include:
(1) The discreteness of a population in
relation to the remainder of the species
to which it belongs;
(2) The significance of the population
segment to the species to which it
belongs; and
(3) The population segment’s
conservation status in relation to the
Act’s standards for listing, delisting, or
reclassification (i.e., is the population
segment endangered or threatened).
In considering a DPS analysis for
fisher involving the segment of the
species’ distribution that historically
occupied suitable habitat in portions of
the three Pacific Coast States (western
Washington, western Oregon, and
northern California and the Sierra
Nevada mountain range, i.e., the West
Coast range), we examined information
in published range maps, published
works that included historical
occurrences, unpublished studies
related to fisher distribution, and other
submitted data, including comments
received previously and during the most
recent comment period (January 31,
2019; 84 FR 644). The historical
distribution of fishers in this West Coast
range is discussed in detail in the
‘‘Prehistorical and Historical
Distribution across the Range of the
Species’’ section of the final Species
Report (Service 2016, pp. 25–26). As
described above in Summary of Changes
from the 2014 Proposed Rule, the
current distribution of fishers in the
West Coast range comprises various
subpopulations, including several that
had been established by introducing
fishers taken from other parts of the
species’ range into areas in the West
Coast range that supported fishers
historically. These ‘‘nonnative’’ fishers,
from British Columbia and Alberta,
Canada, as well as from Minnesota, have
established breeding populations in
various parts of Washington (British
Columbia- and Alberta-origin fishers)
and southern Oregon (SOC; British
Columbia- and Minnesota-origin
fishers). These subpopulations of
nonnative fishers in the West Coast
range are in addition to the extant
historically native subpopulations
(NCSO and SSN) in southern Oregon
and California. Therefore, while the
West Coast range of fishers was
historically occupied by fishers native
to this region, it is now occupied both
by fishers native to the three Pacific
Coast States, as well as by fishers whose
lineage was derived from nonnative
fishers.
Further examination of this
distribution clarifies that the northern
portion of the West Coast range, the
VerDate Sep<11>2014
19:51 Nov 06, 2019
Jkt 250001
State of Washington and the northern
part of Oregon, appears unoccupied by
any subpopulations of native fishers,
but nonnative fishers reintroduced in
the State of Washington continue to
persist and reproduce in several areas
(although it is too soon to conclude that
these breeding individuals will persist).
By contrast, the southern portion of the
West Coast range (i.e., southern Oregon,
northern California, and the southern
Sierra Nevada) is predominantly
occupied by subpopulations of native
fishers. However, this southern portion
of the range also includes the SOC
subpopulation of reintroduced
nonnative fishers, which has now been
documented as interbreeding with
native fishers of the NCSO (Pilgrim and
Schwartz 2016, entire; Pilgrim and
Schwartz 2017, entire).
Our 2014 Proposed Rule represented
our response to the petition that was
filed seeking the listing of the West
Coast DPS of fisher, consisting of fishers
in Washington, Oregon, and California.
At that time, we recognized that the
West Coast DPS encompassed the area
where fishers historically occurred
throughout western Washington,
western Oregon, and California to the
Sierra Nevada. We are now proposing a
different DPS based on the apparent
absence of any extant, historically
native subpopulations in Washington or
northern Oregon, and the marked
separation of the fisher subpopulations
within the newly identified DPS to the
fishers that have been reintroduced from
British Columbia and Alberta into the
Olympic National Park and the southern
and northern Washington Cascades in
Washington State. Based on this
demographic and geographic disparity
between the northern and southern
portions of the range, coupled with the
fact that there is currently no tangible
connection between nonnative fishers in
the northern portion and the native and
nonnative fishers occupying the
southern portion, we now have
determined that the appropriate DPS to
consider in this evaluation was the
segment consisting of the southern
subpopulations, i.e., NCSO, SSN, NSN,
and SOC. Below, we summarize
discreteness and significance for this
DPS.
Discreteness
Under the DPS policy, a population
segment of a vertebrate taxon may be
considered discrete if it satisfies either
one of the following conditions:
(1) It is markedly separated from other
populations of the same taxon as a
consequence of physical, physiological,
ecological, or behavioral factors.
Quantitative measures of genetic or
PO 00000
Frm 00005
Fmt 4701
Sfmt 4702
60281
morphological discontinuity may
provide evidence of this separation.
(2) It is delimited by international
governmental boundaries within which
differences in control of exploitation,
management of habitat, conservation
status, or regulatory mechanisms exist
that are significant in light of section
4(a)(1)(D) of the Act.
The West Coast DPS of fisher is
markedly separate from other North
American fisher populations of the east
by enormous distances, geographical
barriers, unsuitable habitat, and urban
development. Fishers in this DPS are
separated from the Rocky Mountains
and the rest of the taxon in the central
and eastern United States by natural
physical barriers including the
nonforested high desert areas of the
Great Basin in Nevada and eastern
Oregon. Other physical barriers that
separate the West Coast population from
Rocky Mountain and eastern U.S. fisher
populations include major highways,
urban and rural open-canopied areas,
agricultural development, and other
nonforested areas. In addition, all West
Coast DPS subpopulations are markedly
separate from the nearest other fisher
populations to the north by
approximately 270 miles (mi) (430
kilometers (km)), well beyond the
various reported dispersal distances (as
described in more detail in Service
2016, pp. 13–14). An additional
component contributing to marked
separation between the DPS
subpopulations and fishers in
Washington is the Columbia River and
adjacent human developments (e.g.,
roads and towns), which likely acts as
a physical impediment to crossing by
any fishers dispersing in either
direction. Therefore, it is extremely
unlikely that any transient individuals
from the DPS subpopulations could
disperse far enough to reach the
Washington range of reintroduced
fishers, and even if they attempted to do
so, they would likely not be able to
cross the Columbia River. In summary,
the subpopulations comprising the West
Coast DPS of fisher are all
geographically isolated from all other
subpopulations of the species.
Therefore, the marked separation
condition for discreteness is met by
geographical barriers, urban
development, and distances that are
beyond the known dispersal distance of
fishers.
Significance
If a population segment is considered
discrete under one or more of the
conditions described in the Service’s
DPS policy, its biological and ecological
significance will be considered in light
E:\FR\FM\07NOP3.SGM
07NOP3
60282
Federal Register / Vol. 84, No. 216 / Thursday, November 7, 2019 / Proposed Rules
of Congressional guidance that the
authority to list DPSs be used
‘‘sparingly’’ (see Senate Report 151, 96th
Congress, 1st Session). In making this
determination, we consider available
scientific evidence of the DPS’s
importance to the taxon to which it
belongs. Since precise circumstances are
likely to vary considerably from case to
case, the DPS policy does not describe
all the classes of information that might
be used in determining the biological
and ecological importance of a discrete
population. However, the DPS policy
describes four possible classes of
information that provide evidence of a
population segment’s biological and
ecological importance to the taxon to
which it belongs. As specified in the
DPS policy (61 FR 4722, February 7,
1996), this consideration of the
population segment’s significance may
include, but is not limited to, the
following:
(1) Persistence of the DPS in an
ecological setting unusual or unique to
the taxon;
(2) Evidence that loss of the DPS
would result in a significant gap in the
range of a taxon;
(3) Evidence that the DPS represents
the only surviving natural occurrence of
a taxon that may be more abundant
elsewhere as an introduced population
outside its historical range; or
(4) Evidence that the DPS differs
markedly from other populations of the
species in its genetic characteristics.
To be considered significant, a
population segment needs to satisfy
only one of these conditions, or other
classes of information that might bear
on the biological and ecological
importance of a discrete population
segment, as described in the DPS policy
(61 FR 4722, February 7, 1996). For the
fisher, we found that loss of the West
Coast DPS would result in a significant
gap in the range of the taxon. Losing the
West Coast DPS would significantly
impact representation of the species by
shifting the southern boundary of the
taxon approximately 900 mi (1,448 km)
to the north. Therefore, the significance
element of the DPS policy is met for the
West Coast DPS of fisher.
Summary of DPS Analysis
Given that both the discreteness and
significance elements of the DPS policy
are met, we find that the West Coast
DPS of fisher is a valid DPS, and
therefore a listable entity under the Act.
We now assess the DPS’s conservation
status in relation to the Act’s standards
for listing (i.e., whether this DPS meets
the definition of an endangered or
threatened species under the Act).
VerDate Sep<11>2014
19:51 Nov 06, 2019
Jkt 250001
Background
At the time of the 2014 Proposed
Rule, a comprehensive draft Species
Report (Service 2014, entire) was
prepared that included new genetic and
survey information. This report was
subsequently updated in 2016 with
additional information related to
taxonomy, habitat, life-history
characteristics (e.g., reproduction),
habitat description, habitat use (e.g.,
dispersal and food habits), distribution
and abundance, and potential threats
across Washington, Oregon, and
California (Service 2016, entire).
Information related to the resources on
which the species relies, conditions the
species may experience currently or in
the future, and threats (i.e., an activity
or process that may have some negative
effect on fishers or their habitat) are
outlined in these reports and
summarized herein where applicable.
These reports, coupled with new
information available since 2016 and
our reconsideration of the best available
scientific and commercial data,
including comments received in
connection with the 2014 Proposed Rule
and our January 31, 2019 (84 FR 644),
Federal Register document, provide the
scientific basis that informs our
regulatory decision regarding the range
of the DPS, and whether the DPS should
be listed as an endangered or threatened
species under the Act. New information
available since 2016 and the results of
our reconsideration of the best available
scientific and commercial information
are presented in this revised proposed
rule.
I. Revised Proposed Listing
Determination
Species Information and Distribution
The fisher is a medium-sized, light
brown to dark blackish-brown mammal
found only in North America, with the
face, neck, and shoulders sometimes
being slightly gray, and the chest and
underside often having irregular white
patches. The fisher is classified in the
order Carnivora, family Mustelidae,
which is a family that also includes
weasels, mink, martens, and otters
(Service 2016, p. 8). The occurrence of
fishers at regional scales is consistently
associated with low- to mid-elevation
coniferous and mixed conifer and
hardwood forests with characteristics of
mid- and late-successional forests (e.g.,
diverse successional stages, moderate to
dense forest canopies, large-diameter
trees, coarse downed wood, and
singular features of large snags, tree
cavities, or deformed trees). Throughout
their range, fishers are obligate users of
tree or snag cavities for denning, and
PO 00000
Frm 00006
Fmt 4701
Sfmt 4702
they select resting sites with a high
proportion of characteristics of latesuccessional forests. These
characteristics are maintained and
recruited in the forest through
ecological processes such as fire, insectrelated tree mortality, disease, and
decay (e.g., Service 2016, pp. 64, 123–
124).
Fishers on the west coast of the
continent have historically occurred in
British Columbia, Washington, Oregon,
and California. Fishers native to the
west coast in the contiguous United
States were historically well distributed
in the habitats described above, from the
State of Washington south through
Oregon, and into northern California
and the Sierra Nevada mountains.
Subpopulations of these native fishers
still occur in northern California/
southwestern Oregon and the Sierra
Nevada; however, populations of native
fishers were extirpated from
Washington (Lewis and Hayes 2004, p.
1) and northern Oregon (Aubry and
Lewis 2003, pp. 81–82). Recent surveys
in the northern Oregon Cascades
yielded no fishers (Moriarty et al. 2016,
entire), suggesting they remain absent in
this area, whereas surveys in the
southern Oregon Cascades suggest fisher
range may be contracting to the south
(Barry 2018, pp. 22–23) relative to
where we estimated the fisher’s range to
be in the southern Oregon Cascades in
both 2014 and 2016 (Service 2014 and
2016, entire). Fishers now occurring and
reproducing in Washington were
established using fishers translocated
from outside this three-State region.
Fishers from British Columbia were
reintroduced to the Olympic Peninsula
from 2008 to 2010 (Happe et al. 2017,
p. viii), and to the Washington Cascade
Range south of Mt. Rainier from 2015 to
2017 (Lewis et al. 2018, p. 5).
Reproduction has been documented in
both areas. Beginning in 2018, fishers
from Alberta were released in the
northern Washington Cascades in North
Cascades National Park; translocations
are expected to continue over the next
2 years in this area, completing planned
reintroductions for western Washington
(Hayes and Lewis 2006, p. 35).
Fishers were once well distributed
throughout their historical range in the
habitats described above. Now in
Oregon and California, outside of the
existing NCSO and SSN known
subpopulations in Oregon and
California (see figure 2, below), fishers
are considered likely extirpated.
Additionally, in California, recent
survey efforts have not detected fishers
south of the reintroduced NSN
E:\FR\FM\07NOP3.SGM
07NOP3
Federal Register / Vol. 84, No. 216 / Thursday, November 7, 2019 / Proposed Rules
60283
subpopulation or north of the SSN
subpopulation.
BILLING CODE 4333–15–C
Additional information on the
species’ biology and distribution is
described in the final Species Report
(Service 2016, pp. 9–12, 25–53).
VerDate Sep<11>2014
19:51 Nov 06, 2019
Jkt 250001
Summary of Biological Status and
Threats
Section 4 of the Act (16 U.S.C. 1533)
and its implementing regulations (50
CFR part 424) set forth the procedures
for determining whether a species is an
PO 00000
Frm 00007
Fmt 4701
Sfmt 4702
‘‘endangered species’’ or a ‘‘threatened
species.’’ The Act defines an
endangered species as a species that is
‘‘in danger of extinction throughout all
or a significant portion of its range,’’ and
a threatened species as a species that is
E:\FR\FM\07NOP3.SGM
07NOP3
EP07NO19.000
BILLING CODE 4333–15–P
60284
Federal Register / Vol. 84, No. 216 / Thursday, November 7, 2019 / Proposed Rules
‘‘likely to become an endangered
species within the foreseeable future
throughout all or a significant portion of
its range.’’ The Act requires that we
determine whether any species is an
‘‘endangered species’’ or a ‘‘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. These factors represent broad
categories of natural or human-caused
actions or conditions that could have an
effect on a species’ continued existence.
In evaluating these actions and
conditions, we look for those that may
have a negative effect on individuals of
the species, as well as other actions or
conditions that may ameliorate any
negative effects or may have positive
effects.
We use the term ‘‘threat’’ to refer in
general to actions or conditions that are
known to or are reasonably likely to
negatively affect individuals of a
species. The term ‘‘threat’’ includes
actions or conditions that have a direct
impact on individuals (direct impacts),
as well as those that affect individuals
through alteration of their habitat or
required resources (stressors). The term
‘‘threat’’ may encompass—either
together or separately—the source of the
action or condition or the action or
condition itself.
However, the mere identification of
any threat(s) does not necessarily mean
that the species meets the statutory
definition of an ‘‘endangered species’’ or
a ‘‘threatened species.’’ In determining
whether a species meets either
definition, we must evaluate all
identified threats by considering the
expected response by the species, and
the effects of the threats—in light of
those actions and conditions that will
ameliorate the threats—on an
individual, population, and species
level. We evaluate each threat and its
expected effects on the species, and
then analyze the cumulative effect of all
of the threats on the species as a whole.
We also consider the cumulative effect
of the threats in light of those actions
and conditions that will have positive
effects on the species—such as any
existing regulatory mechanisms or
conservation efforts. The Secretary
determines whether the species meets
the definition of an ‘‘endangered
species’’ or a ‘‘threatened species’’ only
after conducting this cumulative
analysis and describing the expected
VerDate Sep<11>2014
19:51 Nov 06, 2019
Jkt 250001
effect on the species now and in the
foreseeable future. In our determination,
we correlate the threats acting on the
species to the factors in section 4(a)(1)
of the Act.
Current Condition of the West Coast
DPS of Fisher
Following are brief accounts of the
NCSO (and by inclusion the SOC and
NSN subpopulations) and SSN
subpopulations. Primary threats are
introduced in these summaries and
described in more detail below in the
‘‘Risk Factors for the West Coast DPS of
Fisher’’ section. Additional detail is also
found in the ‘‘Review of Stressors’’
section of the final Species Report
(Service 2016, pp. 53–162), although we
provide updated/new information since
2016 in this document, when
applicable. Regulatory and voluntary
conservation efforts resulting from the
plans and strategies being implemented
within both subpopulations were
previously described in detail in the
2016 final Species Report, and are
updated in this document.
However, as explained in more detail
below in the ‘‘Existing Regulatory
Mechanisms and Voluntary
Conservation Measures’’ section of this
rule, we determined that we did not
need to evaluate these voluntary
conservation efforts under our Policy for
Evaluation of Conservation Efforts
When Making Listing Decisions (PECE;
68 FR 15100). While it is reasonably
likely these conservation efforts will
provide some benefit for fishers, we also
note that these benefits will be realized
at more of an individual fisher/local
scale where implemented, and not
necessarily at a scale and magnitude
sufficient to ameliorate the primary
significant threats imperiling the DPS.
Therefore, while we acknowledge that
the DPS may see conservation benefits
from these efforts, we recognize that
these benefits will not be sufficient to
outweigh the DPS’s primary threats, and
as such, there is no reason to evaluate
these conservation efforts under PECE
for certainty of implementation and
effectiveness.
NCSO—Northern CaliforniaSouthwestern Oregon Subpopulation
Abundance information for the NCSO
population is presented based on three
different geographic portions of this
subpopulation. First, the SOC portion
west of Crater Lake is predominantly
represented by nonnative, reintroduced
individuals. However, recent analyses
have documented that at least some of
these nonnative SOC individuals and
native NCSO individuals are
overlapping in range, with confirmed
PO 00000
Frm 00008
Fmt 4701
Sfmt 4702
interbreeding (Pilgrim and Schwartz
2016, entire; Pilgrim and Schwartz
2017, entire). Second, the NSN portion
is represented by native, reintroduced
fishers whose genetic stock is from
fishers relocated from the KlamathSiskiyou and Shasta-Trinity subregions
(in the historically native NCSO
subpopulation) to the northern Sierra
Nevada. This geographic portion of the
NCSO subpopulation occurs on land
known as the SPI Stirling Management
Unit in Butte, Plumas, and Tehama
Counties, California (Powell et al. 2019,
p. 2). Third, the remainder of the native
fishers in the NCSO subpopulation
occupy the California Coast Range
mountains in southern Oregon and
northern California, the KlamathSiskiyou and Shasta-Trinity subregions
in northern California, and the western
portion of the southern Cascades in
northern California.
Fishers in the SOC portion of the
NCSO subpopulation stem from a
translocation of 30 fishers from British
Columbia and Minnesota to the
southeastern Cascade Range and west of
Crater Lake between 1977 and 1981,
after an earlier reintroduction in 1961
failed (Aubry and Lewis 2003, p. 84;
Lofroth et al. 2010, pp. 43–44). Based on
survey and research efforts starting in
1995, genetic evidence shows these
fishers continue to persist (Drew et al.
2003, p. 57; Aubry et al. 2004, pp. 211–
215; Wisely et al. 2004, p. 646; Pilgrim
and Schwartz 2014–2017, entire;
Moriarity et al. 2017, entire; Barry 2018,
pp. 6, 22–24). Prior to 2015, survey
work in the Oregon Cascades north of
the NCSO subpopulation was mainly
limited to opportunistic or small-scale
efforts. Fishers had not been detected,
except for two single fishers: One
detected just north of the SOC
subpopulation in 2014 (Wolfer 2014,
pers. comm.); and a single dispersing
juvenile male detected in the same
general area in the 1990s (Aubry and
Raley 2006, p. 5), suggesting individuals
may disperse north through the central
Oregon Cascades. Over the winter of
2015–2016, systematic camera surveys
occurred in the northern Oregon
Cascades (specifically, the southern
portion of the Mt. Hood National Forest
and northern portion of the Willamette
National Forest). No fishers were
detected (Moriarty et al. 2016, entire),
suggesting fishers may not reach this far
north in the Oregon Cascades.
Additionally, surveys over the past 3
years have not detected fishers north of
the Rogue River in the central Oregon
Cascades (Barry 2018, pp. 22–23) (see
below).
Information is not available on
population size for the SOC portion of
E:\FR\FM\07NOP3.SGM
07NOP3
Federal Register / Vol. 84, No. 216 / Thursday, November 7, 2019 / Proposed Rules
the NCSO subpopulation. In the
northern portion of the SOC area, fishers
were detected in the northern and
eastern portions of Crater Lake National
Park between 2013 and 2015 (Mohren
2016, pers. comm.). However,
systematic surveys were conducted in
2016 and 2017 north and east of Crater
Lake National Park and south to the
Klamath Falls Resource Area (KFRA;
south of the reintroduction area) of the
Bureau of Land Management (BLM)
Lakeview District (Barry 2018, entire).
Few fishers were detected in an area
east of Crater Lake National Park where
fishers were captured and radio-collared
in the early 1990s by Aubry and Raley
(2002, entire). Fishers were found on the
KFRA, south of where they were
previously estimated to occur, and in
areas where they were not previously
detected (Hayner 2016, pers. comm.).
These results suggest that fisher in the
SOC area ‘‘appears to have contracted,
shifted south, or the previous
population extent was incorrectly
estimated’’ (Barry 2018, pp. 22–24).
Fishers in the NSN portion of the
NCSO subpopulation stem from a 2009
to 2011 translocation of 40 fishers (24
females, 16 males) from Humboldt,
Siskiyou, and Trinity Counties,
California, to the Sierra Pacific
Industries (SPI) Stirling Management
Unit in Butte, Plumas, and Tehama
Counties, California. Ongoing
monitoring has confirmed that fishers
born onsite have established home
ranges and have successfully
reproduced. Trapping efforts in the fall
of 2017 as part of ongoing monitoring of
the reintroduced subpopulation indicate
a minimum of 61 fishers (38 females, 23
males), which is 21 more than were
originally introduced (Powell et al.
2019, p. 2).
Older estimates for the NCSO
subpopulation (excluding the SOC and
NSN reintroduced subpopulations)
using various methodologies range from
a low of 258–2,850 individuals, based
on genetic data (Tucker et al. 2012, pp.
7, 9–10), to a high of 4,018 individuals
based on extrapolation of data from two
small study areas within the NCSO
subpopulation to the entire NCSO
subpopulation (Self et al. 2008, pp.
3–5). In 2017, a new estimate was
developed for the NCSO subpopulation
that includes southern Oregon and
coastal California but excludes SOC and
NSN (Furnas et al. 2017, pp. 2–3).
Furnas et al. (2017) based their estimate
of population size on the assumption of
a density of 6.6 fishers per 39 mi2 (100
km2) across the area they defined for the
NCSO subpopulation (rationale
described in detail in Furnas et al. 2017,
pp. 12–15). Using this estimate of fisher
VerDate Sep<11>2014
19:51 Nov 06, 2019
Jkt 250001
density, the NCSO subpopulation is
estimated to be 3,196 individuals
(2,507–4,184; 95 percent Confidence
Interval (C.I.)) Furnas et al. 2017, p. 12).
With the exception of the reintroduced
NSN subpopulation area estimate,
which is based on trapping results, Self
et al. (2008) and Furnas et al. (2017)
base their estimates for the size of the
NCSO subpopulation on fisher habitat
available prior to 2014.
Trend information for fishers within
the NCSO subpopulation is based on the
following two long-term study areas. As
indicated above, we now consider the
NCSO subpopulation to include the
areas previously represented as the SOC
and NSN reintroduced fisher
subpopulations.
(1) The Hoopa study area is
approximately 145 mi2 (370 km2) on the
Hoopa Valley Indian Reservation north
of California State Highway 299 and
near Highway 96, which is largely
surrounded by the Six Rivers National
Forest and other private lands. The
study area represents the more mesic
portion (containing a moderate amount
of moisture) of the NCSO subpopulation
area. Fisher studies have been ongoing
since 1996. The population trend in the
period 2005–2012 indicates declining
populations with lambda (population
growth rate) of 0.992 (C.I. 0.883–1.100)
with a higher lambda rate for females
1.038 (0.881–1.196) than males 0.912
(0.777–1.047) (Higley et al. 2014, p. 102,
Higley 2015, pers. comm.).
(2) The Eastern Klamath Study Area
(EKSA) is approximately 200 mi2 (510
km2) in size straddling the California/
Oregon border. This study area
represents the more xeric portion
(containing little moisture; very dry) of
the NCSO subpopulation area.
Monitoring has occurred since 2006
(Green et al. 2018a, entire). The estimate
for population growth rate in the period
2006–2013 is increasing (lambda = 1.06;
C.I. 0.97–1.15) (Green et al. 2018a, p.
818). However, two years of data
collected from 2014–2016 following two
large fires in the study area indicate an
estimated 40 percent reduction in the
number of fishers post-fire (Green et al.
2019, p. 8).
The major habitat-based threats
experienced by the NCSO
subpopulation are loss of complex
canopy forests and den/rest sites, and
fragmentation of habitat, from highseverity wildfire, wildfire suppression
activities (e.g., backburning, fuel breaks,
and snag removal), and vegetation
management (e.g., fuels reduction
treatments, salvage, hazard tree
removal). Major non-habitat related
threats are exposure to toxicants and, in
some areas, predation. Within the
PO 00000
Frm 00009
Fmt 4701
Sfmt 4702
60285
Oregon portion of the NCSO
subpopulation, two dead fishers were
tested for the presence of rodenticides;
exposure was found in both (Clayton
2016, pers. comm.).
In addition to these threats acting on
the DPS, there are also several
conservation efforts designed to benefit
fishers. Such efforts include those being
implemented within the portion of the
range covered by the Northwest Forest
Plan (NWFP), including measures
associated with Endangered Species Act
section 7 consultations in overlapping
northern spotted owl (Strix occidentalis
caurina) designated critical habitat. Two
principal conservation efforts exist in
Oregon. First, there is an
intergovernmental Memorandum of
Understanding (MOU) for fisher
conservation (DOI et al. 2016, entire),
which provides a framework for
cooperation and achieving mutual fisher
conservation goals among Federal and
State agencies (Service 2016, pp. 120–
121). Second, a template Candidate
Conservation Agreement With
Assurances (CCAA) for fishers in
western Oregon (81 FR 15737, March
24, 2016) requires conservation
measures to protect occupied den sites,
as well as additional contributions
toward a fisher conservation program or
work described in the template CCAA.
A permit was recently issued under this
template CCAA (84 FR 4851, February
19, 2019) and we are in the process of
considering five additional permit
applications (84 FR 31903, July 3, 2019).
For the portion of the NCSO
subpopulation in California,
reintroduction efforts have resulted in
establishment of a fisher subpopulation
in the SPI Stirling Management Area
within the NSN (northern Sierra
Nevada) with the potential to connect
with fishers in the remainder of the
NCSO subpopulation to the north. In
2016, an approximately 1.6 million-acre
(ac) (647 thousand-hectare (ha)) CCAA
for fishers on Sierra Pacific Industries
(SPI) ownership in the Klamath,
Cascade, and Sierra Nevada mountains
was completed (SPI and Service 2016,
entire), which incorporated the area and
earlier monitoring agreements for the
SPI Stirling Management Area CCAA
(SPI and Service 2008, entire).
Implementation and monitoring has
been under way since October 2016.
The objectives of this CCAA are to
secure general forested habitat
conditions for fishers for the 10-year
time period and the retention of
important fisher habitat components
(large trees, hardwoods, and snags)
suitable for denning and resting into the
future. Additionally, the Green
Diamond Forest HCP (GDRC 2018,
E:\FR\FM\07NOP3.SGM
07NOP3
60286
Federal Register / Vol. 84, No. 216 / Thursday, November 7, 2019 / Proposed Rules
entire) is anticipated to provide a
conservation benefit for fishers and their
habitat (portions of forests on the west
slope of the coastal and Klamath
Mountains) in Del Norte and Humboldt
Counties, California. Conservation
benefits anticipated include (but are not
limited to): Identifying and retaining
fisher denning and resting trees,
including maintaining a 0.25-mi (402-m)
radius no-harvest buffer around active
fisher dens; fisher-proofing water tanks
and pipes; implementing measures that
detect, discourage, and remove
unauthorized marijuana cultivation and
associated pesticide use; and
cooperating with any Federal or Stateapproved fisher capture and relocation/
reintroduction recovery programs
(Service 2019a, p. 2).
SSN—Southern Sierra Nevada
Subpopulation
The SSN native subpopulation of
fisher is small and is geographically
separated from the remainder of the
DPS. The SSN subpopulation is found
in Mariposa, Madera, Fresno, Tulare,
and Kern Counties in California.
Historically, the subpopulation likely
extended farther north, but may have
contracted due to unregulated trapping,
predator-control efforts, habitat loss and
fragmentation, or climatic changes.
Today the approximate northern
boundary is the Tuolumne River in
Yosemite National Park (Mariposa
County) and the southern limit is the
forested lands abutting the Kern River
Canyon, while the eastern limit is the
high-elevation, granite-dominated
mountains, and the western limit is the
low-elevation extent of mixed-conifer
forest. Multiple lines of genetic
evidence suggest that the isolation of the
SSN subpopulation from other
subpopulations of native fishers within
the West Coast States is longstanding
and predates European settlement
(Knaus et al. 2011, entire; Tucker et al.
2012, entire; Tucker 2015, pers. comm.,
pp. 1–2).
Estimates for the SSN subpopulation
range from a low of 100 to a high of 500
individuals (Lamberson et al. 2000,
entire). A recent estimate of 256 female
fishers was based on habitat availability
at the time (Spencer et al. 2016, p. 44).
Other population estimates are: (1) 125–
250 adult fishers based on fisher
carrying capacity in currently occupied
areas (Spencer et al. 2011, p. 788); and
(2) fewer than 300 adult fishers or 276–
359 fishers that include juveniles and
subadults based on extrapolation from
portions of the subpopulation where
fishers have been intensely studied to
the range of the entire population
(Spencer et al. 2011, pp. 801–802).
VerDate Sep<11>2014
19:51 Nov 06, 2019
Jkt 250001
These population estimates are based on
habitat conditions for fishers in the
Sierra Nevada that predate the ongoing,
large-scale tree mortality event in this
geographic area that began in
approximately 2010. The Sierra tree
mortality event is affecting many of the
key components of fisher habitat such as
complex forest canopy structure and
connected closed-canopy forest
conditions. Research is currently
ongoing to determine to what extent
these large-scale habitat changes will
have on the SSN subpopulation.
An 8-year monitoring study that
sampled an average of 139.5 units (range
90–189) per year during the period
2002–2009 throughout the SSN
subpopulation showed no declining
trend in occupancy (Zielinski et al.
2013, pp. 3, 10–14; Tucker 2013, pp. 82,
86–91). However, this study had been
designed to be run for 10 years while
sampling 288 units per year and was
intended to have an 80 percent
probability of detecting a 20 percent
decline over 10 years (Zielinski et al.
2013, p. 11; Tucker 2013, p. 82). As a
result of the smaller sample size and
shorter duration, the results of this
study must be considered inconclusive.
Another study of radio-collared
fishers monitored from 2007 through
2014 in the Sugar Pine area (49 mi2 (128
km2)) of the SSN subpopulation showed
the survival rate (calculated using
demographic parameters) of adult
males, but not females, is lower than
other subpopulations in the West Coast
States. Specifically, Sweitzer et al.
(2015a pp. 781–783; 2015b, p. 10) stated
that their analysis ‘‘suggested slightly
negative growth (l = 0.966) for the
period of the research (Table 2). The
upper range for l (1.155) was well above
1.0, however, suggesting stability or
growth in some years. The estimated
range for l (Table 2) was consistent with
the estimated population densities,
which did not indicate a persistent
decline during 4 years from 2008–2009
to 2011–2012.’’ Additionally, in a new
report (Purcell et al. 2018) based on
fishers studied in the previously
mentioned Sugar Pine area, results for
radio-collared fishers monitored from
2007 through 2017 (totaling 139 collared
fishers) in the Sugar Pine area are
updated, indicating an estimated
lambda of 0.99 (C.I. 0.826 to 1.104)
based on female fisher survival rates
(Purcell et al. 2018, pp. 5–6, 17).
Specifically, Purcell et al. (2018) stated:
‘‘Given the length and intensity of the
monitoring associated with calculating
these estimates, and the lack of
significant difference from zero, the
SNAMP/Sugar Pine fisher population
appears stable over the study period.’’
PO 00000
Frm 00010
Fmt 4701
Sfmt 4702
Thus, population growth in the Sugar
Pine portion of the SSN subpopulation
is estimated to trend less than 1.0;
however, the authors suggest that the
population in this area is not in
persistent decline but is offset by
periods of stability or growth (Sweitzer
et al. 2015a, p. 784; Purcell et al. 2018,
p. 6). Finally, the authors express
concern for the subpopulation and the
need for continued monitoring
(Sweitzer et al. 2015b, p. 10; Purcell et
al. 2018, p. 6).
Available population estimates and
trend information for the SSN
subpopulation does not take into
consideration extensive tree mortality
that has impacted the habitat since 2015
to present. Research is currently being
conducted to determine any potential
effects that tree mortality may be having
on the SSN fisher subpopulation, but
results are not yet available (Green et al.
2019, entire).
The major threats for the SSN
subpopulation are loss and
fragmentation of habitat resulting from
high-severity wildfire and wildfire
suppression activities, vegetation
management, and forest insects and tree
diseases, as well as direct impacts that
include high mortality rates from
predation, exposure to toxicants, and
potential effects associated with small
population size. Tree mortality may be
an additional threat on this
subpopulation given the species’ needs,
but more information is necessary to
determine population-level impacts.
Potential conservation measures include
the development of the Southern Sierra
Nevada Fisher Conservation Strategy
(Spencer et al. 2016, entire).
Risk Factors for the West Coast DPS of
Fisher
Potential threats currently acting
upon the West Coast DPS of fisher or
likely to affect the species in the future
are evaluated and addressed in the final
Species Report (Service 2016, pp.
53–162). We consider these threats in
light of the statutory factors identified in
the Act, including: (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 reader is directed to the
Species Report (Service 2016, entire) for
a more detailed discussion of the threats
summarized in this document (https://
www.fws.gov/cno/fisher/). However,
please note that our most recent
consideration of new data since 2016
E:\FR\FM\07NOP3.SGM
07NOP3
Federal Register / Vol. 84, No. 216 / Thursday, November 7, 2019 / Proposed Rules
coupled with our reevaluation of the
entirety of the best available scientific
and commercial information is
represented and summarized in this
revised proposed rule.
Our analysis represents an evaluation
of the biological status of the species,
based upon our assessment of the
cumulative impact of all effects
anticipated from the identified threats,
and how that cumulative impact may
affect the species’ continued existence
currently and in the future. We used the
best available scientific and commercial
data, and the expert opinions of the
analysis team members. Based on the
analysis and discussion contained
herein, in this document we evaluated
potential habitat-based threats including
high-severity wildfire, wildfire
suppression activities, and post-fire
management actions; climate change;
forest insects and tree diseases;
vegetation management; and human
development (Factor A). We also
evaluated potential threats related to
direct mortality of fishers including
trapping and incidental capture (Factor
B), research activities (Factor B), disease
or predation (Factor C), collision with
vehicles (Factor E), exposure to
toxicants (Factor E), and potential
effects associated with small population
size (Factor E). Finally, we also
evaluated the inadequacy of existing
regulatory mechanisms (Factor D).
The timing (immediacy) of each threat
was assessed independently based upon
the nature of the threat and time period
that we can be reasonably certain the
threat is acting on fisher populations or
their habitat. In general, we considered
that the trajectories of the threats acting
on fisher subpopulations across the
DPS’s range could be reasonably
anticipated over the next 35–40 years.
We estimated this timeframe as a result
of our evaluation of an array of time
periods used in modeling. For example,
climate models for areas with fisher
habitat, habitat conservation plans
(HCPs), and timber harvest models
generally predict 50 to 100 years into
the future, and forest planning
documents often predict over shorter
timeframes (10 to 20 years). We
considered 40 years at the time of the
2014 Proposed Rule, and given the
5-year time period since, we are
modifying the foreseeable future time
period to a range of 35–40 years. This
is a timeframe that we can reasonably
determine that both the future threats
and the species’ responses to those
threats are likely. This time period
extends only so far as the predictions
into the future are reliable, including a
balance of the timeframes of various
models with the types of threats
VerDate Sep<11>2014
19:51 Nov 06, 2019
Jkt 250001
anticipated during the 35- to 40-year
time period.
As we conducted our threats analysis,
we determined that the most significant
drivers of the species’ future status
were: Wildfire and wildfire suppression,
damage to forest health from disease
and insect infestations, and the
potential for climate change to
exacerbate both of these threats, as well
as the threats related to vegetation
management and exposure to toxicants.
While our assessment of the species’
status was based on the cumulative
impact of all identified threats, as
explained above, we are only presenting
our analyses on these specific primary
threat drivers for the purposes of this
revised proposed rule. Full detailed
analyses for all the other individual
threats, we refer the reader to the
Species Report (Service 2016, entire).
Wildfire and Wildfire Suppression
Our evaluation includes both the
effects of wildfire on fisher habitat as
well as those activities associated with
wildfire suppression that may result in
changes to fisher habitat (for example,
backburning, fuel breaks, and snag
removal). Naturally occurring fire
regimes vary widely within the range of
fishers on the West Coast (Service 2014,
p. 58). Potential for high-severity
wildfire to affect fisher habitat and
fisher populations is concentrated in
northern California-southwestern
Oregon and the Sierra Nevada areas as
compared to the remainder of the
fisher’s historical range in the West
Coast States (Service 2014, pp. 62–63).
In general, high-severity wildfire has the
potential to remove suitable fisher
habitat by removing forest canopy, large
trees, and structurally diverse
understories, which can take from
decades to a century or more to regrow,
depending on the habitat feature
(Service 2014, pp. 59–60). Mixedseverity wildfire includes patches of
low-severity wildfire and patches of
high-severity wildfire (Jain et al. 2012,
p. 47).
At the landscape scale, mixed-severity
wildfire effects to fisher habitat may
only affect an area’s ability to support
fishers for a short period of time due to
the patchy nature of burned and
unburned areas. Additionally, a
beneficial aspect of mixed-severity
wildfires (as opposed to just highseverity wildfires) is that these wildfires
may contribute to the regeneration of
the hardwood component of mixedconifer forest used by fisher (Cocking et
al. 2012, 2014, entire). Low-severity
wildfire may reduce some elements of
fisher habitat temporarily, but also helps
to contribute to the ecological processes
PO 00000
Frm 00011
Fmt 4701
Sfmt 4702
60287
necessary to create tree cavities essential
for denning and resting fishers (Weir et
al. 2012, pp. 237–238). Low-severity
wildfire is unlikely to remove habitat,
and post-wildfire areas are likely to still
be used by fishers (Naney et al. 2012, p.
6; Truex and Zielinski 2013, p. 90).
Within shrub, grassland, and forested
lands across the western United States
(including the Sierra Nevada, southern
Cascades, and Coast ranges), the
wildfire season length increased over
each of the last 4 decades, from 65 days
in the 1970s to 140 days in the 2000s
(Westerling 2016, pp. 3, 8, and 10). The
lengthening of the wildfire season is
largely due to declining mountain
snowpack and earlier spring snowmelt,
which contributes to a decrease in
vegetation moisture that enables more
frequent large wildfires and an increase
in the total area burned (Westerling
2016, pp. 8–9). In the SSN
subpopulation area, changes in climate
are associated with large increases in
the area burned by wildfire (Dettinger et
al. 2018, p. 72), and increases in the
frequency of large wildfires greater than
24,700 (ac) (9,996 (ha) (Westerling 2016,
pp. 6–7). Recent publications on
wildfire occurrence and severity within
the NCSO and SSN fisher
subpopulations have not changed our
conclusions about this threat from the
2014 Proposed Rule (79 FR 60419,
October 7, 2014; p. 60429).
Recent information on fishers’
behavioral and localized population
response to wildfires is available for
both the NCSO and SSN fisher
subpopulations, as shown below.
Northern California-Southern Oregon
(NCSO)
In a monitored fisher population in
the Klamath-Siskiyou area, declines in
the overall fisher population occurred
after wildfires in the study area in 2014
and 2015 (Green et al. 2019, entire).
This population of fishers was
monitored for 8 years pre-wildfire and
the population was considered
relatively stable. The decline in the
number of fishers due to the wildfires is
40 percent, a decrease that became
apparent the first full year following the
fires and has persisted for at least 2
more years (Green et al. 2019, p. 8).
Fisher densities declined across all
wildfire severity types but declined the
most in areas with more than a 50
percent loss of tree basal area (Green et
al. 2019, p. 6).
Within the Biscuit Fire area in
southwest Oregon, which burned in
2002, surveys conducted in 2016 and
2017 did not detect fishers within the
burn perimeter (Barry 2018, pp. 22–23),
suggesting fishers may not yet occupy
E:\FR\FM\07NOP3.SGM
07NOP3
60288
Federal Register / Vol. 84, No. 216 / Thursday, November 7, 2019 / Proposed Rules
the area. The Biscuit Fire appears to
have been unusually large and severe
for the Klamath-Siskiyou region based
on estimates of crown damage (Odion et
al. 2004, p. 932) and area affected by
surface fire (Thompson and Spies 2009,
pp. 1,692–1,693).
To update our 2014 analysis of
wildfire effects within the NCSO
subpopulation, we conducted an
analysis similar to the one completed
for the 2014 draft Species Report
(Service 2014, pp. 62–64; Service 2019b,
unpublished data). Using the fisher
habitat map developed for the 2014
Proposed Rule and U.S. Forest Service
data for burn severity for 2008–2018
(USDA Forest Service 2019), we
estimated the effects of high-severity
wildfire to fisher habitat over the past
10 years. We assumed wildfires that
burned at high severity (greater than 50
percent basal area loss) changed fisher
habitat to a condition that would not be
selected by fishers; this assumption was
based on the recent results as reported
in Green et al. (2019a, p. 6). Overall,
high and intermediate quality fisher
habitats in the NCSO subpopulation
have decreased by 526,424 ac (213,036
ha) from 7,050,035 ac (2,853,047 ha) to
6,523,610 ac (2,640,011 ha), or
approximately 7 percent, as a result of
wildfires since 2008. The total area
assessed was approximately 10,459,612
ac (4,232,855 ha).
For comparison purposes, in our 2014
draft Species Report, we estimated 4 to
8 percent of fisher habitat would be lost
over the next 40 years due to highseverity wildfire (Service 2014, p. 64).
Our 2014 area of analysis for the NCSO
subpopulation was based on fire data
from 1984 to 2011 and assessed
approximately 24,080,693 ac (9,745,111
ha). The results of our new analysis is
based on fire data from the period 2008
to 2018, a 10-year period of actual data,
which indicates our earlier estimates of
changes to fisher habitat from wildfire
over the next 40 years may have been
an underestimate.
Southern Sierra Nevada (SSN)
In an analysis of a portion of the SSN
fisher subpopulation, fisher occupancy
of sample units trends lower among
those units burned by either prescribed
burning or wildfire (Sweitzer et al.
2016, pp. 218–220); nonetheless, the
overall results of this analysis did not
include a consistent negative effect of
fire on fisher habitat use. Results of
modeling the variables of forest
structure important to fishers for
denning habitat on the Sierra National
Forest and Yosemite National Park
suggest that suitable denning habitat is
maintained in burned forests, though
VerDate Sep<11>2014
19:51 Nov 06, 2019
Jkt 250001
primarily those with low-severity
wildfire conditions (Bomdahl 2018,
entire). Fisher behavior in post-wildfire
landscapes in the French (2014) and
Aspen Fires (2013) indicated an
avoidance of areas affected by high- and
moderate-severity wildfires, and a
higher probability of being found in
ravines or canyon bottoms in
combination with unburned or lightly
burned patches (Thompson et al. 2019,
pp. 13–14). This new information differs
from that reported in our final Species
Report (Service 2016, p. 66) and may be
due to different scales of analysis, the
values chosen to identify wildfire
severity classes, or the 2–4 year vs. 10year post-wildfire sampling period
(Hanson et al. 2013, entire; Thompson
et al. 2019, pp. 15–18). Without
demographic data on age class, survival,
or reproduction, it is difficult to say
with certainty whether fisher use of
post-wildfire landscapes is for dispersal
or whether such areas act as population
sinks, as has been identified for the
proposed coastal DPS of Pacific marten
(Martes caurina) (Thompson et al. 2019,
pp. 17–18).
For comparison purposes based on
data compiled for a new analysis of
effects of wildfire on fisher habitat in
the southern Sierra Nevada, the
Conservation Biology Institute (CBI)
analyzed high severity fire data from
2003 to 2017 (CBI 2019, pp. 26–28).
This new analysis shows a loss of fisher
denning, resting, and foraging habitat of
approximately 25 percent over the time
period 2003–2017, with most of that
loss occurring between 2013 and 2017
(approximately 22 percent) (CBI 2019,
p. 28). In addition, the wildfires
occurring on the Sierra and Sequoia
National Forests bisected and disrupted
connectivity between—or reduced the
overall size of—key core areas as
identified in the SSN fisher
conservation strategy (Spencer et al.
2016, p. 10; CBI 2019, pp. 26–28).
Wildfire and Wildfire Suppression
Summary
When considering the best available
scientific and commercial information
regarding wildfire and wildfire
suppression activities (including new
information since the time of the 2014
Proposed Rule and our reevaluation of
peer reviewer and other comments
received), we maintain that wildfire is a
natural ecological process. As stated
above, wildfire may be increasing in
terms of frequency, severity, and
magnitude in California and southern
Oregon. We acknowledge there is debate
concerning whether wildfire severity is
increasing (Mallek et al. 2013, pp.
11–17; Stephens et al. 2015, pp. 12–16;
PO 00000
Frm 00012
Fmt 4701
Sfmt 4702
Hanson and Odion 2016, pp. 12–17;
Odion et al. 2016, entire). Our best
professional judgment leads us to
conclude that if the severity and extent
of wildfires are such that substantial
areas of canopy and large trees are lost,
multiple decades of forest growth and
structural development would be
necessary for those burned areas to
support fisher reproduction.
Alternatively, if wildfire severity is low
or mixed, important habitat elements to
fisher (e.g., den trees) can be both
created and removed within a home
range such that the burned habitat may
continue to support both fisher foraging
and reproduction. Therefore, based on
the research and data currently available
(as described above and in Service 2014,
p. 64; Sequoia Forest Keeper 2019, pers.
comm.; Spencer et al. 2016, p. 10), we
believe that, in areas where wildfires
remove 50 percent or more of the basal
area of trees in the habitats fisher select
(high and intermediate quality), fisher
occupancy and reproduction is
negatively affected. In areas where less
than 50 percent of the basal area is lost,
the degree to which wildfire (and
wildfire suppression activities) affects
fisher populations depends on the forest
type, landscape location, size, and
intensity of the wildfire.
Climate Change
At the time of the 2014 Proposed
Rule, we stated and reaffirm here that,
overall, fisher habitat is likely to be
affected by changing climate conditions,
but the severity will vary, potentially
greatly, among different regions, with
effects to fishers ranging from negative,
neutral, or potentially beneficial.
Climate change is likely to alter the
structure and tree species composition
of fisher habitat, and also result in
changes to habitat of prey communities
and ultimately prey availability. Studies
of climate change present a range of
effects including some that indicate
conditions could remain suitable for
fisher, and others that indicate a
reduction in habitat quality or
suitability could lead to increased
chronic stress of fishers. Climate
throughout the West Coast States is
projected to become warmer over the
next century, and in particular,
summers will be hotter and drier, with
heat waves that are more frequent
(Hayhoe et al. 2004, p. 12,423; Tebaldi
et al. 2006, pp. 191–200; Mote and
Salathe´ 2010, p. 41; Salathe´ et al. 2010,
p. 69; Cayan et al. 2012, pp. 4, 10; Mote
et al. 2013, p. 34; Pierce et al. 2013, pp.
844, 848).
• In Oregon, Dalton et al. (2017, pp.
4, 8) evaluated greenhouse gas
emissions via global climate models
E:\FR\FM\07NOP3.SGM
07NOP3
Federal Register / Vol. 84, No. 216 / Thursday, November 7, 2019 / Proposed Rules
with future emission pathways called
‘‘representative concentration
pathways’’ (RCPs). They considered
multiple greenhouse gas emission
scenarios, including low (RCP 4.5) and
business-as-usual (RCP 8.5). Their
analysis indicates that extreme heat
events are expected to increase in
frequency, duration, and intensity by
the 2050s due to warming temperatures
(RCP 4.5 = mean annual temperature
increase predicted on average 3.6
degrees Fahrenheit (°F); RCP 8.5 = mean
annual temperature increase predicted
on average 5.0 °F). Summers are
expected to warm more than the annual
average and likely to become drier.
Annual precipitation is projected to
increase slightly, although with a high
degree of uncertainty. Extreme heat and
precipitation events are expected to
increase in frequency, duration, and
intensity.
• In California, information from
Pierce et al. (2013) and Safford et al.
(2012) used multiple general circulation
models and downscaling with regional
climate models to develop probabilistic
projections of temperature and
precipitation changes over California by
the 2060s. Predictions indicate an
annual mean temperature increase of 4.3
°F (2.4 degrees Celsius (°C)) by 2060
(Pierce et al. 2013, p. 844), which falls
in line with already increased
temperatures of around 1 to 2.5 °F (0.5
to 1.4 °C) over the past 75 to 100 years
specifically in the Sierra Nevada
(Safford et al. 2012, p. 25). In the
Klamath Mountains portion of the
NCSO subpopulation area, precipitation
is likely to fall increasingly as rain
rather than snow, becoming mainly
rain-dominated by mid-century (Dalton
et al. 2017, p. 17).
Higher temperatures during spring
and summer, coupled with early snow
melt, will reduce moisture of both live
fuels and dead surface fuels by
increasing evaporative demands during
the dry season (Kelly and Syphard 2016,
pp. 2–3). Additionally, annual
precipitation changes have been and are
likely to continue to be inconsistent
across California (Polade et al. 2017, p.
1), as well as the remainder of the West
Coast States.
Studies specific to predicting the
effects of climate change on suitable
fisher habitat have produced a wide
range of results. Ecotype conversion to
woodland, shrubland, or grassland
would result in the loss of suitable
fisher habitat. This type of shift is
predicted, for example, in the southern
Sierra Nevada (Gonzalez et al. 2010,
fig. 3; Lawler et al. 2012, p. 388). On the
other hand, shifts from conifer forest to
hardwood-dominated mixed forest in
VerDate Sep<11>2014
19:51 Nov 06, 2019
Jkt 250001
the southern Sierra Nevada or Klamath
region could either increase or decrease
available habitat to fishers (Lawler et al.
2012, pp. 384–386; Loarie et al. 2008,
p. 4 and fig. 4). Given the contribution
of hardwood trees to fisher habitat in
drier parts of the NCSO and SSN
subpopulations, a shift to increasing
hardwoods in the more coastal or higher
elevation forest types could improve
habitat. However, trees are long-lived
and mature forests can persist under
suboptimal conditions, preventing
better-suited vegetation from becoming
established until disturbance removes
the original forest (Sheehan et al. 2015,
p. 27). Consequently, the increase in the
hardwood component of fisher habitat
in predominantly conifer areas may not
occur until after fires have removed
enough of the existing stand to allow
hardwood establishment, potentially
decreasing suitable habitat in the
interim.
Other studies suggest that climate
change will adversely impact forest
habitat by intensifying large-scale, highseverity wildfire, drought, and tree
mortality (Kadir et al. 2013, pp. 132,
137; Westerling 2016, pp. 1–2; Stephens
et al. 2018, p. 77). A wide range of
assumptions and caveats typically
accompanies these types of predictions.
Variables predicting fisher resting
habitat as described by Zielinski and
Gray 2018 (p. 903) include stand
characteristics such as canopy closure,
basal area of conifer and hardwood
trees, and diameter and age of dominant
conifers. To date climate change has not
significantly affected resting habitat for
fishers, which, according to Zielinski
and Gray (2018, pp. 899, 903), has
remained stable over the past 20 years
across the California-portion of the
DPS’s range, although habitat suitability
tended to be lower on private lands than
public lands. However, when
considering resting habitat trends over
these 20 years to help us project
potential future resting habitat
conditions in light of climate change
projections, survey data in the Eldorado
and Sierra National Forests (within a
portion of the SSN subpopulation area)
indicate the beginning of a negative
trend in resting habitat suitability
(Zielinski and Gray 2018, p. 903),
whereas resting habitat examined
within the NCSO subpopulation area
varied greatly (i.e., suitable resting
habitat decreased in the Shasta-Trinity
National Forest, increased in the Six
Rivers National Forest, and remained
unchanged over time for both the
Klamath and Mendocino National
Forests).
In addition to the potential climate
change effects to fisher habitat
PO 00000
Frm 00013
Fmt 4701
Sfmt 4702
60289
discussed above, some researchers have
suggested climate change may cause
direct effects to fishers, including
increased mortality, decreased
reproductive rates, alterations in
behavioral patterns, and range shifts.
Fishers may be especially sensitive,
physiologically, to warming summer
temperatures (Zielinski et al. 2004, p.
488; Slauson et al. 2009, p. 27; Facka
2013, pers. comm.; Powell 2013, pers.
comm.). As a result, researchers (e.g.,
Burns et al. 2003, Zielinski et al. 2004,
Lawler et al. 2012, Olson et al. 2014)
theorize that fishers likely will either
alter their use of microhabitats or shift
their range northward and upslope, in
order to avoid thermal stress associated
with increased summer temperatures.
Although we indicated in the 2014
Proposed Rule that climate change is
not viewed as a direct threat to fishers
or their habitat, the best available
information indicates there is a link
between changing climate conditions
(temperature and precipitation changes,
more frequent and prolonged droughts)
and the resulting changes to overall
habitat suitability and availability for
fishers throughout their range, as well as
potential to increase fisher stress levels
when habitat changes occur. These
changes more specifically affect the
amount and distribution of habitat
necessary for female fishers to be able to
have places to den and raise their
young. For example:
• Climate change, wildfire, and air
quality: Ongoing climate change in
California is likely to result in
significant or amplified wildfire activity
and air quality challenges, with area
burned and severity likely to increase
(Hurteau et al. 2019, pp. 1, 3; Moritz et
al. 2018, p. 36). This in turn can result
in reduced denning habitat availability
for fishers, such as in the Coast Range
and Klamath Mountains portion of the
NCSO subpopulation area, which is
projected to experience wildfire return
intervals decreased by half and thus
result in a near tripling of the annual
area burned in this century compared to
last (Sheehan et al. 2015, pp. 20–22;
Dalton et al. 2017, p. 46).
• Drought, tree mortality, and
wildfire: With increased drought
conditions, tree mortality and largescale high-severity wildfire are likely to
increase in frequency and size,
especially if fuel loads in forests are not
decreased (Young et al. 2017, p. 78;
Westerling and Bryant 2008, pp. S244–
S248; Abatzoglou and Williams 2016,
pp. 11,770, 11,773). The loss of
adequate forest canopy cover to provide
habitat suitable for denning female
fishers is occurring due to tree mortality
E:\FR\FM\07NOP3.SGM
07NOP3
60290
Federal Register / Vol. 84, No. 216 / Thursday, November 7, 2019 / Proposed Rules
as a result of drought and wildfire (CBI
2019, p. 9).
With regard specifically to droughts:
Although we can expect that future
droughts may be more intense, it is
unknown whether or not droughts in
the future will be worse than our worst
droughts in the past (Keeley and
Syphard 2016, p. 6). Regardless, it
appears that climate change is
exacerbating the effects of drought,
given that changing climate conditions
are estimated to have contributed 5 to
18 percent to the severity of one of the
worst recent droughts in 20th-century
California history (Keeley and Syphard
2016, p. 6).
• Climate change, wildfire, disease,
tree mortality: The observed increases in
wildfire activity in Oregon are partially
due to climate change; increasing
wildfire activity is expected under
future warming, which in turn can
exacerbate tree mortality from agents
such as mountain pine beetles (Dalton et
al. 2017, p. 46). Tree mortality (whether
from changing climate conditions or any
other factor), in turn, is likely to result
in fishers experiencing reduced fitness
(a positive relationship between higher
amounts of tree mortality and higher
cortisol levels in fishers), as
documented in one portion of the SSN
subpopulation (Kordosky 2019, pp. 14,
36) and an overall reduction in forest
stand conditions known to be suitable
denning habitat (CBI 2019, entire; Green
et al. 2019, pp. 3–4).
Overall, at this time, the best available
scientific and commercial information
suggest that changing climate conditions
(particularly increasing air temperatures
coupled with prolonged and more
frequent drought conditions) are
exacerbating other threats to the fishers
and their habitat within the West Coast
DPS, including high-severity wildfires,
the spread of forest insects, and tree
diseases. Please see additional
discussion about potential impacts to
fishers or their habitat associated with
wildfire (‘‘Wildfire and Wildfire
Suppression,’’ above) and tree mortality
(‘‘Forest Insects and Tree Diseases,’’
below) under those risk factor sections
of this document.
Forest Insects and Tree Diseases
Since 2010, severe drought events
have led to more than 147 million dead
trees in California, with a high
concentration in the southern Sierras
due to increased susceptibility to forest
insects and tree disease (CAL FIRE and
USFS 2019, no page number). Over half
of the potential fisher habitat in the SSN
subpopulation has been significantly
impacted by canopy loss due to tree
mortality (CBI 2019, pp. 3–9, 29).
VerDate Sep<11>2014
19:51 Nov 06, 2019
Jkt 250001
Additionally, sudden oak death
(Phytophthora ramorum) has caused
some tree mortality in southwestern
Oregon and northwestern California
(COMTF 2019, p. 1; Oregon Department
of Forestry (ODF) 2016, pp. 1–2). There
is limited information on the direct
impacts to fisher of tree mortality due to
forest insects and tree disease. The
usual pattern of localized outbreaks and
low density of tree-consuming insects
and tree diseases are beneficial,
providing structures conducive to rest
and den site use by fishers or their prey.
However, large, area-wide epidemics of
forest disease and insect outbreaks may
displace fishers if canopy cover is lost
and salvage and thinning prescriptions
in response to outbreaks degrade the
habitat (Naney et al. 2012, p. 36).
Preliminary information in the SSN
subpopulation indicates a change in
fisher habitat use whereby fishers avoid
tree mortality areas (Green et al. 2019,
entire). In addition, increased tree
mortality on the landscape has resulted
in reduced female fisher survival within
the SSN population due to increased
stress hormones (cortisol) (Kordosky
2019, pp. 31–34, 36–40, 54–61, 65–68,
94). Loss of canopy cover and large trees
due to tree mortality from insects and
tree diseases likely reduces habitat
suitability for fishers, but it is unknown
if the level of habitat loss will
significantly impact fisher
subpopulations throughout the DPS’s
range. It is likely that tree mortality will
continue to be a threat into the future
due to predicted increases in drought
conditions that will likely continue to
weaken trees and make them
susceptible to bark beetles and disease
(Millar and Stephenson 2015, pp. 823–
826; Young et al. 2017, pp. 78, 85).
Vegetation Management
Vegetation management techniques of
the past (primarily timber harvest) have
been implicated as one of the two
primary causes for fisher declines across
the United States. Many fisher
researchers have suggested that the
magnitude and intensity of past timber
harvest is one of the main reasons
fishers have not recovered in the
western United States as compared to
the northeastern United States (Service
2014, pp. 54–56). At the time of the
2014 Proposed Rule, we stated that
vegetation management techniques
have, and can, substantially modify the
overstory canopy, the numbers and
distribution of structural elements, and
the ecological processes that create
them. Overall, fisher home ranges tend
to be composed of mosaics of forest
stand types and seral stages but often
with a high proportion of mid- to late-
PO 00000
Frm 00014
Fmt 4701
Sfmt 4702
seral forests (Raley et al. 2012, p. 231).
Fishers occupy managed landscapes and
stands where timber harvest and other
vegetation management activities occur;
the degree to which fishers tend to be
found in these areas often depends on
a multitude of factors, including the
scale, intensity, and rate of activities, as
well as the composition and
configuration of suitable habitat, and
amount and type of retained legacy
structures (Service 2016, pp. 59–60;
Thompson and Clayton 2016, pp. 11–16,
22; Marcot et al. 2018, p. 400; Parsons
2018, pp. 31, 53–55, 63; Purcell et al.
2018, pp. 60–61, 69–70).
At the time of the 2014 Proposed
Rule, we concluded that data limitations
in most subregions across the DPS
prevented us from quantifying what
proportion of the treatments actually
resulted in habitat loss or downgrade.
Thus, at that time, the severity scores
presented in the 2014 draft Species
Report and summarized in the 2014
Proposed Rule represented our best
estimate and constituted a relatively
broad range to incorporate this
uncertainty. Our previous quantitative
analysis of threats resulting in habitat
loss also did not account for ingrowth
(i.e., forest stands becoming habitat as a
result of forest succession) of fisher
habitat over our 40-year analysis
timeframe and, therefore, provided no
values for net habitat change; while we
acknowledged that ingrowth occurs,
primarily on Federal lands, we lacked
the data at that time to quantitatively
estimate that ingrowth (Service 2014,
pp. 84–92). Although we recognized
data limitations in most subregions
across the range of the DPS and we did
not account for ingrowth, we found that
vegetation management is a threat
because activities that remove or
substantially degrade fisher habitat
through the removal of large structures
and overstory canopy are projected to
take place within the range of the DPS
over the next 40 years.
Since the time of our 2014 Proposed
Rule, we reevaluated our analysis and
changed our approach to rely on
available data on forest disturbances
and past changes in older forest. Several
sources of data provide information on
past changes in vegetation in different
areas of the DPS. Because of the large
area encompassed by the fisher, these
different sources are not directly
comparable and do not easily combine
to paint a complete picture of the
vegetation trends within the West Coast
DPS. We have acknowledged the
limitations of this information, and we
explicitly requested information from
the public in our 2014 Proposed Rule to
better inform our analysis of this threat
E:\FR\FM\07NOP3.SGM
07NOP3
Federal Register / Vol. 84, No. 216 / Thursday, November 7, 2019 / Proposed Rules
and to help us make a final
determination. Specifically, we
requested information related to the
scope and degree of vegetation
management on Federal land within the
range of the fisher, and scientific or
commercial information on the type,
scope, and degree of vegetation
management (timber harvest, restoration
thinning, fuels reduction, etc.) on nonFederal land in Oregon and Washington.
We also requested scientific evaluation
of our use of the northern spotted owl
habitat data as a surrogate for fisher
habitat data, and its use in our 2014
draft Species Report as the best
available data to determine the scope
and degree of vegetation management
effects on Federal lands.
Currently, no analysis explicitly
tracks changes in fisher habitat in recent
decades where loss specifically
attributable to vegetation management
can be determined. Therefore, we used
other available information, as
described below, and our best
professional judgment to analyze the
potential effects of this threat on the
DPS of fisher. After considering the best
available data, including comments
received from peer reviewers and the
public regarding the vegetation
management threat analysis presented
in the draft Species Report (Service
2014, pp. 85–96) and summarized in the
2014 Proposed Rule, we updated and
reconsidered our analysis. Our updated
analysis included the use of several
different sources of information to
depict forest vegetation changes caused
by vegetation management activities
within the range of the DPS. With the
exception of the non-Federal timber
harvest database in California
(California Department of Forestry and
Fire Protections (CAL FIRE) 2013), all of
these sources are either new or updated
since 2014 (Davis et al. 2015, entire;
USDA Forest Service 2016, entire;
Spencer et al. 2016, entire; Spencer et
al. 2017, entire; gradient nearest
neighbor (GNN) data/maps). Because we
were able to use these sources of data,
we did not need to rely on northern
spotted owl habitat data as a surrogate
for fisher habitat data in this evaluation.
Our revised methodology is described in
detail for the historical, three-State
range of the DPS in the 2016 final
Species Report (Service 2016, pp. 98–
111); we summarize it below and
describe its application to our revised
proposed DPS.
While historical loss of older forests
via timber harvest through much of the
1900s resulted in a substantial loss of
fisher habitat in the West Coast States,
harvest volume has sharply declined
throughout this area since 1990,
VerDate Sep<11>2014
19:51 Nov 06, 2019
Jkt 250001
primarily on Federal lands, but also on
non-Federal lands. Although timber
harvest is still ongoing throughout the
West Coast States, habitat ingrowth is
also occurring, offsetting some of those
losses.
Within the portion of the DPS
overlying the Northwest Forest Plan
region, we used information from the
draft late-successional and old-growth
forest monitoring report (Davis et al.
2015, entire) to assess changes in fisher
habitat as a result of vegetation
management. This information included
use of the ‘‘old growth structure index’’
(OGSI), which is an index of 0–100 that
consists of four old-growth elements: (1)
The density of large live trees; (2) the
density of large snags; (3) the amount of
down wood cover; and (4) the tree size
diversity of the stand. Over a 20-year
period (1993–2012), Davis et al. (2015,
pp. 5–6, 16–18) tracked changes in
forests classed as OGSI–80, which
represents forests that begin to show
stand structures associated with older
forests (e.g., large live trees, snags, down
wood, and diverse tree sizes). Though
OGSI–80 forests are not a
comprehensive representation of fisher
habitat, we considered this report to be
the best available scientific and
commercial information to assess
changes in fisher habitat within the
NWFP area. This information was the
only data set available that identified
the amount of acres lost to specific
disturbance types (e.g., timber harvest or
vegetation management, fire, and
insects) and calculated specific acres of
forest ingrowth, allowing us to
explicitly track loss of a specific forest
type condition to a specific disturbance
category (vegetation management). All
remaining data sets provided a net
change in vegetation type but did not
categorize or quantify the disturbance
types (e.g., acres and type of loss, acres
of ingrowth).
Details of our analysis of Davis et al.
(2015, entire) are explained in the 2016
final Species Report (Service 2016, pp.
101–102). We have since modified that
analysis to only include data for the
provinces that cover the current range of
native fishers in the West Coast States
(i.e., the West Coast DPS of fisher, as
described in Summary of Changes From
the 2014 Proposed Rule, above). The
California portion of the DPS covers all
of the California physiographic
provinces analyzed in Davis et al. (2015,
pp. 10, 30–31). The Oregon portion of
the DPS occurs mostly within the
Oregon Klamath province, but overlaps
somewhat into small portions of the
western and eastern Cascades provinces
(Davis et al. 2015, pp. 10, 30–31). We
assessed the results of including and
PO 00000
Frm 00015
Fmt 4701
Sfmt 4702
60291
excluding the data from the two
Cascades provinces, and because no
substantial differences were revealed
between the two data sets, we report
here the results for including only the
Oregon Klamath province data, along
with data for all of the California
physiographic provinces located within
the NWFP.
Although loss of older forest habitat
due to timber harvest on non-Federal
lands (11.1 percent since 1993) was
substantially greater than on Federal
lands (1.0 percent since 1993), in
combining all ownerships, the percent
loss due to timber harvest over the past
20 years was low (5.0). This translates
to a 2.5 percent loss per decade.
However, this may underestimate future
harvest trends because timber harvest
volume within the NWFP area on
Federal lands has been on a general
upward trend since 2000. During the
first decade of NWFP implementation,
Federal agencies offered, on average
annually, 54 percent of the timber
harvest sale goals (probable sale
quantity or PSQ) identified in the Plan,
whereas volume offered in 2012 was at
about 80 percent of the PSQ identified
in the NWFP, as agencies became more
familiar with implementing the NWFP
(USDI BLM 2015, p. 340; Spies et al.
2018, pp. 8–9). In addition, BLM has
recently revised their management plans
in western Oregon and is no longer
operating under the NWFP.
Consequently, that agency is predicting
an increase in timber volume above the
NWFP sale quantity in the first decade
(USDI BLM 2015, pp. 350–352). Hence,
overall harvest trends on Federal lands
over the next decade or so may be closer
to rates observed in the last decade of
NWFP implementation; however, the
OGSI–80 harvest data we used was
categorized by decade so we were not
able to determine what the higher
harvest rate during that time period
translated to in terms of estimated
habitat loss for fishers.
The net loss of habitat, however, is
somewhat less because 2.5 percent per
decade does not include ingrowth of
OGSI–80 stands. Ingrowth is those
stands that did not meet the OGSI–80
structural thresholds at the beginning of
the 20-year monitoring period that,
through vegetation succession, reached
those thresholds at the end of the
monitoring period. Ingrowth would
result in a reduction in overall net
habitat change because stands that grow
into suitable habitat are assumed to
offset the loss of habitat through
disturbances such as fire or vegetation
management. However, we acknowledge
that fisher habitat occurs on a
continuum, and habitat lost to timber
E:\FR\FM\07NOP3.SGM
07NOP3
60292
Federal Register / Vol. 84, No. 216 / Thursday, November 7, 2019 / Proposed Rules
harvest or some other disturbance is not
necessarily equivalent in quality to
habitat that recently crosses a threshold
of becoming suitable habitat.
Ingrowth of OGSI–80 stands within
the NWFP area occurred at a rate of 8
percent over the 20-year period, or 4
percent per decade (calculated from
Davis et al. (2015, tables 6 and 7, pp.
30–31)). While this change would offset
the OGSI–80 stands lost to vegetation
management, there is still a net loss of
1 percent per decade if we incorporate
all disturbances (i.e., wildfire and
insects). Ingrowth rates are expected to
increase in the foreseeable future on
Federal lands within the NWFP area
because forests regenerating from the
post-World War II harvest boom starting
in the 1940s are beginning to meet the
OGSI–80 threshold (Davis et al. 2015, p.
7).
Elsewhere in the West Coast States,
while we could track vegetation changes
over time, the available data did not
indicate the amount or types of
disturbances affecting the specific
vegetation types; that is, we could only
determine net vegetation change of a
particular vegetation type, not the
specific amount of that type that was
lost to a specific disturbance type,
unlike in the NWFP area. Timber
harvest records were available for the
Sierra Nevada region, but idiosyncrasies
in the FACTS (Forest Service Activity
Tracking System) database (see Spencer
et al. (2016, p. A–30)) and the fact that
the available private lands database
(CAL FIRE timber harvest plans) did not
indicate types of treatment or what
portion of the plans may have actually
been implemented, led to concerns in
translating acres of ‘‘treatment’’ as
depicted in these databases into on-theground changes in forest vegetation
types that could represent fisher habitat.
Instead, we relied on net vegetation
change data to display actual changes in
forests that represent fisher habitat,
realizing that net changes include other
disturbances and that vegetation
management will be some unknown
portion of that change.
In the SSN subpopulation area, we
approximated fisher habitat change
using a vegetation trend analysis to
track changes in forests with large
structural conditions thought to be
associated with fisher habitat. Note that
the vegetation category tracked in this
analysis is not equivalent to the OGSI–
80 forests used by Davis et al. (2015,
entire). Instead, available data limited
us to using predefined structure
conditions describing forests with larger
trees (greater than 20 in (50 cm)),
realizing this may not include all
vegetation types used by fishers. This
VerDate Sep<11>2014
19:51 Nov 06, 2019
Jkt 250001
analysis showed that net loss of forests
with larger structural conditions in the
SSN subpopulation area was 6.2 percent
across all ownerships over the past 20
years, which equates to a loss of 3.1
percent per decade, similar to the 2.5
percent loss per decade within the
NWFP portion of the DPS.
In the single analysis where fisher
habitat was actually modeled and
tracked through time (i.e., the SSN
subpopulation area), ingrowth of fisher
habitat actually replaced habitat lost by
all disturbances between 1990 and 2012,
showing a net increase in fisher habitat
at the female home range scale (Spencer
et al. 2016, pp. 44, A–21). However, the
authors of this report have since
cautioned that these conclusions may
no longer be accurate based on
‘‘dramatic changes [that] have occurred
in Sierra Nevada mixed conifer forests
due to drought and extraordinary tree
mortality’’ (Spencer et al. 2017, p. 1).
Consequently, they recommended
delaying application of habitat
conservation targets until vegetation
data can be updated and fisher habitat
condition reassessed (Spencer et al.
2017, pp. 1–2). Hence, although our
earlier analysis concluded that fisher
habitat in the SSN subpopulation area
may actually be increasing, we can no
longer support that conclusion based on
recent vegetation mortality.
Extensive areas of suitable habitat
remain unoccupied by fishers,
suggesting that there are also areas
where habitat may not be the limiting
factor for current or potential fisher
populations. Recent fisher surveys in
the western Cascades of Oregon suggest
fishers do not occur in the northern
portion of the Cascades, and their
former distribution may even be
contracting southward (Moriarty et al.
2016, entire; Barry 2018, pp. 20–23, 31–
32). Lack of fisher detections in large
areas with suitable habitat raises
questions about our understanding of
suitable habitat within the Oregon
Cascades, and what the limiting factors
are for fishers in Oregon. One such
mechanism could be predation. Recent
research in California suggests that
landscape changes as a result of
disturbances over the past century may
have altered the carnivore community
and affected predation rates on fishers
by bobcats (Wengert 2013, pp. 59–66,
93, 97–100); proximity to open and
brushy areas (vegetation selected for by
bobcats) increased the risk of predation
on fishers. Hence, while vegetation
management may not be affecting large
areas of suitable fisher habitat, fishers
may be precluded from using the habitat
due to other limiting factors.
PO 00000
Frm 00016
Fmt 4701
Sfmt 4702
Vegetation Management Summary
Old-forest losses on all ownerships
combined in the past two decades were
less than 2.5 percent per decade due to
timber harvest within the NWFP area
(which includes the NCSO
subpopulation area), and 3.1 percent per
decade as a result of all disturbance
types within the Sierra Nevada region
(which includes the SSN subpopulation
area). Additionally, and specifically
within the SSN subpopulation area,
fisher habitat appeared to be increasing
until recent vegetation mortality due to
fires and drought. However, it is
difficult to conclude the degree to
which vegetation management threatens
fishers throughout the DPS. Given the
large home range of fishers and the
geographic extent of forest management
activities throughout the range of the
DPS, some fisher individuals are likely
affected as a result of habitat impacts
(e.g., Thompson and Clayton 2016, pp.
11–16; Purcell et al. 2018, pp. 60–61).
Although fishers occur in landscapes
and stands where timber harvest has
occurred (e.g., Slauson et al. 2003, pp.
7–9; Self and Callas 2006, entire; Hamm
et al. 2012, pp. 421–422; Clayton 2013,
pp. 7–19; Niblett et al. 2015, entire),
there is no information on how different
vegetation management activities affect
fisher subpopulations and their
persistence within the DPS’s range.
Analysis is further confounded because
the category of vegetation management
contains activities ranging from those
that result in substantial loss of habitat
attributes valuable to fishers (e.g., large
clear-cut harvests that remove almost all
tree canopy and structural features) to
activities that modify habitat at smallscale levels yet appear to retain
functionality as fisher habitat (e.g.,
minor reductions in canopy cover and
retention of structural features suitable
for rest sites, den sites, or prey
production). In addition, some of the
trend data we analyzed did not allow us
to tease out vegetation management
disturbance from disturbances due to
fire or other natural events. Finally,
there appears to be substantial amounts
of unoccupied fisher habitat, suggesting
that habitat is not limiting for fishers
and, therefore, habitat loss is not a
threat. However, this finding may also
be due to errors in our understanding of
habitat, or that our definition of fisher
habitat includes conditions suitable for
other factors that may be limiting fishers
(e.g., unsuitable prey habitat or suitable
predator habitat (see ‘‘Disease or
Predation,’’ below)), or that still other
factors unrelated to habitat are limiting
fisher distribution. Consequently, based
on the best available scientific and
E:\FR\FM\07NOP3.SGM
07NOP3
Federal Register / Vol. 84, No. 216 / Thursday, November 7, 2019 / Proposed Rules
commercial information, we find that
some levels of vegetation management
may threaten fisher, and will continue
to do so in the foreseeable future, but
many of the effects are exacerbated by
other forms of habitat loss such as tree
mortality from drought and severe
wildfires.
Exposure to Toxicants
Rodenticides analyzed as a threat to
fishers include first- and secondgeneration anticoagulant rodenticides
and neurotoxicant rodenticides. Firstgeneration anticoagulant rodenticides
are in a bait form that is targeted for
rodents to consume for several
consecutive feedings (i.e., sublethal
doses) that deliver a lethal dose.
Second-generation rodenticides are
significantly more potent than firstgeneration rodenticides because a lethal
dose can be ingested in a single feeding.
Additionally, second-generation
rodenticides are more likely to poison
predatory wildlife (e.g., fishers) that eat
live or dead poisoned prey, or other
non-target wildlife. Neurotoxicant
rodenticides are delivered in either
single or multiple doses and have highly
variable potency (multiple hours or
days).
Both first- and second-generation
anticoagulant rodenticides and
neurotoxicant rodenticides are most
often used to kill small mammals that
are destroying crops. Rodenticides
impair an animal’s ability to produce
several key blood-clotting factors
(anticoagulant rodenticides) or affect
brain and liver function (neurotoxicant
rodenticides). Anticoagulant rodenticide
exposure is manifested by such
conditions as bleeding nose and gums,
extensive bruises, anemia, fatigue,
difficulty breathing, and also damage to
small blood vessels, resulting in
spontaneous and widespread
hemorrhaging. A sublethal dose of a
rodenticide can produce significant
clotting abnormalities and
hemorrhaging, leading to a range of
symptoms, such as difficulty moving
and the decreased ability to recover
from physical injury. Ingestion of the
neurotoxicant bromethalin has fastacting and physical effects such as
unsteadiness and weakness, and at
higher dosage levels, seizures. Both
anticoagulant and neurotoxicant
rodenticides can change or impede
normal movement and foraging
behaviors of fishers and therefore may
increase the probability of mortality
from other sources.
Both the draft and final Species
Reports detail the exposure of fishers to
rodenticides in the West Coast States
(Service 2014, pp. 149–166; Service
VerDate Sep<11>2014
19:51 Nov 06, 2019
Jkt 250001
2016, pp. 141–159). Data available since
completion of the final Species Report
in 2016 continue to document exposure
and mortalities to fishers from
rodenticides in both the NCSO and SSN
subpopulations (Gabriel and Wengert
2019, unpublished data, entire). Fishers
monitored as part of other studies, and
that have died during these studies,
have been collected and tested for
causes of mortality and exposure to
rodenticides (Gabriel and Wengert 2019,
unpublished data). Data for 97 fishers
collected in California in the period
2007–2014 indicate 81 percent of fishers
tested positive for one or more
rodenticides; 48 fishers were collected
during 2015–2018, and the positive
detection rate for rodenticides was 83
percent (Gabriel and Wengert 2019,
unpublished data). Mortalities due to
rodenticide toxicosis have increased
from 5.6 to 18.7 percent since collection
and testing of fisher mortalities began in
2007 (Gabriel et al. 2015, p. 7). From
2015 to 2018, additional fisher
mortalities due to both anticoagulant
and neurotoxicant rodenticides have
been documented, including data
verifying the exposure of neonatal kits
to rodenticides through transplacental
transfer (Gabriel and Wengert 2019,
unpublished data, p. 4).
The most likely source of exposure of
fishers to these toxicants continues to be
rodenticides associated with illegal
marijuana cultivation sites within
occupied fisher habitat on public,
private, and tribal lands in California
and Oregon (Gabriel et al. 2015, pp. 14–
15; Thompson et al. 2014, pp. 97–98).
Data pertaining to the amount and types
of rodenticides has been collected in
more than 300 trespass grow sites in
California during the period 2012–2018
(Gabriel and Wengert 2019, unpublished
data, pp. 5–7). Collection of these data
has shown that a lesser amount of
second-generation rodenticides are
being found at grow sites due to policy
changes in 2014 related to pesticide use
and additional restrictions now in place
on the use of second-generation
rodenticides in California. The change
in policy has led to a more intensive use
of first-generation anticoagulant
rodenticide and the highest amount of
neurotoxicant rodenticide use since
2012 (Gabriel and Wengert 2019,
unpublished data, pp. 5–7). Please see
additional discussion on the effects of
first- and second-generation
rodenticides in the 2016 Species Report
(Service 2016, pp. 150–159).
Data are limited for the amount of
pesticides used at sites outside of
California. The U.S. Forest Service
documented 63 trespass grows between
2006 and 2016, with toxicants present
PO 00000
Frm 00017
Fmt 4701
Sfmt 4702
60293
for all sites visited (Clayton 2019, pers.
comm.). To date, only one site in
southern Oregon has been sampled
using the same protocol as in California.
This southern Oregon location had 54
pounds (lb) (24.5 kilograms (kg)) of firstgeneration anticoagulant rodenticide
and 8 lb (3.6 kg) of neurotoxicant
rodenticide (Gabriel and Wengert 2019,
unpublished data, p. 7) onsite.
As was stated in our 2014 Proposed
Rule, the extent to which rodenticides
may act as a threat varies across the
landscape and our [then] determination
regarding this threat was influenced by
the availability of data for different parts
of the fisher’s range. In order to evaluate
the risk to fishers from trespass grows
and any differences between
populations, a Maximum Entropy
(MAXENT) model was developed to
identify high and moderate likelihood of
trespass marijuana grow sites being
located within fisher habitat (Gabriel
and Wengert 2019, unpublished data,
pp. 7–10). This model indicates that 44
percent of habitat modeled (combined
NCSO and SSN subpopulations) for
fishers is within areas of high and
moderate likelihood for marijuana
cultivation. Separating these model
results into the two fisher
subpopulation areas (NCSO and SSN)
indicates a difference in potential
overlap of grow sites with fisher habitat
between NCSO and SSN. In the NCSO
subpopulation, there is a potential of 53
percent overlap between grow sites and
fisher habitat; in the SSN
subpopulation, there is a potential for
22 percent overlap of grow sites in
fisher habitat. These modeled
differences demonstrate the variability
of this threat to fishers within the extant
subpopulations. The extent to which the
use of toxicants occurs on private land
marijuana cultivation sites, as well as
other agricultural, commercial, and
public land sites within the range of the
fisher (and habitats that fishers select
for) is unknown.
At this time, our evaluation of the best
available scientific and commercial
information regarding toxicants and
their effects on fishers leads us to
conclude that individual fishers within
the NCSO and SSN subpopulations have
died from toxicant exposure. New data
indicate a total of 19 mortalities
specifically within the monitored fisher
subpopulations (in both NCSO and SSN
in California) have been directly caused
by toxicant exposure (Gabriel and
Wengert 2019, unpublished data, p. 5).
In addition, of the two fishers found in
Oregon that were tested for rodenticide
exposure, both tested positive (Clayton
2016, pers. comm.). Toxicologists
assume that fishers exposed to one or
E:\FR\FM\07NOP3.SGM
07NOP3
60294
Federal Register / Vol. 84, No. 216 / Thursday, November 7, 2019 / Proposed Rules
more rodenticides and determined to
have died from some other cause
besides toxicosis were also experiencing
sublethal levels of effects from these
chemicals (from Rattner and Mastrota
2018, pp. 68–71; Elliott et al. 2016 in:
Lo´pez-Perea and Mateo 2018, p. 159).
The degree of impact from sublethal
toxicant exposure is unknown (see
additional discussion on sublethal
exposure in the 2016 Species Report,
pp. 150–156); complex behavioral
responses like prey capture efficiency
and predator avoidance are not well
studied (Rattner and Mastrota 2018, pp.
68–71).
Our analysis of this threat includes
additional effort to reevaluate a variety
of toxicant information in our files,
including comments previously
provided by peer reviewers on the 2014
Species Report, as well as new
information such as:
(1) Concentrations of active
ingredients in bait and a description of
how exposure to rodenticides is
confirmed (Erickson and Urban 2004,
entire; Vandenbrouke et al. 2008, entire;
Rattner et al. 2014, entire)—The livers
of various species where mortality has
occurred show a wide range of
thresholds of rodenticide concentrations
and that a toxicity threshold would
need to account for adverse sublethal
effects (Erckson and Urban 2004, p. 95).
Thus, due to differences in individual
fishers and rodenticide exposure, it
remains unknown at what level of
toxicant exposure fishers may be
experiencing adverse impacts.
(2) Rodent diversity at marijuana
cultivation sites—In grow sites sampled,
rodent diversity at marijuana cultivation
sites that were treated with rodenticides
and sampled after remediation
contained only mice, as compared to
nearby untreated sites where
rodenticides were not used and that
contained large-bodied rodents (e.g.,
woodrats, squirrels, chipmunks). These
larger bodied rodents are the prey
species that the fisher prefers (Gabriel et
al. 2017, p. 10). This information
provides support for the possibility that
fishers could experience indirect effects
from rodenticide use such as preferred
prey species shifting outside of their
home range, or prey depletion within
their home ranges. Changes in prey
abundance within fisher home ranges
could lead to impaired reproduction or
starvation of the resident fishers.
(3) Estimating the extent of fisher
exposure to rodenticides and
determining the source(s)—The delay in
toxicity caused by rodenticides and
their persistence within food webs can
result in contaminated rodents being
found within and adjacent to treated
VerDate Sep<11>2014
19:51 Nov 06, 2019
Jkt 250001
areas weeks or months after bait
application (Geduhn et al. 2014, pp. 8–
9; Tosh et al. 2012, pp. 5–6; Sage et al.
2008, p. 215). Predators that are (a)
nocturnal, (b) opportunistic in feeding
habitats where rodents are an important
part of their diet, and (c) nonmigratory
and live close to or within landscapes
that are heavily impacted by human
activities (e.g., the grow sites) have a
higher incidence of exposure to
rodenticides and have relatively high
liver residue concentrations of multiple
rodenticide compounds (Hindmarch
and Elliott 2018, p. 251). Because fishers
are territorial (nonmigratory) mammals,
and females specifically make few if any
movements once they have established
a territory (Arthur et al. 1993, p. 872),
they are vulnerable to rodenticide
exposure from grow sites within their
home ranges. Additionally, fisher diets
consist primarily of small mammals
(Golightly et al. 2006, entire), which are
the target species for rodenticides used
in grow sites (Gabriel et al. 2015, entire;
Thompson et al. 2014, pp. 97–98).
Therefore, even though it may be
difficult to assess persistence of
rodenticides in food webs it is likely
that fisher life-history traits make them
vulnerable to long-term exposure to
rodenticides.
(4) Unreclaimed sites across the
landscape. During the ‘‘Operation
Forest Watch, Department of Justice’’
campaign in California between October
2017 and September 2018, more than
20,000 pounds of fertilizer, pesticides,
and chemicals were removed from 160
trespass cannabis grow sites
(Department of Justice (DOJ) 2018, p. 2).
Currently, 766 sites are still in need of
reclamation (DOJ 2018, p. 2). Of the 160
grow sites mentioned above, 89 percent
were confirmed or strongly suspected to
have carbofuran or methamidophos (i.e.,
toxic pesticides or insecticides that
cause central nervous system
dysfunction) present, up from the
previous year total of 75 percent (DOJ
2018, p. 2). Estimates of the number of
sites that necessitate reclamation of
toxicants vary. In addition, law
enforcement specialists estimate they
locate and raid roughly 20 to 40 percent
of sites each year and only about 10
percent of those are remediated
(Thompson et al. 2017, p. 45). If these
estimates are accurate, it is reasonable to
conclude that hundreds to thousands of
sites—known and unknown, and with
an undetermined amount of toxicants
present—remain scattered within both
the NCSO and SSN subpopulations
where trespass grows have been
detected (Gabriel et al. 2015, entire;
Thompson et al. 2017, p. 45).
PO 00000
Frm 00018
Fmt 4701
Sfmt 4702
(5) Cannabis cultivation contributing
to forest fragmentation—Expansion of
cannabis cultivation as a landscape use
on private land is changing forest
conditions within areas currently
occupied by fishers. In Humboldt
County, California (a portion of the
NCSO subpopulation area), a recent
analysis examined changes to forest
patch metrics between 2000 and 2013
(Wang et al. 2017, entire). While many
of the watershed-scale changes were due
to timber harvest, the smaller scale
changes (e.g., approximately 0.4 mi2 (1
km2) of both timber harvest and
cannabis cultivation) had many similar
effects on forest fragmentation (Wang et
al. 2017, pp. 4–5).
(6) Habitat effects resulting from legal
cannabis cultivation—Since the 2014
Proposed Rule, the legal status of
cannabis cultivation changed in Oregon
(2015) and California (2016). We have
no data to indicate that legalization of
cannabis cultivation will change black
market sales or how municipalities
enacting local restrictions for cannabis
cultivation on private lands will alter
the number of illegal grows on public
land. Data in Oregon pertaining to
permitted cannabis cultivation show
that, within counties currently occupied
by fisher, 405 legal operations have been
approved (Oregon Liquor Control
Commission 2019, pp. 12–13, 18–34).
Given the rural nature of these Oregon
counties (Jackson, Josephine, Curry),
many of these operations likely occur
within areas occupied by fishers. At this
time, we have limited data about the
prevalence of rodenticide use on legal
private grow sites and whether fishers
are at risk from rodenticide use on
private land. However, we have
documentation of one radio-collared
fisher within a wildland urban interface
area in Jackson County, Oregon, that
tested positive for two rodenticides and
whose home range included two grow
sites and rural residences (Clayton 2019,
pers. comm.).
Marijuana cultivation sites are present
on public and private land within or
near fisher subpopulations in California
and Oregon. The broad use of toxicants
at illegal marijuana cultivation sites in
these States has been documented to
occur within or adjacent to habitat
supporting fishers within the DPS
(Gabriel and Wengert 2019, unpublished
data, pp. 7–9). There are other possible
sources of rodenticides from legal
applications in agriculture and around
buildings in rural areas. The legalization
of marijuana in California and Oregon
adds an element of uncertainty to
evaluating the potential future effects of
toxicant exposure to fishers. It is
unknown whether or how the
E:\FR\FM\07NOP3.SGM
07NOP3
Federal Register / Vol. 84, No. 216 / Thursday, November 7, 2019 / Proposed Rules
legalization of marijuana will change
grow-site location and potentially affect
exposure and mortality rates of fishers
due to rodenticides. The incidence of
fisher exposure to toxicants from all
uses across its range is unknown, and
the best available mortality data are
limited (19 individuals in California),
given there are no wide-ranging studies
across the DPS specifically focused on
fisher toxicant exposure.
We view toxicants as a potentially
significant threat to fishers because of
reported mortalities of fishers from
toxicants, the variety of potential
sublethal effects due to exposure to
rodenticides, and the degree to which
illegal cannabis cultivation overlaps
with the range and habitat of the fisher.
The exposure rate of more than 80
percent of fisher carcasses tested in the
NCSO and SSN subpopulations has not
declined between 2007 and 2018
(Gabriel and Wengert 2019, unpublished
data, pp. 3–4), while toxicosis has
increased since 2007 (Gabriel et al.
2015, p. 7). We do not know the
exposure rate of live fishers to toxicants
as the data has not been collected. In
addition, the minimum amount of
anticoagulant and neurotoxicant
rodenticides required for sublethal or
lethal poisoning of fishers is currently
unknown; however, we have evidence
of fisher mortality and sublethal effects
as a result of rodenticides. Overall,
rodenticides are likely a threat to fisher
within the DPS now and in the
foreseeable future, although we do not
have information about the magnitude
or mechanisms of population-level
effects at this point in time.
Effects Associated With Small
Population Size
In general, species that occupy a
narrow geographic range with specific
habitat requirements and that always
occur in small populations have a high
conservation priority (Primack 2014, p.
158). Small populations are vulnerable
to a rapid decline in their numbers and
localized extinction due to the
following: (1) Loss of genetic variability
(e.g., inbreeding depression, loss of
evolutionary flexibility), (2) fluctuations
in demographic parameters (e.g., birth
and death rates, population growth
rates, population density), and (3)
environmental stochasticity or random
fluctuations in the biological (e.g.,
predation, competition, disease) and
physical environment (e.g., wildfire,
drought events, flooding) (Primack
2014, pp. 252–268). Some information is
available that demonstrates fisher’s
vulnerability to small population
effects, particularly in the SSN
population area, including fisher’s
VerDate Sep<11>2014
19:51 Nov 06, 2019
Jkt 250001
decreased genetic variability from north
to south, limited gene flow, and existing
barriers to dispersal (Wisely et al. 2004,
pp. 642–643; see also additional
discussion in Service 2016, pp. 134–
137). While we do not have data across
the entire range demonstrating that the
West Coast DPS is exhibiting these
specific effects associated with small
population size, consideration of these
three elements along with life-history
traits can provide an extinction
vulnerability profile for the West Coast
DPS of fisher. In sum, this DPS exhibits
the following attributes that may limit
its distribution and population growth:
(1) Loss of large contiguous areas of
historical habitat in combination with
restriction of the species to forested
habitats that have been lost or modified
due to timber harvest practices, human
development, and large, high-severity
wildfires whose frequency and intensity
are in turn influenced by the effects of
climate change.
(2) Dependence on specific elements
of forest structure that may be limited
on the landscape, including microsites
for denning and resting.
(3) Susceptibility to injury or
mortality due to predation from cooccurring larger predators.
Each of these vulnerabilities may
separately, or together, exacerbate any of
the threats described in this analysis for
the West Coast DPS of fisher.
A scarcity of verifiable sightings in
the Oregon Cascades, coastal Oregon,
and the north and central sections of the
Sierra Nevada in California indicate that
subpopulations of fishers in the DPS are
isolated from fishers elsewhere in North
America. Native fishers in the West
Coast States are currently restricted to
two historically extant native
subpopulations (NCSO and SSN) and
one extant reintroduced native
subpopulation (NSN). The NCSO
subpopulation has not expanded and
may have even contracted, nor have
fishers recovered portions of their range
in Oregon beyond our previous
estimates (Barry 2018, p. 22). We
continue to recognize that the two
geographic areas of fisher
subpopulations in the DPS (i.e., SSN
and NCSO, the latter of which includes
the SOC and NSN for this analysis) are
geographically isolated from one
another with little opportunity for
genetic interchange. Additionally, we
continue to recognize that the SSN
subpopulation is relatively small. With
regard to small populations, we note
that forest carnivore populations are
often isolated and generally occur in
low densities. Because we lack specific
information about genetic processes in
small, isolated forest carnivore
PO 00000
Frm 00019
Fmt 4701
Sfmt 4702
60295
populations, it is unknown whether
generalities about persistence based on
untested theoretical models may apply
to fisher (Ruggiero et al. 1994, p. 146),
at least with regard to the SSN
subpopulation. In the specific case of
fishers in this DPS, our evaluation of the
best scientific and commercial
information available indicates that the
separation of the SSN and NCSO
subpopulations occurred a very long
time ago, possibly on the order of more
than a thousand years, pre-European
settlement (Tucker et al. 2012, pp. 1, 7).
Despite their isolation and the small
size of the SSN subpopulation, the
native NCSO and SSN subpopulations
have persisted over a long period of
time.
At this point in time, the fisher
subpopulations are already considered
relatively small, especially when taking
into account the original/historical
range of the species within the West
Coast states, and the population growth
rates do not indicate that the
subpopulations are increasing. The best
available information suggests these
populations are expected to remain
small (as has been apparent since preEuropean settlement). The SSN
subpopulation is likely to remain
smaller than the NCSO subpopulation
into the future, primarily given the other
stressors that have the potential to
exacerbate the impacts of small
population size. Estimates of fisher
population growth rates for the NCSO
subpopulation and the portion of the
SSN subpopulation surveyed do not
indicate any overall positive or negative
trend. The NCSO subpopulation, which
encompasses both the SOC and NSN
reintroduction sites, covers a relatively
large geographic area of approximately
15,444 mi2 (40,000 km2). The most
recent subpopulation size estimate is
3,196 individuals (range 2,507–4,184);
however, this estimate excludes SOC
and NSN individuals (Furnas et al.
2017, pp. 2–3). Although the areas
monitored for population trend are
limited, for the Hoopa study area, the
population trend from 2005 through
2012 indicates a population growth rate
of 0.992 (C.I. 0.883–1.100) with a higher
growth rate for females 1.038 (0.881–
1.196) than males 0.912 (0.777–1.047)
(Higley et al. 2014, p. 102, Higley 2015,
pers. comm.). Additionally, the most
recent information for the Eastern
Klamath Study Area suggests a growth
rate of 1.06 (C.I. 0.97–1.15, years 2006–
2013) (Powell et al. 2014, p. 23);
however, this growth rate may no longer
be valid as suggested by 2 years of data
(2014–2016) that follow two large fires
in the study area, which indicate an
E:\FR\FM\07NOP3.SGM
07NOP3
60296
Federal Register / Vol. 84, No. 216 / Thursday, November 7, 2019 / Proposed Rules
estimated 40 percent reduction in the
number of fishers post-fire (Green et al.
2019, p. 8).
For the SSN subpopulation, which is
smaller and estimated to range
anywhere in size from 100 to 500
individuals (Service 2016, pp. 48–50),
the population growth rate is estimated
as 0.97 (C.I. 0.79–1.16, years 2007–2014)
(Sweitzer et al. 2015a, p. 784). At this
point in time, we do not have sufficient
information to predict whether
population trends of the two DPS
subpopulation areas will be positive or
negative into the foreseeable future.
Overall, a species (or DPS) with
relatively few populations may be a
concern when there are significant
threats to the species such that one or
more populations may be permanently
lost in the future. One of the two
remaining native fisher subpopulations,
SSN, is considered relatively small, and
both the SSN and NCSO subpopulations
have not appeared to grow or expand,
despite the availability of suitable
habitat. At this time, the best available
information for monitored
subpopulations within the DPS (e.g.,
Green 2017, Higley et al. 2014, Powell
et al. 2014, entire, Sweitzer et al. 2015a,
entire) does not indicate whether the
NCSO or SSN subpopulations, as a
whole, are stable or exhibiting
significant declines.
Existing Regulatory Mechanisms and
Voluntary Conservation Measures
We stated in the 2014 Proposed Rule,
and we reaffirm here that there are
many Federal and State existing
regulatory mechanisms that provide a
benefit to fishers and their habitat. For
example, trapping restrictions have
substantially reduced fisher mortality
throughout the range of the West Coast
DPS of fisher. In some places, forest
management practices are explicitly
applied to benefit fishers or other
species with many similar habitat
requirements, such as the northern
spotted owl. In addition, some HCPs are
in place and to provide a benefit to
fishers and their habitat.
State and Federal regulatory
mechanisms have abated the large-scale
loss of fishers to trapping and loss of
fisher habitat, especially on Federal
land (Service 2014, pp. 117–141).
Additionally, rodenticides are regulated
under Federal and State laws. However,
fishers may still be exposed to such
rodenticides in certain areas where they
can still be used legally. Fishers are also
exposed to some degree to rodenticides
used illegally (as discussed below).
VerDate Sep<11>2014
19:51 Nov 06, 2019
Jkt 250001
Forest Service and BLM
A number of Federal agency
regulatory mechanisms pertain to
management of fisher (and other species
and habitat). Most Federal activities
must comply with the National
Environmental Policy Act of 1969, as
amended (NEPA) (42 U.S.C. 4321 et
seq.). NEPA requires Federal agencies to
formally document, consider, and
publicly disclose the environmental
impacts of major Federal actions and
management decisions significantly
affecting the human environment. NEPA
does not regulate or protect fishers, but
requires full evaluation and disclosure
of the effects of Federal actions on the
environment. Other Federal regulations
affecting fishers are the Multiple-Use
Sustained Yield Act of 1960, as
amended (16 U.S.C. 528 et seq.) and the
National Forest Management Act of
1976, as amended (NFMA) (90 Stat.
2949 et seq.; 16 U.S.C. 1601 et seq.).
NFMA specifies that the Forest
Service must have a land and resource
management plan to guide and set
standards for all natural resource
management activities on each National
Forest or National Grassland.
Additionally, the fisher has been
identified as a sensitive species by the
Forest Service throughout its range.
BLM management is directed by the
Federal Land Policy and Management
Act of 1976, as amended (43 U.S.C. 1704
et seq.). This legislation provides
direction for resource planning and
establishes that BLM lands shall be
managed under the principles of
multiple use and sustained yield. This
law directs development and
implementation of resource
management plans, which guide
management of BLM lands at the local
level. Fishers are also designated as a
sensitive species throughout its range on
BLM lands.
In addition, the NWFP was adopted
by the Forest Service and BLM in 1994
to guide the management of more than
24 million ac (9.7 million ha) of Federal
lands within the range of the northern
spotted owl, which overlaps with
portions of the West Coast DPS of
fisher’s range in Oregon and
northwestern California (U.S.
Department of Agriculture (USDA) and
U.S. Department of the Interior (USDI)
1994, entire). The NWFP Record of
Decision amended the management
plans of National Forests and BLM
Districts and provided the basis for
conservation of the northern spotted
owl and other late-successional and oldgrowth forest associated species on
Federal lands. However, in 2016 the
BLM revised their Resource
PO 00000
Frm 00020
Fmt 4701
Sfmt 4702
Management Plan (RMP), replacing
NWFP direction for BLM-administered
lands in western Oregon, totaling
approximately 2.5 million ac (1 million
ha) (USDI BLM 2016a, 2016b, entire).
Compared with management under
the NWFP, BLM’s revised RMP results
in a decrease in land allocated for
timber harvest, from 28 percent of their
planning area in the Matrix allocation
under NWFP, to 20 percent under their
revised RMP. However, volume of
timber harvest is expected to increase to
278 million board feet per year through
the first decade, up from the highest
NWFP annual amount of about 250
million board feet, and the average
NWFP annual amount of 167 (USDI
BLM 2015, pp. 350–352). Forest stand
conditions assumed to represent fisher
habitat are expected to decline in the
first two decades under the revised
RMP, similar to projections under the
NWFP. However, by decade three,
habitat is projected to increase under
the revised plan compared to the NWFP
because more fisher habitat is in reserve
allocations under the revised plan (75
percent of fisher habitat on BLM land)
than under the NWFP (49 percent)
(USDI BLM 2015, pp. 1,704–1,709).
Federal lands are important for fishers
because they have retained a network of
late-successional and old-growth forests
(LSRs) that currently provide fisher
habitat, and the amounts of habitat are
expected to increase over time. Also, the
National Forest and BLM units with
anadromous fish watersheds provide
buffers for riparian reserves on either
side of a stream, depending on the
stream type and size. With limited
exceptions, timber harvesting is
generally not permitted in riparian
habitat conservation areas, and the
additional protection guidelines
provided by National Forests and BLM
for these areas may provide refugia and
connectivity among more substantive
blocks of fisher habitat. Also, the Forest
Service under the NWFP, while
anticipating losses of late-successional
and old-growth forests in the initial
decades of plan implementation,
projected that recruitment would exceed
those losses within 50 to 100 years
(Davis et al. 2015, p. 7). Furthermore,
BLM, under its revised management
plans, is also projecting an increase in
forest stand conditions that are assumed
to represent fisher habitat above current
conditions beginning in the third
decade of plan implementation (USDI
BLM 2015, p. 875).
National Park Service
Statutory direction for the National
Park Service lands within the range of
the DPS is provided by provisions of the
E:\FR\FM\07NOP3.SGM
07NOP3
Federal Register / Vol. 84, No. 216 / Thursday, November 7, 2019 / Proposed Rules
National Park Service Organic Act of
1916, as amended (54 U.S.C. 100101).
Land management plans for the
National Parks within Oregon and
California do not contain specific
measures to protect fishers, but areas
not developed specifically for recreation
and camping are managed toward
natural processes and species
composition and are expected to
maintain fisher habitat. In addition,
hunting and trapping are generally
prohibited in National Parks (e.g., 16
U.S.C. 60, 98, 127, 204c, and 256b).
Tribal Lands
Several tribes within the range of the
DPS recognize fishers as a culturally
significant species, but only a few tribes
have fisher-specific guidelines in their
forest management plans. Some tribes,
while not managing their lands for
fishers explicitly, manage for forest
conditions conducive to fisher (for
example, marbled murrelet
(Brachyramphus marmoratus) habitat,
old-forest structure restoration).
Trapping is typically allowed on most
reservations and tribal lands, and is
frequently restricted to tribal members.
Whereas a few tribal governments trap
under existing State trapping laws, most
have enacted trapping laws under their
respective tribal codes. However,
trapping (in general) is not known to be
a common occurrence on any of the
tribal lands.
Rodenticide Regulatory Mechanisms
The threats posed to fishers from the
use of rodenticides are described under
‘‘Exposure to Toxicants,’’ above. In the
2016 final Species Report (Service 2016,
pp. 187–189), we analyzed whether
existing regulatory mechanisms are able
to address the potential threats to fishers
posed from both legal and illegal use of
rodenticides. As described in the 2016
final Species Report, the use of
rodenticides is regulated by several
Federal and State mechanisms (e.g.,
Federal Insecticide, Fungicide, and
Rodenticide Act of 1947, as amended,
(FIFRA) 7 U.S.C. 136, et seq.; California
Final Regulation Designating
Brodifacoum, Bromadiolone,
Difenacoum, and Difethialone (Second
Generation Anticoagulant Rodenticide
Products) as Restricted Materials,
California Department of Pesticide
Regulation, 2014). The primary
regulatory issue for fishers with respect
to rodenticides is the availability of
large quantities of rodenticides that can
be purchased under the guise of legal
uses, but are then used illegally in
marijuana grows within fisher habitat.
Both the Environmental Protection
Agency (EPA), through its 2008 Risk
VerDate Sep<11>2014
19:51 Nov 06, 2019
Jkt 250001
Mitigation Decision for Ten
Rodenticides (EPA 2008, entire), which
issued new legal requirements for the
labeling, packaging, and sale of secondgeneration anticoagulants, and
California’s Department of Pesticide
Regulation, through a rule effective in
July 2014, which restricts access to
second-generation anticoagulants, are
attempting to reduce the risk posed by
second-generation anticoagulants.
State Regulatory Mechanisms
Oregon
The fisher is a protected wildlife
species, which prohibits killing or
possessing fishers in the State of Oregon
(Oregon Administrative Rule (OAR)
635–044–0430). In addition, ODFW
does not allow trapping of fishers in
Oregon. Although fishers can be injured
and/or killed by traps set for other
species, known fisher captures are
infrequent. State parks in Oregon are
managed by the Oregon Parks and
Recreation Department, and many State
parks in Oregon provide forested
habitats suitable for fisher. The Oregon
Forest Practice Administrative Rules
(OAR chapter 629, division 600) and
Forest Practices Act (Oregon Revised
Statutes (ORS) 527.610 to 527.770,
527.990(1) and 527.992) (ODF 2018,
entire) apply to all non-Federal and
non-tribal lands in Oregon, regulating
activities that are part of the commercial
growing and harvesting of trees,
including timber harvesting, road
construction and maintenance, slash
treatment, reforestation, and pesticide
and fertilizer use. The OAR provides
additional guidelines intended for
conserving soils, water, fish and wildlife
habitat, and specific wildlife species
while engaging in tree growing and
harvesting activities, and these rules
may result in retention of some
structural features (i.e., snags, green
trees, downed wood) that contribute to
fisher habitat. Management of State
forest lands is guided by forest
management plans. Managing for the
structural habitats as described in
existing plans should increase habitat
for fishers on State forests.
California
At the time of the 2014 Proposed
Rule, fishers were a Candidate Species
in California; thus, take (under the
CESA definition) was prohibited during
the candidacy period. On June 10, 2015,
CDFW submitted its status review of the
fisher to the California Fish and Game
Commission, indicating that listing of
the fisher in the Southern Sierra Nevada
ESU as threatened was warranted, but
that fishers in the Northern California
PO 00000
Frm 00021
Fmt 4701
Sfmt 4702
60297
ESU were not threatened (CDFW 2015,
entire). On August 6, 2015, the
California Fish and Game Commission
voted to list the southern Sierra Nevada
Evolutionarily Significant Unit (ESU) of
the fisher as a threatened species under
the California Endangered Species Act
(CESA). Consequently, take (i.e.,
removing, harming, or killing a
protected species), is prohibited by
California only in the southern Sierra
Nevada portion of the proposed DPS’s
range. It is also illegal to intentionally
trap fishers in California (Cal. Code
Regs. title 14, § 460 (2017).
The California Environmental Quality
Act (CEQA) can provide protections for
a species that meets one of several
criteria for rarity (CEQA 15380). Fishers
throughout the proposed DPS’s range in
California meet these criteria, and under
CEQA, a lead agency can require that
adverse impacts be avoided, minimized,
or mitigated for projects subject to
CEQA review that may impact fisher
habitat. All non-Federal forests in
California are governed by the State’s
Forest Practice Rules (FPR) under the
Z’Berg Nejedly Forest Practice Act of
1973, a set of regulations and policies
designed to maintain the economic
viability of the State’s forest products
industry while preventing
environmental degradation. FPRs do not
contain rules specific to fishers, but they
may provide some protection of fisher
habitat as a result of timber harvest
restrictions.
Voluntary Conservation Mechanisms
Northern California-Southern Oregon
(NCSO)
An intergovernmental MOU for fisher
conservation was signed by Federal and
State agencies in Oregon (DOI et al.
2016, entire) to facilitate fisher
conservation activities. The western
Oregon template fisher CCAA (81 FR
15737, March 24, 2016) has been
published, and we are negotiating site
plans and processing permit
applications. Conservation actions in
the CCAA include protection of
occupied den sites as well as landowner
participation and collaboration with
fisher surveys and research as part of a
defined program of work.
In 2009, a programmatic Safe Harbor
Agreement (SHA) was completed for
northern spotted owls in Oregon (74 FR
74 35883, July 21, 2009). The agreement
authorizes the ODF to extend incidental
take coverage with assurances through
issuance of Certificates of Inclusion to
eligible, non-Federal landowners who
are willing to carry out habitat
management measures benefitting the
northern spotted owl. The purpose of
E:\FR\FM\07NOP3.SGM
07NOP3
60298
Federal Register / Vol. 84, No. 216 / Thursday, November 7, 2019 / Proposed Rules
the agreement is to encourage nonFederal landowners to create, maintain,
and enhance spotted owl habitat
through forest management, which
would also benefit fishers given the two
species’ use of similar habitat
components.
In 2016, an approximately 1.6
million-ac (647 thousand-ha) CCAA for
fishers on lands in Sierra Pacific
Industries (SPI) ownership in the
Klamath, Cascade, and Sierra Nevada
mountains was completed (SPI and
Service 2016, entire). This CCAA
encompasses approximately 5 percent of
potentially suitable fisher habitat in
California, 2.7 percent of which is
within the currently occupied range.
Implementation and monitoring has
been under way since that time. The
objectives of this CCAA are to secure
general forested habitat conditions for
fishers for a 10-year time period and the
retention of important fisher habitat
components (large trees, hardwoods,
and snags) suitable for denning and
resting into the future.
In 2019, we finalized an incidental
take permit for the Green Diamond
Forest HCP (GDRC 2018, entire), which
is anticipated to provide a conservation
benefit for fishers and their habitat
(portions of forests on the west slope of
the coastal and Klamath Mountains) in
Del Norte and Humboldt Counties,
California. Conservation benefits
anticipated include (but are not limited
to): Identifying and retaining fisher
denning and resting trees, including
maintaining a 0.25-mi (402-m) radius
no-harvest buffer around active fisher
dens; fisher-proofing water tanks and
pipes; implementing measures that
detect, discourage, and remove
unauthorized marijuana cultivation and
associated pesticide use; and
cooperating with any Federal or Stateapproved fisher capture and relocation/
reintroduction recovery programs
(Service 2019a, p. 2).
Southern Sierra Nevada (SSN)
The Sierra Nevada Fisher Working
Group completed a conservation
strategy in 2016 (Spencer et al. 2016,
entire), but the authors of the report
later released a changed circumstances
letter due to new tree mortality
information (Spencer et al. 2017, entire).
The changed circumstances letter
provides details on the conservation
measures that may no longer be
applicable and an interim process for
designing and evaluating vegetation
management projects. Current benefits
that still exist for fisher from the
conservation strategy and the changed
circumstances letter include long-term
desired conditions representing a range
VerDate Sep<11>2014
19:51 Nov 06, 2019
Jkt 250001
of characteristics to strive for in various
areas to inform fine-scale assessment of
key fisher habitat elements, including
their connectivity within potential
home ranges and across the landscape
(Spencer et al. 2017, pp. 2–6). A
revised/final conservation strategy that
addresses the new tree mortality
information does not yet exist.
Resiliency, Representation, and
Redundancy of the West Coast DPS of
Fishers
In this section, we synthesize the
information above to evaluate
resiliency, redundancy, and
representation as they relate to fishers in
the proposed West Coast DPS both
currently and into the future.
• Resiliency reflects a species’ ability
to withstand stochastic events (events
arising from random factors). Resiliency
refers to the capacity of an ecosystem,
population(s) (or DPS), or organism to
recover quickly from disturbances such
as random fluctuations in reproductive
rates and fecundity (demographic
stochasticity), variations in temperature
or rainfall (environmental stochasticity),
and the effects of anthropogenic
activities. Resilient populations
demonstrate an ability to tolerate or
adapt to changes or effects caused by a
disturbance or a combination of
disturbances.
• Redundancy reflects a species’
ability to withstand catastrophic events
(such as a rare destructive natural event
or episode involving one or many
populations). Redundancy is about
spreading the risk of such an event
across multiple or large resilient
population(s). As such, redundancy can
be measured by the number or
distribution of resilient population(s)
across the range of the species. In this
context, a species with adequate or
high-level redundancy compensates for
fluctuations in or loss of populations
across the species’ range such that the
loss of a single population (or a portion
of a single large population) has little or
no lasting effect on the structure and
functioning of the species as a whole.
• Representation characterizes the
ability of a species to adapt to changing
environmental conditions. This
adaptive potential can be measured by
genetic and ecological variability.
Representation is directly correlated to
a species’ ability to adapt to changes
(natural or human-caused) in its
environment.
The degree of resiliency of a species
(or a DPS) is influenced by both the
representation and redundancy of the
species. Resiliency increases with
increasing genetic diversity or a higher
number of individuals; it decreases
PO 00000
Frm 00022
Fmt 4701
Sfmt 4702
when the species has less genetic
diversity or fewer individuals.
Resiliency can also decrease depending
on the magnitude, extent, and
immediacy of impacts affecting one or
more populations. In the case of the
proposed West Coast DPS of fisher,
resiliency may be lower than historical
levels to some degree because the total
population size is considered by some
as small, particularly in the SSN
subpopulation; although, forest
carnivores generally occur at low
densities (Ruggiero et al. 1994, p. 146).
The West Coast DPS of fisher faces a
variety of threats including loss and
fragmentation of habitat (i.e., from highseverity wildfire and wildfire
suppression actions, climate change,
forest insects and tree diseases,
vegetation management, and
development) and potential direct
impacts to individuals (e.g., increased
mortality, decreased reproductive rates,
increased stress/hormone levels,
alterations in behavioral patterns) from
wildfire, increased temperatures,
increased tree mortality, disease and
predation, exposure to toxicants, and
potential effects associated with small
population size. These threats (some
more than others) cumulatively play a
large role in both the current and future
resiliency of the species. Of greatest
importance at this time are:
(1) The long-term suitability of habitat
conditions throughout the DPS’s range
given the continued presence/extent of
high-severity and wide-ranging
wildfires, and prolonged drought
conditions that exacerbate forest insects
and tree diseases. These conditions: (a)
Reduce the availability of the natural
resources (e.g., appropriate canopy
cover, old growth forest structure with
large trees and snags) that the species
relies on to complete its essential lifehistory functions, (b) contribute to
increased stress hormones (cortisol) and
reduced female fisher survival (as noted
in one study in a portion of the SSN
subpopulation), and (c) increase habitat
fragmentation within and between
populations.
(2) The sustained presence of
toxicants from marijuana grow sites
across a likely significant proportion of
the landscape (primarily the NCSO
subpopulation area) that contribute to
continued fisher mortalities. Fisher
mortalities continue to occur either by
direct consumption or sublethal
exposure to anticoagulant rodenticides,
the latter of which may increase fisher
death rates from other impacts such as
predation, disease, or intraspecific
conflict.
(3) Continued fragmentation of habitat
in conjunction with the isolation and
E:\FR\FM\07NOP3.SGM
07NOP3
Federal Register / Vol. 84, No. 216 / Thursday, November 7, 2019 / Proposed Rules
potential inbreeding (due to an overall
small population size) of the SSN
subpopulation (see the SSN
subpopulation discussion above under
‘‘Current Condition of the West Coast
DPS of Fisher’’) when taking into
account primarily (1) above (and likely
to an insignificant degree (2) above).
The ongoing threats exacerbate this
subpopulation’s vulnerability to
extinction from stochastic events.
Regardless of this subpopulation’s
potential for growth into the small
amount of available but unoccupied
suitable habitat present, we do
anticipate this subpopulation will be
small into the long-term future (see also
Service 2016, pp. 133–137). Comments
on the 2014 Proposed Rule received to
date generally agree that the SSN
subpopulation is small. Comments
received to date on the NCSO
subpopulation vary widely between
consideration of this subpopulation as
large or small.
Overall, the West Coast DPS of fisher
has remained somewhat resilient across
its current range given the degree of
habitat loss and fragmentation from
prolonged drought conditions and
wildfire impacts, coupled with
mortalities from toxicants (both
anticoagulant and neurotoxicant
rodenticides), and given at least some
reduced female survival associated with
increased stress hormones and reduced
habitat suitability documented in a
portion of the SSN subpopulation (see
‘‘Forest Insects and Tree Diseases,’’
above). However, considering the best
available science and information at this
time, it is likely that the resiliency of the
DPS is likely to decrease in the nearterm future given the cumulative
impacts associated with current climate
change model predictions for continued
periodic but prolonged drought
conditions, predictions of continued
and increased intensity of wildfires
across southern Oregon and northern
California, the high likelihood of
continued presence and spread of forest
insect and tree diseases, and the low
likelihood that a significant proportion
of existing toxicants on the landscape
would be removed in the near-term
future.
Multiple, interacting populations
across a broad geographic area or a
single wide-ranging population
(redundancy) provide insurance against
the risk of extinction caused by
catastrophic events. As was known at
the time of the 2014 Proposed Rule,
population redundancy continues to
exist across the range of the DPS as a
result of there being two native
subpopulations: (1) The NCSO
subpopulation (which for the purposes
VerDate Sep<11>2014
19:51 Nov 06, 2019
Jkt 250001
of this analysis and as described in this
proposed rule, incorporate the
interbreeding nonnative SOC
subpopulation and the adjacent native
NSN subpopulation) in southern Oregon
and northern California; and (2) the SSN
subpopulation in the Sierra Nevada
range of California. The existence of
these subpopulations, one of which is
broadly distributed, contributes to the
probability that fishers in the DPS will
persist into the future and contribute to
long-term genetic and demographic
viability across the range. If either the
NCSO or SSN native subpopulations or
a significant proportion of the widerranging NCSO subpopulation were to be
permanently lost, the fisher’s
redundancy in the DPS would be
lowered, thereby decreasing the DPS’s
chance of survival in the face of
potential environmental, demographic,
and genetic stochastic factors and
catastrophic events (extreme drought,
wildfire, etc.).
We consider representation (i.e.,
demographic persistence and
preservation of overall genetic diversity)
across the West Coast DPS of fisher to
be moderate at this point in time,
considering the persistence of two
native (NCSO and SSN) subpopulations,
including the reintroduced native NSN
individuals. Also taken into
consideration are the nonnative fishers
reintroduced as the SOC subpopulation
(now documented to be interbreeding
with the NCSO native subpopulation);
technically, these genes provide for
increased representation. Finally, native
fishers no longer appear to be present in
some fragmented, suitable habitat areas
across the DPS’s range, including (but
not limited to) north of the NSN
reintroduction site, fragmented areas
throughout portions of the NCSO
subpopulation area, and throughout
most of the unoccupied, suitable habitat
in central and northern Oregon. Overall,
fishers are represented across a smaller
range than their historical presence, and
occur in smaller numbers than
historically with some introduction of
nonnative genes from the NSN
reintroduction.
Determination of the West Coast DPS of
Fisher
Section 4 of the Act (16 U.S.C. 1533)
and its implementing regulations (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 a species
that is ‘‘in danger of extinction
throughout all or a significant portion of
its range,’’ and a ‘‘threatened species’’ as
a species that is ‘‘likely to become an
PO 00000
Frm 00023
Fmt 4701
Sfmt 4702
60299
endangered species within the
foreseeable future throughout all or a
significant portion of its range.’’ The Act
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.
Status Throughout All of Its Range
We evaluated threats to the species
and assessed the cumulative effect of
the threats under the section 4(a)(1)
factors. Our 2016 Species Report
(Service 2016, entire) is the most recent
detailed compilation of fisher ecology
and life history, and has a significant
amount of analysis related to the
potential impacts of threats within the
DPS’s range. In addition, we collected
and evaluated new information
available since 2016 to ensure a
thorough analysis, as discussed above.
Our analysis as reflected in this finding
included our reassessment of the
previous information and comments
received on the 2014 Proposed Rule
regarding the potential impacts to the
West Coast DPS of fisher, as well as our
consideration of new information
regarding the past, present, and future
threats to the DPS.
We considered whether the West
Coast DPS of fisher is presently in
danger of extinction, and determined
that endangered species status is not
appropriate. While threats are currently
acting on the species and many of those
threats are expected to continue into the
future (see below), we did not find that
the species is currently in danger of
extinction throughout all of its range.
With two subpopulations occurring
across a large portion of the DPS’s range,
the current condition of the species still
provides for enough resiliency,
redundancy, and representation such
that it is not currently in danger of
extinction.
At this time, the best available
information suggests that future
resiliency for the West Coast DPS of
fisher is low. As discussed above in the
‘‘Risk Factors for the West Coast DPS of
Fisher’’ section (along with some detail
in the 2014 draft and 2016 final Species
Reports (Service 2014 and 2016, entire)),
the species faces a variety of threats
including: Loss and fragmentation of
habitat resulting from high-severity
E:\FR\FM\07NOP3.SGM
07NOP3
60300
Federal Register / Vol. 84, No. 216 / Thursday, November 7, 2019 / Proposed Rules
wildfire and wildfire suppression,
climate change, forest insects and tree
diseases, vegetation management, and
development; and potential direct
impacts to individuals (e.g., increased
mortality, decreased reproductive rates,
increased stress/hormone levels,
alterations in behavioral patterns) from
wildfire, increased temperatures,
increased tree mortality, disease and
predation, exposure to toxicants, and
potential effects associated with small
population size (primarily the SSN
subpopulation).
Currently, fishers in the West Coast
DPS exist in two extant subpopulations:
One small SSN subpopulation, and a
larger NCSO subpopulation. The
estimate of the SSN subpopulation is
approximately 300 individuals (range =
low of 100 to a high of 500 individuals),
but there is no statistically detectable
trend in population size or growth.
There are no discernible positive or
negative total trends in the NCSO
subpopulation, and studies have
suggested both positive and negative
population trends at various times and
at localized study sites. The most recent
estimate of the NCSO subpopulation
(excluding NSN and SOC is 3,196
individuals (range = low of 2,507 to a
high of 4,184 individuals) (Furnas et al.
2017, p. 12). Overall, the West Coast
DPS of fisher exists in two separate
subpopulations (with the SSN
subpopulation appearing significantly
smaller than the NCSO subpopulation;
see NCSO and SSN population
descriptions, above, under ‘‘Current
Condition of the West Coast DPS of
Fisher’’) that have persisted but do not
appear to be expanding.
We took into consideration all of the
threats operating within the NCSO and
SSN subpopulation areas that currently
represent the West Coast DPS of fisher;
these subpopulations are reduced in
size due to historical trapping and past
loss of late-successional habitat and,
therefore, are more vulnerable to
extinction from random events and
increases in mortality. We evaluated the
potential for synergistic effects
(interaction of two or more threats that
produce an effect greater than the sum
of their individual effects) of multiple
threats, although we are unable to
quantify the scope and degree of
synergistic effects and the variation of
these effects across the landscape.
However, just as threats are not
occurring in equal scope and degree
across the DPS’s range, it is reasonable
to conclude that the effects from these
threats are occurring more in some areas
than others. Some examples of the
synergistic effects of multiple threats on
fisher include:
VerDate Sep<11>2014
19:51 Nov 06, 2019
Jkt 250001
• Destruction, modification, or
curtailment of habitat, which may
increase fishers’ vulnerability to
predation (Factors A and C);
• Impacts associated with climate
change, such as increased risk of
wildfire and tree mortality (tree insects
and disease), and environmental
impacts of human development, that
will likely interact to cause large-scale
ecotype conversion including shifts
away from habitat types used by fisher,
which could impact the viability of
populations and reduce the likelihood
of reestablishing connectivity (Factors A
and E);
• Increases in disease caused by
climate change (Factors A and C); and
• Human development (primarily
within the Sierra Nevada), which is
likely to cause increases in vehicle
collisions, conflicts with domestic
animals, and infections contracted from
domestic animals (Factors A, C, and E).
Depending on the scope and degree of
each of the threats and how they
combine cumulatively, these threats can
be of particular concern where
populations are small and isolated. The
cumulative effect (all threats combined)
is of concern currently and particularly
so in the foreseeable future, mainly in
areas not managed for retention and
recruitment of fisher habitat attributes,
areas sensitive to climate change, and
areas where direct mortality of fishers
reduces their ability to maintain or
expand their populations (Service 2014,
pp. 166–169). Additionally, although
there is currently a wide array of
regulatory mechanisms and voluntary
conservation measures in place to
provide some benefits to the species and
its habitat (see ‘‘Existing Regulatory
Mechanisms and Voluntary
Conservation Measures,’’ above), these
measures are currently insufficient to
protect the species from becoming an
endangered species in the foreseeable
future as a result of the current scope
and degree of the threats (in particular
threats related to illegal rodenticide use,
increasing high-severity wildfires, and
prolonged droughts that exacerbate the
effects from wildfire, forest insects, and
tree disease.
Overall and as stated above, we found
that several threats are likely resulting
in population-level impacts (as opposed
to impacts to a few individuals) within
the DPS’s range, although there is some
uncertainty in regard to the scope and
degree of impacts. While there is
uncertainty, the best available
information suggests that impacts occur
in both the NCSO and SSN
subpopulations, although they appear
particularly problematic in the SSN
subpopulation area because of the
PO 00000
Frm 00024
Fmt 4701
Sfmt 4702
narrow band of habitat that comprises
this subpopulation and probable
negative impacts associated with its
small population size. As noted in our
analysis, preliminary habitat-based
population models suggest that the
configuration of habitat affects
population numbers in this region, and
that some areas with high-quality
habitat may remain unoccupied even at
equilibrium population sizes, probably
due to restricted connectivity between
these locations and the main body of the
population (Service 2016, p. 44;
Rustigian-Romsos 2013, pers. comm.).
Therefore, the cumulative impacts
related to the habitat-based threats are
likely to have a negative effect on the
DPS because connectivity would likely
decrease further (Service 2016, p. 69).
For the mortality-related threats, we
reaffirm our quantitative assessment
from 2014 regarding potential
cumulative impacts in those portions of
the DPS’s range where data were
available to do so. For fishers within
this DPS, mortality related to research
activities, collisions with vehicles, and
anticoagulant rodenticide poisoning
collectively add 3–17 percent annual
mortality to naturally occurring
mortality from disease and predation
(collectively 6–32 percent mortality)
and other natural sources such as
starvation (as was last analyzed/
reported in the final Species Report
(Service 2016, p. 160)). For example,
modeling completed for the SSN
subpopulation demonstrate that a 10 to
20 percent increase in mortality rates
could prevent fisher populations from
the opportunity to expand in the future
(Spencer et al. 2011, pp. 10–12).
Coupled with habitat-related threats, the
best available information suggests that
cumulative effects to the West Coast
DPS of fisher are reducing the resiliency
of fisher subpopulations to such a
degree that the species is likely to
become an endangered species in the
foreseeable future throughout all of its
range (in other words, the future
resiliency for the West Coast DPS of
fisher is likely to be low). We also
recognize that there likely will be
differences in how the threats, both
singly and cumulatively, present
themselves across the landscape within
the DPS’s range.
Based on our review of the best
scientific and commercial data
available, we have determined the West
Coast DPS of fisher meets the definition
of a threatened species under the Act.
Per our 2014 draft and 2016 final
Species Reports, as well as our most
recent analysis summarized herein, we
find the most significant threats to the
West Coast DPS are the cumulative
E:\FR\FM\07NOP3.SGM
07NOP3
Federal Register / Vol. 84, No. 216 / Thursday, November 7, 2019 / Proposed Rules
impact of all identified threats,
especially habitat loss and
fragmentation due to high-severity
wildfire (Factor A) and vegetation
management (Factor A) (noting that
forest insects and tree diseases are
exacerbated by changing climate
conditions and thus also play a role
under Factor A), and exposure to
toxicants (Factor E). The existing
regulatory mechanisms (Factor D) are
not sufficient to address these threats to
the level that the species does not meet
the definition of a threatened species.
We also find that the threat of trapping
(Factor B) that was prevalent in the
early 1900s is no longer a threat to the
West Coast DPS of fisher, but the two
extant populations are not expanding
geographically even though this threat
has been removed.
Thus, after assessing the best available
information, we conclude that the West
Coast DPS of fisher is not currently in
danger of extinction, but is likely to
become in danger of extinction within
the foreseeable future (estimated as 35–
40 years) throughout all of its range. In
reaching this conclusion, we have
considered available conservation
measures and existing regulatory
mechanisms that may ameliorate these
threats.
Status Throughout a Significant Portion
of Its 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. Because we have
determined that the West Coast DPS of
fisher is likely to become an endangered
species within the foreseeable future
throughout all of its range, we find it
unnecessary to proceed to an evaluation
of potentially significant portions of the
range. Where the best available
information allows the Services to
determine a status for the species
rangewide, that determination should be
given conclusive weight because a
rangewide determination of status more
accurately reflects the species’ degree of
imperilment and better promotes the
purposes of the Act. Under this reading,
we should first consider whether the
species warrants listing ‘‘throughout
all’’ of its range and proceed to conduct
a ‘‘significant portion of its range’’
analysis if, and only if, a species does
not qualify for listing as either an
endangered or a threatened species
according to the ‘‘throughout all’’
language. We note that the court in
Desert Survivors v. Department of the
Interior, No. 16-cv-01165–JCS, 2018 WL
VerDate Sep<11>2014
19:51 Nov 06, 2019
Jkt 250001
4053447 (N.D. Cal. Aug. 24, 2018), did
not address this issue.
Determination of Status
Our review of the best available
scientific and commercial information
indicates that the West Coast DPS of
fisher meets the definition of a
threatened species. Therefore, we
propose to list the West Coast DPS of
fisher as a threatened species in
accordance with sections 3(20) and
4(a)(1) of the Act.
Available Conservation Measures
Conservation measures provided to
species listed as endangered or
threatened species under the Act
include recognition, recovery actions,
requirements for Federal protection, and
prohibitions against certain practices.
Recognition through listing results in
public awareness and conservation by
Federal, State, tribal, and local agencies,
private organizations, and individuals.
The Act encourages cooperation with
the States and other countries and calls
for recovery actions to be carried out for
listed species. The protection required
by Federal agencies and the prohibitions
against certain activities are discussed,
in part, below.
The primary purpose of the Act is the
conservation of endangered and
threatened species and the ecosystems
upon which they depend. The ultimate
goal of such conservation efforts is the
recovery of these listed species, so that
they no longer need the protective
measures of the Act. Subsection 4(f) of
the Act calls for the Service to develop
and implement recovery plans for the
conservation of endangered and
threatened species. The recovery
planning process involves the
identification of actions that are
necessary to halt or reverse the species’
decline by addressing the threats to its
survival and recovery. The goal of this
process is to restore listed species to a
point where they are secure, selfsustaining, and functioning components
of their ecosystems.
Recovery planning includes the
development of a recovery outline
shortly after a species is listed and
preparation of a draft and final recovery
plan. The recovery outline guides the
immediate implementation of urgent
recovery actions and describes the
process to be used to develop a recovery
plan. Revisions of the plan may be done
to address continuing or new threats to
the species, as new substantive
information becomes available. The
recovery plan also identifies recovery
criteria for review when a species may
be ready for downlisting or delisting,
and methods for monitoring recovery
PO 00000
Frm 00025
Fmt 4701
Sfmt 4702
60301
progress. Recovery plans also establish
a framework for agencies to coordinate
their recovery efforts and provide
estimates of the cost of implementing
recovery tasks. Recovery teams
(composed of species experts, Federal
and State agencies, nongovernmental
organizations, and stakeholders) are
often established to develop recovery
plans. When completed, the recovery
outline, draft recovery plan, and the
final recovery plan will be available on
our website (https://www.fws.gov/
endangered), or from our Yreka Fish
and Wildlife Office (see FOR FURTHER
INFORMATION CONTACT).
Implementation of recovery actions
generally requires the participation of a
broad range of partners, including other
Federal agencies, States, Tribes,
nongovernmental organizations,
businesses, and private landowners.
Examples of recovery actions include
habitat restoration (for example,
restoration of native vegetation),
research, captive propagation and
reintroduction, and outreach and
education. The recovery of many listed
species cannot be accomplished solely
on Federal lands because their range
may occur primarily or solely on nonFederal lands. To achieve recovery of
these species requires cooperative
conservation efforts on private, State,
and tribal lands. If the West Coast DPS
of fisher is listed, funding for recovery
actions will be available from a variety
of sources, including Federal budgets,
State programs, and cost share grants for
non-Federal landowners, the academic
community, and nongovernmental
organizations. In addition, pursuant to
section 6 of the Act, the States of
California and Oregon would be eligible
for Federal funds to implement
management actions that promote the
protection or recovery of the West Coast
DPS of fisher. Information on our grant
programs that are available to aid
species recovery can be found at: https://
www.fws.gov/grants.
Although the West Coast DPS of fisher
is only proposed for listing under the
Act at this time, please let us know if
you are interested in participating in
recovery efforts for this species.
Additionally, we invite you to submit
any new information on this species
whenever it becomes available and any
information you may have for recovery
planning purposes (see FOR FURTHER
INFORMATION CONTACT).
Section 7(a) of the Act requires
Federal agencies to evaluate their
actions with respect to any species that
is proposed or listed as an endangered
or threatened species and with respect
to its critical habitat, if any is
designated. Regulations implementing
E:\FR\FM\07NOP3.SGM
07NOP3
60302
Federal Register / Vol. 84, No. 216 / Thursday, November 7, 2019 / Proposed Rules
this interagency cooperation provision
of the Act are codified at 50 CFR part
402. Section 7(a)(4) of the Act requires
Federal agencies to confer with the
Service on any action that is likely to
jeopardize the continued existence of a
species proposed for listing or result in
destruction or adverse modification of
proposed critical habitat. If a species is
listed subsequently, section 7(a)(2) of
the Act requires Federal agencies to
ensure that activities they authorize,
fund, or carry out are not likely to
jeopardize the continued existence of
the species or destroy or adversely
modify its critical habitat. If a Federal
action may affect a listed species or its
critical habitat, the responsible Federal
agency must enter into consultation
with the Service.
Federal agency actions within the
species’ habitat that may require
conference or consultation or both as
described in the preceding paragraph
include management and any other
landscape-altering activities as well as
toxicant use on Federal lands
administered by the U.S. Fish and
Wildlife Service, U.S. Forest Service,
BLM, and National Park Service;
issuance of section 404 Clean Water Act
permits by the Army Corps of Engineers;
and construction and maintenance of
roads or highways by the Federal
Highway Administration.
II. Critical Habitat
Section 4(a)(3) of the Act, as
amended, and implementing regulations
(50 CFR 424.12), require that, to the
maximum extent prudent and
determinable, the Secretary shall
designate critical habitat at the time the
species is determined to be an
endangered or threatened species. Our
regulations (50 CFR 424.12(a)(1)) state
that:
(1) The specific areas within the
geographical area occupied by the
species, at the time it is listed in
accordance with the provisions of
section 4 of this Act, on which are
found those physical or biological
features (a) Essential to the conservation
of the species, and (b) Which may
require special management
considerations or protection; and
(2) Specific areas outside the
geographical area occupied by the
species at the time it is listed in
accordance with the provisions of
section 4 of this Act, upon a
determination by the Secretary of the
Interior that such areas are essential for
the conservation of the species. Our
regulations (50 CFR 424.12(a)(1)) state
that the Secretary may, but is not
required to, determine that a
VerDate Sep<11>2014
19:51 Nov 06, 2019
Jkt 250001
designation would not be prudent in the
following circumstances:
(i) The species is threatened by taking
or other human activity and
identification of critical habitat can be
expected to increase the degree of threat
to the species;
(ii) The present or threatened
destruction, modification, or
curtailment of a species’ habitat or range
is not a threat to the species, or threats
to the species’ habitat stem solely from
causes that cannot be addressed through
management actions resulting from
consultations under section 7(a)(2) of
the Act;
(iii) Areas within the jurisdictions of
the United States provide no more than
negligible conservation value, if any, for
a species occurring primarily outside
the jurisdiction of the United States;
(iv) No areas meet the definition of
critical habitat; or
(v) The Secretary otherwise
determines that designation of critical
habitat would not be prudent based on
the best scientific data available.
We did not identify any of the factors
above to apply to the West Coast DPS
of fisher. Therefore, we find designation
of critical habitat is prudent for the West
Coast DPS of fisher.
Our regulations (50 CFR 424.12(a)(2))
further state that critical habitat is not
determinable when one or both of the
following situations exists: (1)
Information sufficient to perform
required analysis of the impacts of the
designation is lacking; or (2) the
biological needs of the species are not
sufficiently well known to permit
identification of an area as critical
habitat. A careful assessment of the
economic impacts that may occur due to
a critical habitat designation is not yet
complete, and we are in the process of
working with the States and other
partners in acquiring the complex
information needed to perform that
assessment. Because the information
sufficient to perform a required analysis
of the impacts of the designation is
lacking, we therefore find designation of
critical habitat for the West Coast DPS
of fisher to be not determinable at this
time.
III. Proposed Rule Issued Under
Section 4(d) of the Act
Provisions of Section 4(d) of the Act
Under section 4(d) of the Act, the
Secretary of the Interior has the
discretion to issue such regulations as
he deems necessary and advisable to
provide for the conservation of
threatened species. The Secretary also
has the discretion to prohibit by
regulation with respect to any
PO 00000
Frm 00026
Fmt 4701
Sfmt 4702
threatened species of fish or wildlife
any act prohibited under section 9(a)(1)
of the Act. The prohibitions of section
9(a)(1) of the Act make it illegal for any
person subject to the jurisdiction of the
United States to take (which includes
harass, harm, pursue, hunt, shoot,
wound, kill, trap, capture, or collect; or
to attempt any of these) endangered
species of fish or wildlife within the
United States or on the high seas. In
addition, it is unlawful to import;
export; deliver, receive, carry, transport,
or ship in interstate or foreign
commerce in the course of commercial
activity; or sell or offer for sale in
interstate or foreign commerce any
endangered fish or wildlife species. It is
also illegal to possess, sell, deliver,
carry, transport, or ship any such
wildlife or fish that has been taken
illegally. To the extent the section
9(a)(1) prohibitions apply only to
endangered species, this proposed rule
would apply those same prohibitions to
the West Coast DPS of fisher with some
exceptions, in accordance with section
4(d) of the Act. In other words, we are
not applying the full suite of section
9(a)(1) protections to the West Coast
DPS of fisher, and instead are including
some exceptions to the section 9(a)(1)
prohibitions for specific management
activities that result in a long-term
benefit to the species.
The courts have recognized the extent
of the Secretary’s discretion to develop
prohibitions, as well as exclusions from
those prohibitions, that are appropriate
for the conservation of a species. For
example, the Secretary may decide not
to prohibit take, or to put in place only
limited take prohibitions. See Alsea
Valley Alliance v. Lautenbacher, 2007
U.S. Dist. Lexis 60203 (D. Or. 2007);
Washington Environmental Council v.
National Marine Fisheries Service, 2002
U.S. Dist. Lexis 5432 (W.D. Wash. 2002).
In addition, as affirmed in State of
Louisiana v. Verity, 853 F.2d 322 (5th
Cir. 1988), the protective regulations for
a species need not address all the
threats to the species. As noted by
Congress when the Act was initially
enacted, ‘‘once an animal is on the
threatened list, the Secretary has an
almost infinite number of options
available to him with regard to the
permitted activities for those species.’’
He may, for example, ‘‘permit taking,
but not importation of such species,’’ or
he may choose to forbid both taking and
importation but allow the transportation
of such species, as long as the measures
will ‘‘serve to conserve, protect, or
restore the species concerned in
accordance with the purposes of the
E:\FR\FM\07NOP3.SGM
07NOP3
Federal Register / Vol. 84, No. 216 / Thursday, November 7, 2019 / Proposed Rules
Act’’ (H.R. Rep. No. 412, 93rd Cong., 1st
Sess. 1973).
Proposed 4(d) Rule for the West Coast
DPS of Fisher
As explained above, we have
determined that the West Coast DPS of
fisher meets the definition under the
Act of a threatened species, in that it is
likely to become an endangered species
within the foreseeable future throughout
its range. As such, we are proposing to
add the West Coast DPS of fisher as a
threatened species to the List of
Endangered and Threatened Wildlife
(50 CFR 17.11). However, we have also
determined that it is necessary and
advisable to issue protective regulations
under section 4(d) of the Act in order to
reduce the likelihood of the West Coast
DPS of fisher becoming an endangered
species. Under our proposed section
4(d) rule, except as described and
explained below, all prohibitions and
provisions that apply to endangered
wildlife under section 9(a)(1) of the Act
would apply to the West Coast DPS of
fisher. Applying these section 9(a)(1)
prohibitions will help minimize threats
that could cause further declines in the
status of the species for this DPS.
Central to the protections afforded by
this application is the prohibition of
take. Take is defined under the Act as
to ‘‘harass, harm, pursue, hunt, shoot,
wound, kill, trap, capture, or collect, or
to attempt to engage in any such
conduct,’’ and, therefore, any actions
that would result in unlawful take of the
species would be prohibited as a result
of this proposed section 4(d) rule.
The fisher is a forest-dwelling species,
and, as such, the potential for take may
arise anywhere the effects of actions
coincide with the occupied forested
habitat in the range of this DPS.
Numerous forest management activities
occur within the range of the DPS, many
of which could potentially result in take
of fishers, either through death or injury
to fishers resulting from significant
habitat modification or degradation of
their habitat. However, we also
recognize that many of these activities
are conducted under the scope of forest
management plans or actions that are
likely to have an overarching net
beneficial impact for the conservation of
fishers in this DPS. Therefore, while
activities conducted under such forest
management plans or actions may result
in some short-term or small level of
localized negative effect to fishers, we
are providing exceptions to the section
9(a)(1) prohibitions for these activities,
as we believe doing so will provide a
net conservation benefit for the species.
Our first exception is aimed at
forestry management activities for the
VerDate Sep<11>2014
19:51 Nov 06, 2019
Jkt 250001
purposes of reducing the risk or severity
of wildfires. The proposed exception
states that these activities could include
forest management practices such as
those to remove horizontal and vertical
fuels, to remove fuels within 150 ft (45.7
m) of legally permitted structures and
within 300 ft (91.4 m) of habitable
structures, or to implement Fuel Break/
Defensible Space Prescriptions that
allow for the removal of trees or other
vegetation to create shaded fuel breaks
along roads or natural features or to
create defensible space. All actions
taken during a wildfire to support fire
suppression activities would also be
exempt.
With regard to Exception 1, we note
that the long-term viability of the fisher,
as with many wildlife species, is
intimately tied to the condition of its
habitat. As described in our analysis of
the species’ status, one of the primary
driving threats to the fisher’s continued
viability is the destruction of its habitat
from large-scale, stand-replacing
wildfires (see ‘‘Wildfire and Wildfire
Suppression,’’ above). Because of
climate change and warming
temperatures, the increase in the
frequency and severity of these largescale, stand-replacing wildfires
increases the risk to the species from
this threat. Actions taken by forest
managers in the range of the fisher to
reduce the risk or severity of
uncharacteristically large and severe
wildfires, while potentially resulting in
some short-term or localized negative
effects to fishers, will likely further the
goal of reducing the likelihood of the
species from becoming an endangered
species, and will ultimately contribute
to its conservation and long-term
viability. Therefore, we will not apply
the section 9(a)(1) prohibitions to these
actions. Although we propose this
exception to take prohibitions for these
forest management activities, we
encourage forest managers to design
them in a way that avoids take of fishers
provided the fire reduction purposes of
the activities still can be achieved.
Our second exception is related to
forestry management activities
conducted in the range of the West
Coast DPS of fisher pursuant to a fisher
conservation plan or strategy approved
by the Service or the California
Department of Fish and Wildlife. With
regard to this exception, we note that
extensive work has gone into
developing specific forest management
measures, as part of overarching fisher
conservation plans or strategies, which
can contribute to the conservation needs
of the fisher. Forest management
conducted under the scope of such
publicly available fisher conservation
PO 00000
Frm 00027
Fmt 4701
Sfmt 4702
60303
plans or strategies (e.g., Southern Sierra
Nevada Fisher Conservation Strategy
(Spencer et al. 2016, entire; and
subsequent addendum letter, Spencer et
al. 2017)) that include the objectives
outlined below, while having the
potential to result in some small level of
localized disturbance or temporary
negative effects to fishers or their
habitats, is expected to improve overall
habitat conditions and contribute to the
species’ overall long-term viability.
Therefore, we will not prohibit
incidental take of fishers that may occur
as a result of actions implemented
under such conservation plans or
strategies.
Our third exception is aimed at
forestry management activities
conducted in the range of the West
Coast DPS of fisher and with Federal or
State oversight that are not specifically
designed as fisher conservation plans or
strategies, but are nevertheless
consistent with the conservation needs
of the West Coast DPS of fisher.
Activities consistent with the
conservation needs of fisher could
include the following measures:
Retention of known den and rest sites;
retention of multi-layered, structurally
diverse forests; retention of larger
diameter trees, including those with
damage or decay; increased vegetation
diversity, including desirable species
such as hardwoods or mast- or fruitbearing trees; retention of shrubs and
smaller trees in areas with sparse
overstory cover; and no poisoning of
prey species, such as mountain beavers,
porcupines, snowshoe hares, and
woodrats.
With regard to Exception 3, we
acknowledge that there are forest
management activities conducted under
management mechanisms that are not
specifically designed for fisher
conservation, in contrast to Exception 2
above, but that are implemented in ways
that serve to maintain forest habitat
conditions beneficial to fishers. The
management mechanisms included
under this Exception vary, but all are
conducted with Federal or State
oversight. While activities conducted
under such mechanisms have the
potential to result in some small level of
localized disturbance or temporary
negative effects to fishers or their
habitats, the overall forest habitat will
be maintained in conditions beneficial
to fishers, which will contribute to the
DPS’s long-term viability. Therefore,
incidental take of fishers that may occur
as a result of actions implemented
under such forest management
mechanisms will not be prohibited
under this section 4(d) rule.
E:\FR\FM\07NOP3.SGM
07NOP3
60304
Federal Register / Vol. 84, No. 216 / Thursday, November 7, 2019 / Proposed Rules
Our fourth exception is for
management activities conducted for the
purpose of identification and clean-up
of toxicant-contaminated sites for which
the Service has determined that such
activities to remove toxicants would be
consistent with conservation strategies
for the West Coast DPS fishers. Those
activities could include use of
machinery that may cause localized,
short-term disturbance to West Coast
DPS fishers (e.g., helicopters or off-road
vehicles), as well as require limited
removal of some habitat structures
valuable to West Coast DPS fishers (e.g.,
hazard trees that may be a suitable den
site).
With regard to Exception 4, we note
that exposure to toxicants, especially
anticoagulant and neurotoxicant
rodenticides, is a threat to the fisher,
and that illegal marijuana cultivation
sites are the biggest source of these
toxicants in the forested habitats used
by the species. These types of toxicants
in the environment can result in both
lethal and sublethal effects to fishers
through their ingestion of contaminated
prey items, and also cause indirect
effects to fishers as a result of declines
in their prey base. Identification and
cleanup of such contaminated sites is
vitally important in removing this
threat; however, site reclamation may
involve machinery that can disturb
fishers (e.g., helicopters, off-road
vehicles), and hazardous material
removal activities may eliminate some
structures used by fisher. As a result,
these cleanup activities have the
potential to result in negative impacts to
fisher individuals. However, the
removal of these toxicants that can have
long-term detrimental effects on fishers
or their prey will reduce the potential
for lethal and sublethal effects in
fishers, and will improve the overall
condition of the habitat, thereby
contributing to the long-term viability of
the species. Accordingly, incidental take
of fishers that may occur as a result of
toxicant cleanup activities will not be
prohibited under this section 4(d) rule.
Therefore, as explained above, we are
proposing to issue protective regulations
under section 4(d) of the Act. The
prohibitions under section 9(a)(1) will
apply to fishers throughout the range of
the West Coast DPS, with specific
exceptions tailored to the conservation
needs of the species. While we are
providing these exceptions to the
prohibitions and provisions of section
9(a)(1), we clarify that all Federal
agencies (including the Service) that
fund, permit, or carry out the activities
described above will still need to
ensure, in consultation with the Service
(including intra-Service consultation
VerDate Sep<11>2014
19:51 Nov 06, 2019
Jkt 250001
when appropriate), that the activities are
not likely to jeopardize the continued
existence of the DPS. Private entities
who undertake any actions other than
those described in the exceptions above
that may result in adverse effects to the
West Coast DPS of fisher, when there is
no associated Federal nexus to the
action, may wish to seek an incidental
take permit from the Service before
proceeding with the activity. The
proposed provisions of the 4(d) rule are
set forth at the end of this document in
the rule portion.
Nothing in this proposed 4(d) rule
would change in any way the recovery
planning provisions of section 4(f) and
consultation requirements under section
7 of the Act, or the ability of the Service
to enter into partnerships for the
management and protection of the West
Coast DPS of fisher.
Required Determinations
Clarity of the Rule
We are required by Executive Orders
12866 and 12988 and by the
Presidential Memorandum of June 1,
1998, to write all rules in plain
language. This means that each rule we
publish must:
(1) Be logically organized;
(2) Use the active voice to address
readers directly;
(3) Use clear language rather than
jargon;
(4) Be divided into short sections and
sentences; and
(5) Use lists and tables wherever
possible.
If you feel that we have not met these
requirements, send us comments by one
of the methods listed in ADDRESSES. To
better help us revise the rule, your
comments should be as specific as
possible. For example, you should tell
us the numbers of the sections or
paragraphs that are unclearly written,
which sections or sentences are too
long, the sections where you feel lists or
tables would be useful, etc.
National Environmental Policy Act (42
U.S.C. 4321 et seq.)
We have determined that
environmental assessments and
environmental impact statements, as
defined under the authority of the
National Environmental Policy Act
(NEPA; 42 U.S.C. 4321 et seq.), need not
be prepared in connection with listing
a species as an endangered or
threatened species under the
Endangered Species Act. We published
a notice outlining our reasons for this
determination in the Federal Register
on October 25, 1983 (48 FR 49244).
PO 00000
Frm 00028
Fmt 4701
Sfmt 4702
Government-to-Government
Relationship With Tribes
In accordance with the President’s
memorandum of April 29, 1994
(Government-to-Government Relations
with Native American Tribal
Governments; 59 FR 22951), Executive
Order 13175 (Consultation and
Coordination With Indian Tribal
Governments), and the Department of
the Interior’s manual at 512 DM 2, we
readily acknowledge our responsibility
to communicate meaningfully with
recognized Federal Tribes on a
government-to-government basis. In
accordance with Secretarial Order 3206
of June 5, 1997 (American Indian Tribal
Rights, Federal-Tribal Trust
Responsibilities, and the Endangered
Species Act), we readily acknowledge
our responsibilities to work directly
with tribes in developing programs for
healthy ecosystems, to acknowledge that
tribal lands are not subject to the same
controls as Federal public lands, to
remain sensitive to Indian culture, and
to make information available to tribes.
In development of the 2014 Species
Report, we sent letters noting our intent
to conduct a status review and
requested information from all tribal
entities within the historical range of
the West Coast DPS of fisher, and we
provided the draft Species Report to
those tribes for review. We also notified
the tribes via email to ensure they were
aware of the January 31, 2019,
document in the Federal Register to
reopen the comment period on the
October 7, 2014, proposed rule to list
the DPS as a threatened species. As we
move forward in this listing process, we
will continue to consult on a
government-to-government basis with
tribes as necessary.
References Cited
A complete list of references cited in
this rulemaking is available on the
internet at https://www.regulations.gov
and upon request from the Yreka Fish
and Wildlife Office (see FOR FURTHER
INFORMATION CONTACT).
Authors
The primary authors of this proposed
rule are the staff members of the Pacific
Southwest Regional Office.
List of Subjects in 50 CFR Part 17
Endangered and threatened species,
Exports, Imports, Reporting and
recordkeeping requirements,
Transportation.
Proposed Regulation Promulgation
Accordingly, we propose to amend
part 17, subchapter B of chapter I, title
E:\FR\FM\07NOP3.SGM
07NOP3
60305
Federal Register / Vol. 84, No. 216 / Thursday, November 7, 2019 / Proposed Rules
50 of the Code of Federal Regulations,
as set forth below:
Authority: 16 U.S.C. 1361–1407; 1531–
1544; and 4201–4245; unless otherwise
noted.
PART 17—ENDANGERED AND
THREATENED WILDLIFE AND PLANTS
■
1. The authority citation for part 17
continues to read as follows:
■
§ 17.11 Endangered and threatened
wildlife.
2. Amend part 17.11(h) by adding an
entry for ‘‘Fisher (West Coast DPS)’’ in
alphabetical order under Mammals to
the List of Endangered and Threatened
Wildlife to read as follows:
*
*
*
(h) * * *
*
*
EPA—APPROVED OHIO REGULATIONS
Common name
Scientific name
Where listed
Status
Listing citations and applicable rules
MAMMALS
*
*
*
Fisher (West Coast DPS) ... Pekania pennanti ...............
*
*
*
*
*
*
*
*
3. Amend § 17.40 by adding paragraph
(s) to read as set forth below:
■
§ 17.40
Special rules—mammals.
*
*
*
*
*
(s) West Coast DPS of fisher (Pekania
pennanti).
(1) Prohibitions. Except as noted in
paragraph (a)(2) of this section, all
prohibitions and provisions of section
9(a)(1) of the Act apply to the West
Coast DPS of fisher.
(2) Exceptions from prohibitions.
Incidental take of the West Coast DPS of
fisher will not be considered a violation
of the Act if the take results from any
of the following activities:
(i) Forestry management activities
conducted in the range of the West
Coast DPS of fisher for the purposes of
reducing the risk or severity of
wildfires. These activities could include
forest management practices such as
those to remove horizontal and vertical
fuels, to remove fuels within 150 ft (45.7
m) of legally permitted structures and
within 300 ft (91.4 m) of habitable
structures, or to implement Fuel Break/
Defensible Space Prescriptions that
allow for the removal of trees or other
VerDate Sep<11>2014
19:51 Nov 06, 2019
*
U.S.A. (CA and OR) ...........
Jkt 250001
*
*
T
*
vegetation to create shaded fuel breaks
along roads or natural features or to
create defensible space. All actions
taken during a wildfire to support fire
suppression activities would also be
exempt.
(ii) Forestry management activities
conducted in the range of the West
Coast DPS of fisher pursuant to a fisher
conservation plan or strategy approved
by the Service or the California
Department of Fish and Wildlife.
(iii) Forestry management activities
conducted in the range of the West
Coast DPS of fisher and with Federal or
State oversight that are not specifically
designed as fisher conservation plans or
strategies, but are nevertheless
consistent with the conservation needs
of the West Coast DPS of fisher.
Activities consistent with the
conservation needs of fisher could
include the following measures:
Retention of known den and rest sites;
retention of multi-layered, structurally
diverse forests; retention of larger
diameter trees, including those with
damage or decay; increased vegetation
diversity, including desirable species
such as hardwoods or mast- or fruitbearing trees; retention of shrubs and
PO 00000
Frm 00029
Fmt 4701
*
*
[Federal Register citation when published as a final rule]; 50 CFR
17.40(s).4d
Sfmt 9990
*
*
smaller trees in areas with sparse
overstory cover; and no poisoning of
prey species, such as mountain beavers,
porcupines, snowshoe hares, and
woodrats.
(iv) Management activities conducted
for the purpose of identification and
clean-up of toxicant-contaminated sites
for which the Service has determined
that such activities to remove toxicants
would be consistent with conservation
strategies for the West Coast DPS
fishers. Those activities could include
use of machinery that may cause
localized, short-term disturbance to
West Coast DPS fishers (e.g., helicopters
or off-road vehicles), as well as require
limited removal of some habitat
structures valuable to West Coast DPS
fishers (e.g., hazard trees that may be a
suitable den site).
(v) Take as set forth at § 17.31(b).
*
*
*
*
*
Dated: October 21, 2019.
Margaret E. Everson,
Principal Deputy Director, U.S. Fish and
Wildlife Service, Exercising the Authority of
the Director, U.S. Fish and Wildlife Service.
[FR Doc. 2019–23737 Filed 11–6–19; 8:45 am]
BILLING CODE 4333–15–P
E:\FR\FM\07NOP3.SGM
07NOP3
Agencies
[Federal Register Volume 84, Number 216 (Thursday, November 7, 2019)]
[Proposed Rules]
[Pages 60278-60305]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2019-23737]
[[Page 60277]]
Vol. 84
Thursday,
No. 216
November 7, 2019
Part III
Department of the Interior
-----------------------------------------------------------------------
Fish and Wildlife Service
-----------------------------------------------------------------------
50 CFR Part 17
Endangered and Threatened Wildlife and Plants; Threatened Species
Status for West Coast Distinct Population Segment of Fisher With
Section 4(d) Rule; Proposed Rule
Federal Register / Vol. 84 , No. 216 / Thursday, November 7, 2019 /
Proposed Rules
[[Page 60278]]
-----------------------------------------------------------------------
DEPARTMENT OF THE INTERIOR
Fish and Wildlife Service
50 CFR Part 17
[Docket No. FWS-R8-ES-2018-0105; 4500030113]
RIN 1018-BD85
Endangered and Threatened Wildlife and Plants; Threatened Species
Status for West Coast Distinct Population Segment of Fisher With
Section 4(d) Rule
AGENCY: Fish and Wildlife Service, Interior.
ACTION: Revised proposed rule; availability of proposed section 4(d)
rule; and reopening of comment period.
-----------------------------------------------------------------------
SUMMARY: We, the U.S. Fish and Wildlife Service (Service), notify the
public that we are making changes to our October 7, 2014, proposed rule
to list the West Coast Distinct Population Segment (DPS) of fisher
(Pekania pennanti) as a threatened species under the Endangered Species
Act (Act). Based on new information since 2014 and a reconsideration of
the best available information in our files (including all comments
received to date), we are revising the proposed rule to list the DPS as
a threatened species under the Act. We also propose a concurrent rule
under section 4(d) of the Act for this DPS. We are reopening the
comment period to allow comments on the new information presented in
this document relevant to the changes and proposed 4(d) rule described
below. If we finalize this listing rule as proposed, it would extend
the Act's protections to this DPS and, accordingly, add this DPS to the
List of Endangered and Threatened Wildlife.
DATES: We will accept comments received or postmarked on or before
December 9, 2019. Please note that if you are using the Federal
eRulemaking Portal (see ADDRESSES, below), the deadline for submitting
an electronic comment is 11:59 p.m. Eastern time on this date. We must
receive requests for public hearings, in writing, at the address shown
in FOR FURTHER INFORMATION CONTACT by December 23, 2019.
ADDRESSES: You may submit comments by one of the following methods:
(1) Electronically: Go to the Federal eRulemaking Portal: https://www.regulations.gov. In the Search box, enter FWS-R8-ES-2018-0105,
which is the docket number for this rulemaking. Then, click on the
Search button. On the resulting page, in the Search panel on the left
side of the screen, under the Document Type heading, click on the
Proposed Rule box to locate this document. You may submit a comment by
clicking on ``Comment Now!'' Please ensure that you have found the
correct rulemaking before submitting your comment.
(2) By hard copy: Submit by U.S. mail or hand delivery to: Public
Comments Processing, Attn: Docket No. FWS-R8-ES-2018-0105; U.S. Fish
and Wildlife Service, MS: JAO/1N, 5275 Leesburg Pike, Falls Church, VA
22041-3803.
We request that you send comments only by the methods described
above. We will post all comments on https://www.regulations.gov. This
generally means that we will post any personal information you provide
us (see ``Public Comments,'' below). See Information Requested, below,
for more information on submitting comments on the proposed rule.
Document availability: The revised proposed rule is available on
https://www.regulations.gov at Docket No. FWS-R8-ES-2018-0105 and on our
website at https://www.fws.gov/Yreka. Comments and materials we
received during previous comment periods for the preceding proposed
rule, as well as supporting documentation we used in preparing the
preceding proposed rule, are also available for public inspection at
Docket No. FWS-R8-ES-2014-0041. In addition, the supporting files for
this revised proposed rule will be available for public inspection, by
appointment, during normal business hours, at our Yreka Fish and
Wildlife Office, 1829 South Oregon Street, Yreka, CA 96097; telephone
530-842-5763.
FOR FURTHER INFORMATION CONTACT: Jenny Ericson, Field Supervisor, Yreka
Fish and Wildlife Office, telephone: 530-842-5763. Direct all questions
or requests for additional information to: WEST COAST DPS FISHER
QUESTIONS, U.S. Fish and Wildlife Service, Yreka Fish and Wildlife
Office, 1829 South Oregon Street, Yreka, CA 96097. Persons who use a
telecommunications device for the deaf may call the Federal Relay
Service at 1-800-877-8339.
SUPPLEMENTARY INFORMATION:
Executive Summary
Why we need to publish a rule. Under the Act, if we determine that
a species may be an endangered or threatened species throughout all or
a significant portion of its range, we are required to promptly publish
a proposal in the Federal Register and make a determination on our
proposal within 1 year. To the maximum extent prudent and determinable,
we must designate critical habitat for any species that we determine to
be an endangered or threatened species under the Act. Listing a species
as an endangered or threatened species and designation of critical
habitat can only be completed by issuing a rule.
What this document does. This document revises the proposed rule to
add the West Coast DPS of fisher (Pekania pennanti) as a threatened
species to the List of Endangered and Threatened Wildlife in title 50
of the Code of Federal Regulations at 50 CFR 17.11(h) and proposes a
rule under section 4(d) of the Act (a ``4(d) rule'').
The basis for our action. Under the Act, we may determine that a
species is an endangered or threatened species based on any of five
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. We have determined that the threats to the West
Coast DPS of fisher are loss and fragmentation of habitat resulting
from high-severity wildfire and wildfire suppression (i.e., loss of
snags and other large habitat structures on which the species relies,
which are removed for human safety concerns), climate change, forest
insects and tree diseases, and vegetation management; and potential
direct impacts to individuals (e.g., increased mortality, decreased
reproductive rates, increased stress/hormone levels, alterations in
behavioral patterns) from wildfire, increased temperatures resulting
from climate change, disease and predation, exposure to toxicants, and
potential effects associated with small population size. These factors
are resulting in a cumulative effect to such a degree that the best
available information indicates the West Coast DPS of fisher meets the
definition of a threatened species.
Peer review. In accordance with our joint policy on peer review
published in the Federal Register on July 1, 1994 (59 FR 34270), we
sought the expert opinions of multiple appropriate specialists on the
2014 draft Species Report to ensure that our decisions are based on
scientifically sound data, assumptions, and analyses. Information
received has been incorporated into the final (2016) Species Report and
this revised proposed rule. Because we will consider all comments and
information received during the comment period, our final determination
may differ from
[[Page 60279]]
this proposal. Based on the new information we receive (and any
comments on that new information), we may conclude that the species is
endangered instead of threatened, or we may conclude that the species
does not warrant listing as either an endangered species or a
threatened species. Such final decisions would be a logical outgrowth
of this proposal as long as we: (a) Base the decisions on the best
scientific and commercial data available after considering all of the
relevant factors; (2) do not rely on factors Congress has not intended
us to consider; and (3) articulate a rational connection between the
facts found and the conclusions made, including why we changed our
conclusion.
Information Requested
We will accept written comments and information during this
reopened comment period on our revised proposed listing for the West
Coast DPS of fisher. We will consider information and recommendations
from all interested parties. We intend that any final action resulting
from this revised proposal be as accurate as possible and based on the
best available scientific and commercial data.
We are particularly interested in new information and comments
regarding:
(1) Information related to anticoagulant and neurotoxicant
rodenticides, and other toxicants, including law enforcement
information and trend data.
(2) Information regarding population trend studies or data for the
West Coast DPS of fisher, including information regarding areas that
have been surveyed compared to areas that have not been surveyed, as
well as all positive and negative survey results to help us assess
distribution and population trends.
(3) Information regarding the threat of wildfire, including studies
or information pertaining to current and future trends in wildfire
frequency and severity, as well as information pertaining to the
immediate response of fishers to post-fire landscapes in the West Coast
DPS of fisher.
(4) Information regarding changes in low- to mid-elevation forests
in different eco-regions within the range of the West Coast DPS of
fisher, including scope and severity of vegetation management on
Federal and non-Federal lands.
(5) Information regarding any effects associated with population
size and isolation relevant to the West Coast DPS of fisher (e.g., low
reproductive capacity, inbreeding depression, demographic and
environmental stochasticity).
(6) Information regarding any effects of ongoing and widespread
tree mortality in the Sierra Nevada range on the West Coast DPS of
fisher.
(7) Information regarding any conservation efforts designed to
benefit the West Coast DPS of fisher that have been planned or
implemented since the October 7, 2014, proposed rule.
(8) Information regarding our revised DPS determination.
(9) Information on regulations that are necessary and advisable for
the conservation of the West Coast DPS of fisher to include in a
section 4(d) rule for the species. Section 4(d) of the Act provides
that when a species is listed as a threatened species, the Secretary
shall issue such regulations as he deems necessary and advisable to
provide for the conservation of such species. The Service has proposed
such measures here and will evaluate ideas provided by the public in
considering the prohibitions that are appropriate to include in the
4(d) rule.
(10) The reasons why we should or should not designate habitat as
``critical habitat'' under section 4 of the Act (16 U.S.C. 1531 et
seq.) including information to inform the following factors such that a
designation of critical habitat may be determined to be not prudent:
(a) The species is threatened by taking or other human activity and
identification of critical habitat can be expected to increase the
degree of such threat to the species;
(b) The present or threatened destruction, modification, or
curtailment of a species' habitat or range is not a threat to the
species, or threats to the species' habitat stem solely from causes
that cannot be addressed through management actions resulting from
consultations under section 7(a)(2) of the Act;
(c) Areas within the jurisdiction of the United States provide no
more than negligible conservation value, if any, for a species
occurring primarily outside the jurisdiction of the United States;
(d) No areas meet the definition of critical habitat;
(11) Specific information on:
(a) The amount and distribution of habitat for the West Coast DPS
of fisher,
(b) What areas, that are considered occupied at the time of listing
and that contain the physical or biological features essential to the
conservation of the species, should be included in the designation and
why,
(c) Special management considerations or protection that may be
needed in critical habitat areas we may propose, including managing for
the potential effects of climate change, and
(d) What areas not occupied at the time of listing are essential
for the conservation of the species. We particularly seek comments
regarding:
(i) Whether occupied areas are inadequate for the conservation of
the species; and,
(ii) Specific information that may support a determination that
unoccupied areas will, with reasonable certainty, contribute to the
conservation of the species and, contain at least one physical or
biological feature essential to the conservation of the species.
(12) Any probable economic, national security, or other relevant
impacts of designating any area that may be included in a proposed and
final designation, and the benefits of including or excluding areas
that may be impacted.
As indicated under SUMMARY, above, if you previously submitted
comments or information on the October 7, 2014, proposed rule, please
do not resubmit them. We have incorporated previously submitted
comments into the public record, and we will fully consider them in the
preparation of our final determination. Our final determination
concerning this revised proposed listing will take into consideration
all written comments and any additional information we have received
since April 18, 2016 (81 FR 22710).
You may submit your comments and materials concerning the revised
proposed rule by one of the methods listed in ADDRESSES. We request
that you send comments only by the methods described in ADDRESSES.
If you submit information via https://www.regulations.gov, your
entire submission--including any personal identifying information--will
be posted on the website. If your submission is made via a hardcopy
that includes personal identifying information, you may request at the
top of your document that we withhold this information from public
review. However, we cannot guarantee that we will be able to do so. We
will post all hardcopy submissions on https://www.regulations.gov.
Public Hearing
Section 4(b)(5) of the Act provides for one or more public hearings
on this proposal, if requested. Requests for public hearings must be
received by the date specified in DATES at the address shown in FOR
FURTHER INFORMATION CONTACT. We will schedule public hearings on this
proposal, if any are requested, and announce the dates, times, and
places of those hearings, as well as how to obtain reasonable
accommodations, in the Federal
[[Page 60280]]
Register and local newspapers at least 15 days before the hearing.
Previous Federal Actions
We first found the West Coast DPS of fisher (previously delineated
as a contiguous area encompassing parts of the three States of
Washington, Oregon, and California) to be warranted for listing in 2004
and each subsequent year in the annual Candidate Notice of Review. On
October 7, 2014, we proposed to list the West Coast DPS of fisher as a
threatened species under the Endangered Species Act of 1973, as amended
(Act; 16 U.S.C. 1531 et seq.) (79 FR 60419; Docket No. FWS-R8-ES-2014-
0041). On April 18, 2016, we withdrew the proposed rule to list the
West Coast DPS of fisher (81 FR 22710), concluding that the potential
threats (stressors) acting upon the DPS were not of sufficient
imminence, intensity, or magnitude to indicate that they were singly or
cumulatively resulting in significant impacts at either the population
or rangewide scales.
On October 19, 2016, the Center for Biological Diversity,
Environmental Protection Information Center, Klamath-Siskiyou Wildlands
Center, and Sierra Forest Legacy filed a complaint for declaratory and
injunctive relief, alleging that our determination on the West Coast
DPS of fisher violated the Act. By Order Re: Summary Judgment issued on
September 21, 2018, the District Court for the Northern District of
California vacated the listing withdrawal and remanded the Service's
final determination for reconsideration. The Court's amended order,
dated November 20, 2018, directs the Service to prepare a new
determination by September 21, 2019.
On January 31, 2019, we reopened the comment period on the October
7, 2014, proposed rule to list the DPS as a threatened species (84 FR
644).
On May 17, 2019, the District Court for the Northern District of
California granted a request by the Service for a 35-day extension to
comply with the November 20, 2018, order as a result of delays due to
the Federal Government's lapse in appropriations that prohibited the
Service from working on this determination. The Court's amended order
directed the Service to submit for publication a final listing
determination or notice of a revised proposed rule by October 26, 2019,
and in the event of publishing a revised proposed rule, submit for
publication a final listing determination by April 25, 2020.
Additional information on Federal actions concerning the West Coast
DPS of fisher prior to October 7, 2014, is outlined in the October 7,
2014, proposed listing rule (79 FR 60419) (hereafter referred to as the
2014 Proposed Rule).
Summary of Changes From the 2014 Proposed Rule
In this revised proposed listing rule, we incorporate additional
information regarding the fishers, their habitat, and threats
potentially impacting the species or its habitat; make clarifications
regarding the delineation of the DPS; include a proposed 4(d) rule; and
provide some changes to the structure of the rule as they relate to our
analysis and policy information. Specifically:
(1) We have revised our delineation of the DPS for the West Coast
population of fishers. In the 2014 Proposed Rule, we explained that the
West Coast DPS encompassed the area where fishers historically occurred
throughout western Washington, western Oregon, and California to the
Sierra Nevada. We further elaborated that the West Coast DPS occurred
in two original native populations (Northern California-Southwestern
Oregon Population [NCSO] and the Southern Sierra Nevada Population
[SSN]), three reintroduced populations (Northern Sierra Nevada
Reintroduced Population [NSN] in California, Southern Oregon Cascades
Reintroduced Population [SOC] in Oregon, and the Olympic Peninsula
Reintroduced Population [ONP] in Washington). In this revised proposed
listing rule, the West Coast DPS is now identified as comprising the
two extant historically native subpopulations, NCSO and SSN, as well as
the NSN and SOC subpopulations that resulted from reintroductions
within a portion of the historical range of the DPS. Our decision to
revise the DPS was predominantly based on: (a) The apparent absence of
any extant historically native subpopulations in Washington or northern
Oregon; and (b) the marked separation of the fisher subpopulations in
the NCSO, SOC, NSN, and SSN from fishers reintroduced in Washington.
(2) The structure of this revised proposed rule varies slightly
from the 2014 Proposed Rule. Information is organized in roughly the
same order, although new sections have been added or sections have been
revised to accommodate new information received since 2014; we have
also updated policy standards and added discussion where relevant
(e.g., addition of a section on the DPS's resiliency, redundancy, and
representation).
(3) New information has been added to this revised proposed rule
that was not available for the 2014 Proposed Rule or 2014 draft Species
Report (Service 2014, entire). Our record also includes our 2016 final
Species Report (Service 2016, entire).
(4) At the time of the 2014 Proposed Rule, fisher populations in
Oregon and California were identified and described as the historically
native extant NCSO and SSN subpopulations, the NSN subpopulation
established with fishers from the NCSO subpopulation, and the SOC
subpopulation established with fishers from British Columbia and
Minnesota populations. Since that time, the best available information
indicates that the range of the NCSO subpopulation is adjacent to the
range of the (reintroduced) SOC subpopulation, with documented
interbreeding activity occurring in the SOC range (Pilgrim and Schwartz
2016, entire; Pilgrim and Schwartz 2017, entire). Therefore, we
determined it was appropriate to conduct our new evaluation of the
status of the DPS by including the contribution of the SOC, along with
the other three subpopulations (NCSO, SSN, and NSN), to the DPS's
overall viability.
(5) We added a proposed section 4(d) rule because we determined it
was necessary and advisable to issue protective regulations in order to
reduce the likelihood of the West Coast DPS of fisher becoming an
endangered species. Under our proposed section 4(d) rule, with specific
exceptions, all prohibitions and provisions that apply to endangered
wildlife under section 9(a)(1) of the Act would apply to the DPS. The
specific exceptions from prohibitions include forestry management
activities for the purposes of reducing the risk or severity of
wildfires, forestry management activities pursuant to an approved
fisher conservation plan or strategy, forestry management activities
that are consistent with the conservation needs of the fisher but are
not specifically designed as fisher conservation plans or strategies,
and management activities designed to identify and clean-up toxicant-
contaminated sites.
Distinct Population Segment Analysis
Under section 3(16) of the Act, we may consider for listing any
species, including subspecies, of fish, wildlife, or plants, or any DPS
of vertebrate fish or wildlife that interbreeds when mature (16 U.S.C.
1532(16)). Such entities are considered eligible for listing under the
Act (and, therefore, are referred to as listable entities), should we
determine that they meet the definition of an endangered or threatened
species.
Under the Service's DPS Policy, three elements are considered in
the decision concerning the determination and classification of a
possible DPS as
[[Page 60281]]
threatened or endangered. These elements include:
(1) The discreteness of a population in relation to the remainder
of the species to which it belongs;
(2) The significance of the population segment to the species to
which it belongs; and
(3) The population segment's conservation status in relation to the
Act's standards for listing, delisting, or reclassification (i.e., is
the population segment endangered or threatened).
In considering a DPS analysis for fisher involving the segment of
the species' distribution that historically occupied suitable habitat
in portions of the three Pacific Coast States (western Washington,
western Oregon, and northern California and the Sierra Nevada mountain
range, i.e., the West Coast range), we examined information in
published range maps, published works that included historical
occurrences, unpublished studies related to fisher distribution, and
other submitted data, including comments received previously and during
the most recent comment period (January 31, 2019; 84 FR 644). The
historical distribution of fishers in this West Coast range is
discussed in detail in the ``Prehistorical and Historical Distribution
across the Range of the Species'' section of the final Species Report
(Service 2016, pp. 25-26). As described above in Summary of Changes
from the 2014 Proposed Rule, the current distribution of fishers in the
West Coast range comprises various subpopulations, including several
that had been established by introducing fishers taken from other parts
of the species' range into areas in the West Coast range that supported
fishers historically. These ``nonnative'' fishers, from British
Columbia and Alberta, Canada, as well as from Minnesota, have
established breeding populations in various parts of Washington
(British Columbia- and Alberta-origin fishers) and southern Oregon
(SOC; British Columbia- and Minnesota-origin fishers). These
subpopulations of nonnative fishers in the West Coast range are in
addition to the extant historically native subpopulations (NCSO and
SSN) in southern Oregon and California. Therefore, while the West Coast
range of fishers was historically occupied by fishers native to this
region, it is now occupied both by fishers native to the three Pacific
Coast States, as well as by fishers whose lineage was derived from
nonnative fishers.
Further examination of this distribution clarifies that the
northern portion of the West Coast range, the State of Washington and
the northern part of Oregon, appears unoccupied by any subpopulations
of native fishers, but nonnative fishers reintroduced in the State of
Washington continue to persist and reproduce in several areas (although
it is too soon to conclude that these breeding individuals will
persist). By contrast, the southern portion of the West Coast range
(i.e., southern Oregon, northern California, and the southern Sierra
Nevada) is predominantly occupied by subpopulations of native fishers.
However, this southern portion of the range also includes the SOC
subpopulation of reintroduced nonnative fishers, which has now been
documented as interbreeding with native fishers of the NCSO (Pilgrim
and Schwartz 2016, entire; Pilgrim and Schwartz 2017, entire).
Our 2014 Proposed Rule represented our response to the petition
that was filed seeking the listing of the West Coast DPS of fisher,
consisting of fishers in Washington, Oregon, and California. At that
time, we recognized that the West Coast DPS encompassed the area where
fishers historically occurred throughout western Washington, western
Oregon, and California to the Sierra Nevada. We are now proposing a
different DPS based on the apparent absence of any extant, historically
native subpopulations in Washington or northern Oregon, and the marked
separation of the fisher subpopulations within the newly identified DPS
to the fishers that have been reintroduced from British Columbia and
Alberta into the Olympic National Park and the southern and northern
Washington Cascades in Washington State. Based on this demographic and
geographic disparity between the northern and southern portions of the
range, coupled with the fact that there is currently no tangible
connection between nonnative fishers in the northern portion and the
native and nonnative fishers occupying the southern portion, we now
have determined that the appropriate DPS to consider in this evaluation
was the segment consisting of the southern subpopulations, i.e., NCSO,
SSN, NSN, and SOC. Below, we summarize discreteness and significance
for this DPS.
Discreteness
Under the DPS policy, a population segment of a vertebrate taxon
may be considered discrete if it satisfies either one of the following
conditions:
(1) It is markedly separated from other populations of the same
taxon as a consequence of physical, physiological, ecological, or
behavioral factors. Quantitative measures of genetic or morphological
discontinuity may provide evidence of this separation.
(2) It is delimited by international governmental boundaries within
which differences in control of exploitation, management of habitat,
conservation status, or regulatory mechanisms exist that are
significant in light of section 4(a)(1)(D) of the Act.
The West Coast DPS of fisher is markedly separate from other North
American fisher populations of the east by enormous distances,
geographical barriers, unsuitable habitat, and urban development.
Fishers in this DPS are separated from the Rocky Mountains and the rest
of the taxon in the central and eastern United States by natural
physical barriers including the nonforested high desert areas of the
Great Basin in Nevada and eastern Oregon. Other physical barriers that
separate the West Coast population from Rocky Mountain and eastern U.S.
fisher populations include major highways, urban and rural open-
canopied areas, agricultural development, and other nonforested areas.
In addition, all West Coast DPS subpopulations are markedly separate
from the nearest other fisher populations to the north by approximately
270 miles (mi) (430 kilometers (km)), well beyond the various reported
dispersal distances (as described in more detail in Service 2016, pp.
13-14). An additional component contributing to marked separation
between the DPS subpopulations and fishers in Washington is the
Columbia River and adjacent human developments (e.g., roads and towns),
which likely acts as a physical impediment to crossing by any fishers
dispersing in either direction. Therefore, it is extremely unlikely
that any transient individuals from the DPS subpopulations could
disperse far enough to reach the Washington range of reintroduced
fishers, and even if they attempted to do so, they would likely not be
able to cross the Columbia River. In summary, the subpopulations
comprising the West Coast DPS of fisher are all geographically isolated
from all other subpopulations of the species. Therefore, the marked
separation condition for discreteness is met by geographical barriers,
urban development, and distances that are beyond the known dispersal
distance of fishers.
Significance
If a population segment is considered discrete under one or more of
the conditions described in the Service's DPS policy, its biological
and ecological significance will be considered in light
[[Page 60282]]
of Congressional guidance that the authority to list DPSs be used
``sparingly'' (see Senate Report 151, 96th Congress, 1st Session). In
making this determination, we consider available scientific evidence of
the DPS's importance to the taxon to which it belongs. Since precise
circumstances are likely to vary considerably from case to case, the
DPS policy does not describe all the classes of information that might
be used in determining the biological and ecological importance of a
discrete population. However, the DPS policy describes four possible
classes of information that provide evidence of a population segment's
biological and ecological importance to the taxon to which it belongs.
As specified in the DPS policy (61 FR 4722, February 7, 1996), this
consideration of the population segment's significance may include, but
is not limited to, the following:
(1) Persistence of the DPS in an ecological setting unusual or
unique to the taxon;
(2) Evidence that loss of the DPS would result in a significant gap
in the range of a taxon;
(3) Evidence that the DPS represents the only surviving natural
occurrence of a taxon that may be more abundant elsewhere as an
introduced population outside its historical range; or
(4) Evidence that the DPS differs markedly from other populations
of the species in its genetic characteristics.
To be considered significant, a population segment needs to satisfy
only one of these conditions, or other classes of information that
might bear on the biological and ecological importance of a discrete
population segment, as described in the DPS policy (61 FR 4722,
February 7, 1996). For the fisher, we found that loss of the West Coast
DPS would result in a significant gap in the range of the taxon. Losing
the West Coast DPS would significantly impact representation of the
species by shifting the southern boundary of the taxon approximately
900 mi (1,448 km) to the north. Therefore, the significance element of
the DPS policy is met for the West Coast DPS of fisher.
Summary of DPS Analysis
Given that both the discreteness and significance elements of the
DPS policy are met, we find that the West Coast DPS of fisher is a
valid DPS, and therefore a listable entity under the Act. We now assess
the DPS's conservation status in relation to the Act's standards for
listing (i.e., whether this DPS meets the definition of an endangered
or threatened species under the Act).
Background
At the time of the 2014 Proposed Rule, a comprehensive draft
Species Report (Service 2014, entire) was prepared that included new
genetic and survey information. This report was subsequently updated in
2016 with additional information related to taxonomy, habitat, life-
history characteristics (e.g., reproduction), habitat description,
habitat use (e.g., dispersal and food habits), distribution and
abundance, and potential threats across Washington, Oregon, and
California (Service 2016, entire). Information related to the resources
on which the species relies, conditions the species may experience
currently or in the future, and threats (i.e., an activity or process
that may have some negative effect on fishers or their habitat) are
outlined in these reports and summarized herein where applicable. These
reports, coupled with new information available since 2016 and our
reconsideration of the best available scientific and commercial data,
including comments received in connection with the 2014 Proposed Rule
and our January 31, 2019 (84 FR 644), Federal Register document,
provide the scientific basis that informs our regulatory decision
regarding the range of the DPS, and whether the DPS should be listed as
an endangered or threatened species under the Act. New information
available since 2016 and the results of our reconsideration of the best
available scientific and commercial information are presented in this
revised proposed rule.
I. Revised Proposed Listing Determination
Species Information and Distribution
The fisher is a medium-sized, light brown to dark blackish-brown
mammal found only in North America, with the face, neck, and shoulders
sometimes being slightly gray, and the chest and underside often having
irregular white patches. The fisher is classified in the order
Carnivora, family Mustelidae, which is a family that also includes
weasels, mink, martens, and otters (Service 2016, p. 8). The occurrence
of fishers at regional scales is consistently associated with low- to
mid-elevation coniferous and mixed conifer and hardwood forests with
characteristics of mid- and late-successional forests (e.g., diverse
successional stages, moderate to dense forest canopies, large-diameter
trees, coarse downed wood, and singular features of large snags, tree
cavities, or deformed trees). Throughout their range, fishers are
obligate users of tree or snag cavities for denning, and they select
resting sites with a high proportion of characteristics of late-
successional forests. These characteristics are maintained and
recruited in the forest through ecological processes such as fire,
insect-related tree mortality, disease, and decay (e.g., Service 2016,
pp. 64, 123-124).
Fishers on the west coast of the continent have historically
occurred in British Columbia, Washington, Oregon, and California.
Fishers native to the west coast in the contiguous United States were
historically well distributed in the habitats described above, from the
State of Washington south through Oregon, and into northern California
and the Sierra Nevada mountains. Subpopulations of these native fishers
still occur in northern California/southwestern Oregon and the Sierra
Nevada; however, populations of native fishers were extirpated from
Washington (Lewis and Hayes 2004, p. 1) and northern Oregon (Aubry and
Lewis 2003, pp. 81-82). Recent surveys in the northern Oregon Cascades
yielded no fishers (Moriarty et al. 2016, entire), suggesting they
remain absent in this area, whereas surveys in the southern Oregon
Cascades suggest fisher range may be contracting to the south (Barry
2018, pp. 22-23) relative to where we estimated the fisher's range to
be in the southern Oregon Cascades in both 2014 and 2016 (Service 2014
and 2016, entire). Fishers now occurring and reproducing in Washington
were established using fishers translocated from outside this three-
State region. Fishers from British Columbia were reintroduced to the
Olympic Peninsula from 2008 to 2010 (Happe et al. 2017, p. viii), and
to the Washington Cascade Range south of Mt. Rainier from 2015 to 2017
(Lewis et al. 2018, p. 5). Reproduction has been documented in both
areas. Beginning in 2018, fishers from Alberta were released in the
northern Washington Cascades in North Cascades National Park;
translocations are expected to continue over the next 2 years in this
area, completing planned reintroductions for western Washington (Hayes
and Lewis 2006, p. 35).
Fishers were once well distributed throughout their historical
range in the habitats described above. Now in Oregon and California,
outside of the existing NCSO and SSN known subpopulations in Oregon and
California (see figure 2, below), fishers are considered likely
extirpated. Additionally, in California, recent survey efforts have not
detected fishers south of the reintroduced NSN
[[Page 60283]]
subpopulation or north of the SSN subpopulation.
BILLING CODE 4333-15-P
[GRAPHIC] [TIFF OMITTED] TP07NO19.000
BILLING CODE 4333-15-C
Additional information on the species' biology and distribution is
described in the final Species Report (Service 2016, pp. 9-12, 25-53).
Summary of Biological Status and Threats
Section 4 of the Act (16 U.S.C. 1533) and its implementing
regulations (50 CFR part 424) set forth the procedures for determining
whether a species is an ``endangered species'' or a ``threatened
species.'' The Act defines an endangered species as a species that is
``in danger of extinction throughout all or a significant portion of
its range,'' and a threatened species as a species that is
[[Page 60284]]
``likely to become an endangered species within the foreseeable future
throughout all or a significant portion of its range.'' The Act
requires that we determine whether any species is an ``endangered
species'' or a ``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. These factors represent broad categories of
natural or human-caused actions or conditions that could have an effect
on a species' continued existence. In evaluating these actions and
conditions, we look for those that may have a negative effect on
individuals of the species, as well as other actions or conditions that
may ameliorate any negative effects or may have positive effects.
We use the term ``threat'' to refer in general to actions or
conditions that are known to or are reasonably likely to negatively
affect individuals of a species. The term ``threat'' includes actions
or conditions that have a direct impact on individuals (direct
impacts), as well as those that affect individuals through alteration
of their habitat or required resources (stressors). The term ``threat''
may encompass--either together or separately--the source of the action
or condition or the action or condition itself.
However, the mere identification of any threat(s) does not
necessarily mean that the species meets the statutory definition of an
``endangered species'' or a ``threatened species.'' In determining
whether a species meets either definition, we must evaluate all
identified threats by considering the expected response by the species,
and the effects of the threats--in light of those actions and
conditions that will ameliorate the threats--on an individual,
population, and species level. We evaluate each threat and its expected
effects on the species, and then analyze the cumulative effect of all
of the threats on the species as a whole. We also consider the
cumulative effect of the threats in light of those actions and
conditions that will have positive effects on the species--such as any
existing regulatory mechanisms or conservation efforts. The Secretary
determines whether the species meets the definition of an ``endangered
species'' or a ``threatened species'' only after conducting this
cumulative analysis and describing the expected effect on the species
now and in the foreseeable future. In our determination, we correlate
the threats acting on the species to the factors in section 4(a)(1) of
the Act.
Current Condition of the West Coast DPS of Fisher
Following are brief accounts of the NCSO (and by inclusion the SOC
and NSN subpopulations) and SSN subpopulations. Primary threats are
introduced in these summaries and described in more detail below in the
``Risk Factors for the West Coast DPS of Fisher'' section. Additional
detail is also found in the ``Review of Stressors'' section of the
final Species Report (Service 2016, pp. 53-162), although we provide
updated/new information since 2016 in this document, when applicable.
Regulatory and voluntary conservation efforts resulting from the plans
and strategies being implemented within both subpopulations were
previously described in detail in the 2016 final Species Report, and
are updated in this document.
However, as explained in more detail below in the ``Existing
Regulatory Mechanisms and Voluntary Conservation Measures'' section of
this rule, we determined that we did not need to evaluate these
voluntary conservation efforts under our Policy for Evaluation of
Conservation Efforts When Making Listing Decisions (PECE; 68 FR 15100).
While it is reasonably likely these conservation efforts will provide
some benefit for fishers, we also note that these benefits will be
realized at more of an individual fisher/local scale where implemented,
and not necessarily at a scale and magnitude sufficient to ameliorate
the primary significant threats imperiling the DPS. Therefore, while we
acknowledge that the DPS may see conservation benefits from these
efforts, we recognize that these benefits will not be sufficient to
outweigh the DPS's primary threats, and as such, there is no reason to
evaluate these conservation efforts under PECE for certainty of
implementation and effectiveness.
NCSO--Northern California-Southwestern Oregon Subpopulation
Abundance information for the NCSO population is presented based on
three different geographic portions of this subpopulation. First, the
SOC portion west of Crater Lake is predominantly represented by
nonnative, reintroduced individuals. However, recent analyses have
documented that at least some of these nonnative SOC individuals and
native NCSO individuals are overlapping in range, with confirmed
interbreeding (Pilgrim and Schwartz 2016, entire; Pilgrim and Schwartz
2017, entire). Second, the NSN portion is represented by native,
reintroduced fishers whose genetic stock is from fishers relocated from
the Klamath-Siskiyou and Shasta-Trinity subregions (in the historically
native NCSO subpopulation) to the northern Sierra Nevada. This
geographic portion of the NCSO subpopulation occurs on land known as
the SPI Stirling Management Unit in Butte, Plumas, and Tehama Counties,
California (Powell et al. 2019, p. 2). Third, the remainder of the
native fishers in the NCSO subpopulation occupy the California Coast
Range mountains in southern Oregon and northern California, the
Klamath-Siskiyou and Shasta-Trinity subregions in northern California,
and the western portion of the southern Cascades in northern
California.
Fishers in the SOC portion of the NCSO subpopulation stem from a
translocation of 30 fishers from British Columbia and Minnesota to the
southeastern Cascade Range and west of Crater Lake between 1977 and
1981, after an earlier reintroduction in 1961 failed (Aubry and Lewis
2003, p. 84; Lofroth et al. 2010, pp. 43-44). Based on survey and
research efforts starting in 1995, genetic evidence shows these fishers
continue to persist (Drew et al. 2003, p. 57; Aubry et al. 2004, pp.
211-215; Wisely et al. 2004, p. 646; Pilgrim and Schwartz 2014-2017,
entire; Moriarity et al. 2017, entire; Barry 2018, pp. 6, 22-24). Prior
to 2015, survey work in the Oregon Cascades north of the NCSO
subpopulation was mainly limited to opportunistic or small-scale
efforts. Fishers had not been detected, except for two single fishers:
One detected just north of the SOC subpopulation in 2014 (Wolfer 2014,
pers. comm.); and a single dispersing juvenile male detected in the
same general area in the 1990s (Aubry and Raley 2006, p. 5), suggesting
individuals may disperse north through the central Oregon Cascades.
Over the winter of 2015-2016, systematic camera surveys occurred in the
northern Oregon Cascades (specifically, the southern portion of the Mt.
Hood National Forest and northern portion of the Willamette National
Forest). No fishers were detected (Moriarty et al. 2016, entire),
suggesting fishers may not reach this far north in the Oregon Cascades.
Additionally, surveys over the past 3 years have not detected fishers
north of the Rogue River in the central Oregon Cascades (Barry 2018,
pp. 22-23) (see below).
Information is not available on population size for the SOC portion
of
[[Page 60285]]
the NCSO subpopulation. In the northern portion of the SOC area,
fishers were detected in the northern and eastern portions of Crater
Lake National Park between 2013 and 2015 (Mohren 2016, pers. comm.).
However, systematic surveys were conducted in 2016 and 2017 north and
east of Crater Lake National Park and south to the Klamath Falls
Resource Area (KFRA; south of the reintroduction area) of the Bureau of
Land Management (BLM) Lakeview District (Barry 2018, entire). Few
fishers were detected in an area east of Crater Lake National Park
where fishers were captured and radio-collared in the early 1990s by
Aubry and Raley (2002, entire). Fishers were found on the KFRA, south
of where they were previously estimated to occur, and in areas where
they were not previously detected (Hayner 2016, pers. comm.). These
results suggest that fisher in the SOC area ``appears to have
contracted, shifted south, or the previous population extent was
incorrectly estimated'' (Barry 2018, pp. 22-24).
Fishers in the NSN portion of the NCSO subpopulation stem from a
2009 to 2011 translocation of 40 fishers (24 females, 16 males) from
Humboldt, Siskiyou, and Trinity Counties, California, to the Sierra
Pacific Industries (SPI) Stirling Management Unit in Butte, Plumas, and
Tehama Counties, California. Ongoing monitoring has confirmed that
fishers born onsite have established home ranges and have successfully
reproduced. Trapping efforts in the fall of 2017 as part of ongoing
monitoring of the reintroduced subpopulation indicate a minimum of 61
fishers (38 females, 23 males), which is 21 more than were originally
introduced (Powell et al. 2019, p. 2).
Older estimates for the NCSO subpopulation (excluding the SOC and
NSN reintroduced subpopulations) using various methodologies range from
a low of 258-2,850 individuals, based on genetic data (Tucker et al.
2012, pp. 7, 9-10), to a high of 4,018 individuals based on
extrapolation of data from two small study areas within the NCSO
subpopulation to the entire NCSO subpopulation (Self et al. 2008, pp.
3-5). In 2017, a new estimate was developed for the NCSO subpopulation
that includes southern Oregon and coastal California but excludes SOC
and NSN (Furnas et al. 2017, pp. 2-3). Furnas et al. (2017) based their
estimate of population size on the assumption of a density of 6.6
fishers per 39 mi\2\ (100 km\2\) across the area they defined for the
NCSO subpopulation (rationale described in detail in Furnas et al.
2017, pp. 12-15). Using this estimate of fisher density, the NCSO
subpopulation is estimated to be 3,196 individuals (2,507-4,184; 95
percent Confidence Interval (C.I.)) Furnas et al. 2017, p. 12). With
the exception of the reintroduced NSN subpopulation area estimate,
which is based on trapping results, Self et al. (2008) and Furnas et
al. (2017) base their estimates for the size of the NCSO subpopulation
on fisher habitat available prior to 2014.
Trend information for fishers within the NCSO subpopulation is
based on the following two long-term study areas. As indicated above,
we now consider the NCSO subpopulation to include the areas previously
represented as the SOC and NSN reintroduced fisher subpopulations.
(1) The Hoopa study area is approximately 145 mi\2\ (370 km\2\) on
the Hoopa Valley Indian Reservation north of California State Highway
299 and near Highway 96, which is largely surrounded by the Six Rivers
National Forest and other private lands. The study area represents the
more mesic portion (containing a moderate amount of moisture) of the
NCSO subpopulation area. Fisher studies have been ongoing since 1996.
The population trend in the period 2005-2012 indicates declining
populations with lambda (population growth rate) of 0.992 (C.I. 0.883-
1.100) with a higher lambda rate for females 1.038 (0.881-1.196) than
males 0.912 (0.777-1.047) (Higley et al. 2014, p. 102, Higley 2015,
pers. comm.).
(2) The Eastern Klamath Study Area (EKSA) is approximately 200
mi\2\ (510 km\2\) in size straddling the California/Oregon border. This
study area represents the more xeric portion (containing little
moisture; very dry) of the NCSO subpopulation area. Monitoring has
occurred since 2006 (Green et al. 2018a, entire). The estimate for
population growth rate in the period 2006-2013 is increasing (lambda =
1.06; C.I. 0.97-1.15) (Green et al. 2018a, p. 818). However, two years
of data collected from 2014-2016 following two large fires in the study
area indicate an estimated 40 percent reduction in the number of
fishers post-fire (Green et al. 2019, p. 8).
The major habitat-based threats experienced by the NCSO
subpopulation are loss of complex canopy forests and den/rest sites,
and fragmentation of habitat, from high-severity wildfire, wildfire
suppression activities (e.g., backburning, fuel breaks, and snag
removal), and vegetation management (e.g., fuels reduction treatments,
salvage, hazard tree removal). Major non-habitat related threats are
exposure to toxicants and, in some areas, predation. Within the Oregon
portion of the NCSO subpopulation, two dead fishers were tested for the
presence of rodenticides; exposure was found in both (Clayton 2016,
pers. comm.).
In addition to these threats acting on the DPS, there are also
several conservation efforts designed to benefit fishers. Such efforts
include those being implemented within the portion of the range covered
by the Northwest Forest Plan (NWFP), including measures associated with
Endangered Species Act section 7 consultations in overlapping northern
spotted owl (Strix occidentalis caurina) designated critical habitat.
Two principal conservation efforts exist in Oregon. First, there is an
intergovernmental Memorandum of Understanding (MOU) for fisher
conservation (DOI et al. 2016, entire), which provides a framework for
cooperation and achieving mutual fisher conservation goals among
Federal and State agencies (Service 2016, pp. 120-121). Second, a
template Candidate Conservation Agreement With Assurances (CCAA) for
fishers in western Oregon (81 FR 15737, March 24, 2016) requires
conservation measures to protect occupied den sites, as well as
additional contributions toward a fisher conservation program or work
described in the template CCAA. A permit was recently issued under this
template CCAA (84 FR 4851, February 19, 2019) and we are in the process
of considering five additional permit applications (84 FR 31903, July
3, 2019).
For the portion of the NCSO subpopulation in California,
reintroduction efforts have resulted in establishment of a fisher
subpopulation in the SPI Stirling Management Area within the NSN
(northern Sierra Nevada) with the potential to connect with fishers in
the remainder of the NCSO subpopulation to the north. In 2016, an
approximately 1.6 million-acre (ac) (647 thousand-hectare (ha)) CCAA
for fishers on Sierra Pacific Industries (SPI) ownership in the
Klamath, Cascade, and Sierra Nevada mountains was completed (SPI and
Service 2016, entire), which incorporated the area and earlier
monitoring agreements for the SPI Stirling Management Area CCAA (SPI
and Service 2008, entire). Implementation and monitoring has been under
way since October 2016. The objectives of this CCAA are to secure
general forested habitat conditions for fishers for the 10-year time
period and the retention of important fisher habitat components (large
trees, hardwoods, and snags) suitable for denning and resting into the
future. Additionally, the Green Diamond Forest HCP (GDRC 2018,
[[Page 60286]]
entire) is anticipated to provide a conservation benefit for fishers
and their habitat (portions of forests on the west slope of the coastal
and Klamath Mountains) in Del Norte and Humboldt Counties, California.
Conservation benefits anticipated include (but are not limited to):
Identifying and retaining fisher denning and resting trees, including
maintaining a 0.25-mi (402-m) radius no-harvest buffer around active
fisher dens; fisher-proofing water tanks and pipes; implementing
measures that detect, discourage, and remove unauthorized marijuana
cultivation and associated pesticide use; and cooperating with any
Federal or State-approved fisher capture and relocation/reintroduction
recovery programs (Service 2019a, p. 2).
SSN--Southern Sierra Nevada Subpopulation
The SSN native subpopulation of fisher is small and is
geographically separated from the remainder of the DPS. The SSN
subpopulation is found in Mariposa, Madera, Fresno, Tulare, and Kern
Counties in California. Historically, the subpopulation likely extended
farther north, but may have contracted due to unregulated trapping,
predator-control efforts, habitat loss and fragmentation, or climatic
changes. Today the approximate northern boundary is the Tuolumne River
in Yosemite National Park (Mariposa County) and the southern limit is
the forested lands abutting the Kern River Canyon, while the eastern
limit is the high-elevation, granite-dominated mountains, and the
western limit is the low-elevation extent of mixed-conifer forest.
Multiple lines of genetic evidence suggest that the isolation of the
SSN subpopulation from other subpopulations of native fishers within
the West Coast States is longstanding and predates European settlement
(Knaus et al. 2011, entire; Tucker et al. 2012, entire; Tucker 2015,
pers. comm., pp. 1-2).
Estimates for the SSN subpopulation range from a low of 100 to a
high of 500 individuals (Lamberson et al. 2000, entire). A recent
estimate of 256 female fishers was based on habitat availability at the
time (Spencer et al. 2016, p. 44). Other population estimates are: (1)
125-250 adult fishers based on fisher carrying capacity in currently
occupied areas (Spencer et al. 2011, p. 788); and (2) fewer than 300
adult fishers or 276-359 fishers that include juveniles and subadults
based on extrapolation from portions of the subpopulation where fishers
have been intensely studied to the range of the entire population
(Spencer et al. 2011, pp. 801-802). These population estimates are
based on habitat conditions for fishers in the Sierra Nevada that
predate the ongoing, large-scale tree mortality event in this
geographic area that began in approximately 2010. The Sierra tree
mortality event is affecting many of the key components of fisher
habitat such as complex forest canopy structure and connected closed-
canopy forest conditions. Research is currently ongoing to determine to
what extent these large-scale habitat changes will have on the SSN
subpopulation.
An 8-year monitoring study that sampled an average of 139.5 units
(range 90-189) per year during the period 2002-2009 throughout the SSN
subpopulation showed no declining trend in occupancy (Zielinski et al.
2013, pp. 3, 10-14; Tucker 2013, pp. 82, 86-91). However, this study
had been designed to be run for 10 years while sampling 288 units per
year and was intended to have an 80 percent probability of detecting a
20 percent decline over 10 years (Zielinski et al. 2013, p. 11; Tucker
2013, p. 82). As a result of the smaller sample size and shorter
duration, the results of this study must be considered inconclusive.
Another study of radio-collared fishers monitored from 2007 through
2014 in the Sugar Pine area (49 mi\2\ (128 km\2\)) of the SSN
subpopulation showed the survival rate (calculated using demographic
parameters) of adult males, but not females, is lower than other
subpopulations in the West Coast States. Specifically, Sweitzer et al.
(2015a pp. 781-783; 2015b, p. 10) stated that their analysis
``suggested slightly negative growth ([lambda] = 0.966) for the period
of the research (Table 2). The upper range for [lambda] (1.155) was
well above 1.0, however, suggesting stability or growth in some years.
The estimated range for [lambda] (Table 2) was consistent with the
estimated population densities, which did not indicate a persistent
decline during 4 years from 2008-2009 to 2011-2012.'' Additionally, in
a new report (Purcell et al. 2018) based on fishers studied in the
previously mentioned Sugar Pine area, results for radio-collared
fishers monitored from 2007 through 2017 (totaling 139 collared
fishers) in the Sugar Pine area are updated, indicating an estimated
lambda of 0.99 (C.I. 0.826 to 1.104) based on female fisher survival
rates (Purcell et al. 2018, pp. 5-6, 17). Specifically, Purcell et al.
(2018) stated: ``Given the length and intensity of the monitoring
associated with calculating these estimates, and the lack of
significant difference from zero, the SNAMP/Sugar Pine fisher
population appears stable over the study period.'' Thus, population
growth in the Sugar Pine portion of the SSN subpopulation is estimated
to trend less than 1.0; however, the authors suggest that the
population in this area is not in persistent decline but is offset by
periods of stability or growth (Sweitzer et al. 2015a, p. 784; Purcell
et al. 2018, p. 6). Finally, the authors express concern for the
subpopulation and the need for continued monitoring (Sweitzer et al.
2015b, p. 10; Purcell et al. 2018, p. 6).
Available population estimates and trend information for the SSN
subpopulation does not take into consideration extensive tree mortality
that has impacted the habitat since 2015 to present. Research is
currently being conducted to determine any potential effects that tree
mortality may be having on the SSN fisher subpopulation, but results
are not yet available (Green et al. 2019, entire).
The major threats for the SSN subpopulation are loss and
fragmentation of habitat resulting from high-severity wildfire and
wildfire suppression activities, vegetation management, and forest
insects and tree diseases, as well as direct impacts that include high
mortality rates from predation, exposure to toxicants, and potential
effects associated with small population size. Tree mortality may be an
additional threat on this subpopulation given the species' needs, but
more information is necessary to determine population-level impacts.
Potential conservation measures include the development of the Southern
Sierra Nevada Fisher Conservation Strategy (Spencer et al. 2016,
entire).
Risk Factors for the West Coast DPS of Fisher
Potential threats currently acting upon the West Coast DPS of
fisher or likely to affect the species in the future are evaluated and
addressed in the final Species Report (Service 2016, pp. 53-162). We
consider these threats in light of the statutory factors identified in
the Act, including: (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 reader is directed to the
Species Report (Service 2016, entire) for a more detailed discussion of
the threats summarized in this document (https://www.fws.gov/cno/fisher/
). However, please note that our most recent consideration of new data
since 2016
[[Page 60287]]
coupled with our reevaluation of the entirety of the best available
scientific and commercial information is represented and summarized in
this revised proposed rule.
Our analysis represents an evaluation of the biological status of
the species, based upon our assessment of the cumulative impact of all
effects anticipated from the identified threats, and how that
cumulative impact may affect the species' continued existence currently
and in the future. We used the best available scientific and commercial
data, and the expert opinions of the analysis team members. Based on
the analysis and discussion contained herein, in this document we
evaluated potential habitat-based threats including high-severity
wildfire, wildfire suppression activities, and post-fire management
actions; climate change; forest insects and tree diseases; vegetation
management; and human development (Factor A). We also evaluated
potential threats related to direct mortality of fishers including
trapping and incidental capture (Factor B), research activities (Factor
B), disease or predation (Factor C), collision with vehicles (Factor
E), exposure to toxicants (Factor E), and potential effects associated
with small population size (Factor E). Finally, we also evaluated the
inadequacy of existing regulatory mechanisms (Factor D).
The timing (immediacy) of each threat was assessed independently
based upon the nature of the threat and time period that we can be
reasonably certain the threat is acting on fisher populations or their
habitat. In general, we considered that the trajectories of the threats
acting on fisher subpopulations across the DPS's range could be
reasonably anticipated over the next 35-40 years. We estimated this
timeframe as a result of our evaluation of an array of time periods
used in modeling. For example, climate models for areas with fisher
habitat, habitat conservation plans (HCPs), and timber harvest models
generally predict 50 to 100 years into the future, and forest planning
documents often predict over shorter timeframes (10 to 20 years). We
considered 40 years at the time of the 2014 Proposed Rule, and given
the 5-year time period since, we are modifying the foreseeable future
time period to a range of 35-40 years. This is a timeframe that we can
reasonably determine that both the future threats and the species'
responses to those threats are likely. This time period extends only so
far as the predictions into the future are reliable, including a
balance of the timeframes of various models with the types of threats
anticipated during the 35- to 40-year time period.
As we conducted our threats analysis, we determined that the most
significant drivers of the species' future status were: Wildfire and
wildfire suppression, damage to forest health from disease and insect
infestations, and the potential for climate change to exacerbate both
of these threats, as well as the threats related to vegetation
management and exposure to toxicants. While our assessment of the
species' status was based on the cumulative impact of all identified
threats, as explained above, we are only presenting our analyses on
these specific primary threat drivers for the purposes of this revised
proposed rule. Full detailed analyses for all the other individual
threats, we refer the reader to the Species Report (Service 2016,
entire).
Wildfire and Wildfire Suppression
Our evaluation includes both the effects of wildfire on fisher
habitat as well as those activities associated with wildfire
suppression that may result in changes to fisher habitat (for example,
backburning, fuel breaks, and snag removal). Naturally occurring fire
regimes vary widely within the range of fishers on the West Coast
(Service 2014, p. 58). Potential for high-severity wildfire to affect
fisher habitat and fisher populations is concentrated in northern
California-southwestern Oregon and the Sierra Nevada areas as compared
to the remainder of the fisher's historical range in the West Coast
States (Service 2014, pp. 62-63). In general, high-severity wildfire
has the potential to remove suitable fisher habitat by removing forest
canopy, large trees, and structurally diverse understories, which can
take from decades to a century or more to regrow, depending on the
habitat feature (Service 2014, pp. 59-60). Mixed-severity wildfire
includes patches of low-severity wildfire and patches of high-severity
wildfire (Jain et al. 2012, p. 47).
At the landscape scale, mixed-severity wildfire effects to fisher
habitat may only affect an area's ability to support fishers for a
short period of time due to the patchy nature of burned and unburned
areas. Additionally, a beneficial aspect of mixed-severity wildfires
(as opposed to just high-severity wildfires) is that these wildfires
may contribute to the regeneration of the hardwood component of mixed-
conifer forest used by fisher (Cocking et al. 2012, 2014, entire). Low-
severity wildfire may reduce some elements of fisher habitat
temporarily, but also helps to contribute to the ecological processes
necessary to create tree cavities essential for denning and resting
fishers (Weir et al. 2012, pp. 237-238). Low-severity wildfire is
unlikely to remove habitat, and post-wildfire areas are likely to still
be used by fishers (Naney et al. 2012, p. 6; Truex and Zielinski 2013,
p. 90).
Within shrub, grassland, and forested lands across the western
United States (including the Sierra Nevada, southern Cascades, and
Coast ranges), the wildfire season length increased over each of the
last 4 decades, from 65 days in the 1970s to 140 days in the 2000s
(Westerling 2016, pp. 3, 8, and 10). The lengthening of the wildfire
season is largely due to declining mountain snowpack and earlier spring
snowmelt, which contributes to a decrease in vegetation moisture that
enables more frequent large wildfires and an increase in the total area
burned (Westerling 2016, pp. 8-9). In the SSN subpopulation area,
changes in climate are associated with large increases in the area
burned by wildfire (Dettinger et al. 2018, p. 72), and increases in the
frequency of large wildfires greater than 24,700 (ac) (9,996 (ha)
(Westerling 2016, pp. 6-7). Recent publications on wildfire occurrence
and severity within the NCSO and SSN fisher subpopulations have not
changed our conclusions about this threat from the 2014 Proposed Rule
(79 FR 60419, October 7, 2014; p. 60429).
Recent information on fishers' behavioral and localized population
response to wildfires is available for both the NCSO and SSN fisher
subpopulations, as shown below.
Northern California-Southern Oregon (NCSO)
In a monitored fisher population in the Klamath-Siskiyou area,
declines in the overall fisher population occurred after wildfires in
the study area in 2014 and 2015 (Green et al. 2019, entire). This
population of fishers was monitored for 8 years pre-wildfire and the
population was considered relatively stable. The decline in the number
of fishers due to the wildfires is 40 percent, a decrease that became
apparent the first full year following the fires and has persisted for
at least 2 more years (Green et al. 2019, p. 8). Fisher densities
declined across all wildfire severity types but declined the most in
areas with more than a 50 percent loss of tree basal area (Green et al.
2019, p. 6).
Within the Biscuit Fire area in southwest Oregon, which burned in
2002, surveys conducted in 2016 and 2017 did not detect fishers within
the burn perimeter (Barry 2018, pp. 22-23), suggesting fishers may not
yet occupy
[[Page 60288]]
the area. The Biscuit Fire appears to have been unusually large and
severe for the Klamath-Siskiyou region based on estimates of crown
damage (Odion et al. 2004, p. 932) and area affected by surface fire
(Thompson and Spies 2009, pp. 1,692-1,693).
To update our 2014 analysis of wildfire effects within the NCSO
subpopulation, we conducted an analysis similar to the one completed
for the 2014 draft Species Report (Service 2014, pp. 62-64; Service
2019b, unpublished data). Using the fisher habitat map developed for
the 2014 Proposed Rule and U.S. Forest Service data for burn severity
for 2008-2018 (USDA Forest Service 2019), we estimated the effects of
high-severity wildfire to fisher habitat over the past 10 years. We
assumed wildfires that burned at high severity (greater than 50 percent
basal area loss) changed fisher habitat to a condition that would not
be selected by fishers; this assumption was based on the recent results
as reported in Green et al. (2019a, p. 6). Overall, high and
intermediate quality fisher habitats in the NCSO subpopulation have
decreased by 526,424 ac (213,036 ha) from 7,050,035 ac (2,853,047 ha)
to 6,523,610 ac (2,640,011 ha), or approximately 7 percent, as a result
of wildfires since 2008. The total area assessed was approximately
10,459,612 ac (4,232,855 ha).
For comparison purposes, in our 2014 draft Species Report, we
estimated 4 to 8 percent of fisher habitat would be lost over the next
40 years due to high-severity wildfire (Service 2014, p. 64). Our 2014
area of analysis for the NCSO subpopulation was based on fire data from
1984 to 2011 and assessed approximately 24,080,693 ac (9,745,111 ha).
The results of our new analysis is based on fire data from the period
2008 to 2018, a 10-year period of actual data, which indicates our
earlier estimates of changes to fisher habitat from wildfire over the
next 40 years may have been an underestimate.
Southern Sierra Nevada (SSN)
In an analysis of a portion of the SSN fisher subpopulation, fisher
occupancy of sample units trends lower among those units burned by
either prescribed burning or wildfire (Sweitzer et al. 2016, pp. 218-
220); nonetheless, the overall results of this analysis did not include
a consistent negative effect of fire on fisher habitat use. Results of
modeling the variables of forest structure important to fishers for
denning habitat on the Sierra National Forest and Yosemite National
Park suggest that suitable denning habitat is maintained in burned
forests, though primarily those with low-severity wildfire conditions
(Bomdahl 2018, entire). Fisher behavior in post-wildfire landscapes in
the French (2014) and Aspen Fires (2013) indicated an avoidance of
areas affected by high- and moderate-severity wildfires, and a higher
probability of being found in ravines or canyon bottoms in combination
with unburned or lightly burned patches (Thompson et al. 2019, pp. 13-
14). This new information differs from that reported in our final
Species Report (Service 2016, p. 66) and may be due to different scales
of analysis, the values chosen to identify wildfire severity classes,
or the 2-4 year vs. 10-year post-wildfire sampling period (Hanson et
al. 2013, entire; Thompson et al. 2019, pp. 15-18). Without demographic
data on age class, survival, or reproduction, it is difficult to say
with certainty whether fisher use of post-wildfire landscapes is for
dispersal or whether such areas act as population sinks, as has been
identified for the proposed coastal DPS of Pacific marten (Martes
caurina) (Thompson et al. 2019, pp. 17-18).
For comparison purposes based on data compiled for a new analysis
of effects of wildfire on fisher habitat in the southern Sierra Nevada,
the Conservation Biology Institute (CBI) analyzed high severity fire
data from 2003 to 2017 (CBI 2019, pp. 26-28). This new analysis shows a
loss of fisher denning, resting, and foraging habitat of approximately
25 percent over the time period 2003-2017, with most of that loss
occurring between 2013 and 2017 (approximately 22 percent) (CBI 2019,
p. 28). In addition, the wildfires occurring on the Sierra and Sequoia
National Forests bisected and disrupted connectivity between--or
reduced the overall size of--key core areas as identified in the SSN
fisher conservation strategy (Spencer et al. 2016, p. 10; CBI 2019, pp.
26-28).
Wildfire and Wildfire Suppression Summary
When considering the best available scientific and commercial
information regarding wildfire and wildfire suppression activities
(including new information since the time of the 2014 Proposed Rule and
our reevaluation of peer reviewer and other comments received), we
maintain that wildfire is a natural ecological process. As stated
above, wildfire may be increasing in terms of frequency, severity, and
magnitude in California and southern Oregon. We acknowledge there is
debate concerning whether wildfire severity is increasing (Mallek et
al. 2013, pp. 11-17; Stephens et al. 2015, pp. 12-16; Hanson and Odion
2016, pp. 12-17; Odion et al. 2016, entire). Our best professional
judgment leads us to conclude that if the severity and extent of
wildfires are such that substantial areas of canopy and large trees are
lost, multiple decades of forest growth and structural development
would be necessary for those burned areas to support fisher
reproduction. Alternatively, if wildfire severity is low or mixed,
important habitat elements to fisher (e.g., den trees) can be both
created and removed within a home range such that the burned habitat
may continue to support both fisher foraging and reproduction.
Therefore, based on the research and data currently available (as
described above and in Service 2014, p. 64; Sequoia Forest Keeper 2019,
pers. comm.; Spencer et al. 2016, p. 10), we believe that, in areas
where wildfires remove 50 percent or more of the basal area of trees in
the habitats fisher select (high and intermediate quality), fisher
occupancy and reproduction is negatively affected. In areas where less
than 50 percent of the basal area is lost, the degree to which wildfire
(and wildfire suppression activities) affects fisher populations
depends on the forest type, landscape location, size, and intensity of
the wildfire.
Climate Change
At the time of the 2014 Proposed Rule, we stated and reaffirm here
that, overall, fisher habitat is likely to be affected by changing
climate conditions, but the severity will vary, potentially greatly,
among different regions, with effects to fishers ranging from negative,
neutral, or potentially beneficial. Climate change is likely to alter
the structure and tree species composition of fisher habitat, and also
result in changes to habitat of prey communities and ultimately prey
availability. Studies of climate change present a range of effects
including some that indicate conditions could remain suitable for
fisher, and others that indicate a reduction in habitat quality or
suitability could lead to increased chronic stress of fishers. Climate
throughout the West Coast States is projected to become warmer over the
next century, and in particular, summers will be hotter and drier, with
heat waves that are more frequent (Hayhoe et al. 2004, p. 12,423;
Tebaldi et al. 2006, pp. 191-200; Mote and Salath[eacute] 2010, p. 41;
Salath[eacute] et al. 2010, p. 69; Cayan et al. 2012, pp. 4, 10; Mote
et al. 2013, p. 34; Pierce et al. 2013, pp. 844, 848).
In Oregon, Dalton et al. (2017, pp. 4, 8) evaluated
greenhouse gas emissions via global climate models
[[Page 60289]]
with future emission pathways called ``representative concentration
pathways'' (RCPs). They considered multiple greenhouse gas emission
scenarios, including low (RCP 4.5) and business-as-usual (RCP 8.5).
Their analysis indicates that extreme heat events are expected to
increase in frequency, duration, and intensity by the 2050s due to
warming temperatures (RCP 4.5 = mean annual temperature increase
predicted on average 3.6 degrees Fahrenheit ([deg]F); RCP 8.5 = mean
annual temperature increase predicted on average 5.0 [deg]F). Summers
are expected to warm more than the annual average and likely to become
drier. Annual precipitation is projected to increase slightly, although
with a high degree of uncertainty. Extreme heat and precipitation
events are expected to increase in frequency, duration, and intensity.
In California, information from Pierce et al. (2013) and
Safford et al. (2012) used multiple general circulation models and
downscaling with regional climate models to develop probabilistic
projections of temperature and precipitation changes over California by
the 2060s. Predictions indicate an annual mean temperature increase of
4.3 [deg]F (2.4 degrees Celsius ([deg]C)) by 2060 (Pierce et al. 2013,
p. 844), which falls in line with already increased temperatures of
around 1 to 2.5 [deg]F (0.5 to 1.4 [deg]C) over the past 75 to 100
years specifically in the Sierra Nevada (Safford et al. 2012, p. 25).
In the Klamath Mountains portion of the NCSO subpopulation area,
precipitation is likely to fall increasingly as rain rather than snow,
becoming mainly rain-dominated by mid-century (Dalton et al. 2017, p.
17).
Higher temperatures during spring and summer, coupled with early
snow melt, will reduce moisture of both live fuels and dead surface
fuels by increasing evaporative demands during the dry season (Kelly
and Syphard 2016, pp. 2-3). Additionally, annual precipitation changes
have been and are likely to continue to be inconsistent across
California (Polade et al. 2017, p. 1), as well as the remainder of the
West Coast States.
Studies specific to predicting the effects of climate change on
suitable fisher habitat have produced a wide range of results. Ecotype
conversion to woodland, shrubland, or grassland would result in the
loss of suitable fisher habitat. This type of shift is predicted, for
example, in the southern Sierra Nevada (Gonzalez et al. 2010, fig. 3;
Lawler et al. 2012, p. 388). On the other hand, shifts from conifer
forest to hardwood-dominated mixed forest in the southern Sierra Nevada
or Klamath region could either increase or decrease available habitat
to fishers (Lawler et al. 2012, pp. 384-386; Loarie et al. 2008, p. 4
and fig. 4). Given the contribution of hardwood trees to fisher habitat
in drier parts of the NCSO and SSN subpopulations, a shift to
increasing hardwoods in the more coastal or higher elevation forest
types could improve habitat. However, trees are long-lived and mature
forests can persist under suboptimal conditions, preventing better-
suited vegetation from becoming established until disturbance removes
the original forest (Sheehan et al. 2015, p. 27). Consequently, the
increase in the hardwood component of fisher habitat in predominantly
conifer areas may not occur until after fires have removed enough of
the existing stand to allow hardwood establishment, potentially
decreasing suitable habitat in the interim.
Other studies suggest that climate change will adversely impact
forest habitat by intensifying large-scale, high-severity wildfire,
drought, and tree mortality (Kadir et al. 2013, pp. 132, 137;
Westerling 2016, pp. 1-2; Stephens et al. 2018, p. 77). A wide range of
assumptions and caveats typically accompanies these types of
predictions.
Variables predicting fisher resting habitat as described by
Zielinski and Gray 2018 (p. 903) include stand characteristics such as
canopy closure, basal area of conifer and hardwood trees, and diameter
and age of dominant conifers. To date climate change has not
significantly affected resting habitat for fishers, which, according to
Zielinski and Gray (2018, pp. 899, 903), has remained stable over the
past 20 years across the California-portion of the DPS's range,
although habitat suitability tended to be lower on private lands than
public lands. However, when considering resting habitat trends over
these 20 years to help us project potential future resting habitat
conditions in light of climate change projections, survey data in the
Eldorado and Sierra National Forests (within a portion of the SSN
subpopulation area) indicate the beginning of a negative trend in
resting habitat suitability (Zielinski and Gray 2018, p. 903), whereas
resting habitat examined within the NCSO subpopulation area varied
greatly (i.e., suitable resting habitat decreased in the Shasta-Trinity
National Forest, increased in the Six Rivers National Forest, and
remained unchanged over time for both the Klamath and Mendocino
National Forests).
In addition to the potential climate change effects to fisher
habitat discussed above, some researchers have suggested climate change
may cause direct effects to fishers, including increased mortality,
decreased reproductive rates, alterations in behavioral patterns, and
range shifts. Fishers may be especially sensitive, physiologically, to
warming summer temperatures (Zielinski et al. 2004, p. 488; Slauson et
al. 2009, p. 27; Facka 2013, pers. comm.; Powell 2013, pers. comm.). As
a result, researchers (e.g., Burns et al. 2003, Zielinski et al. 2004,
Lawler et al. 2012, Olson et al. 2014) theorize that fishers likely
will either alter their use of microhabitats or shift their range
northward and upslope, in order to avoid thermal stress associated with
increased summer temperatures.
Although we indicated in the 2014 Proposed Rule that climate change
is not viewed as a direct threat to fishers or their habitat, the best
available information indicates there is a link between changing
climate conditions (temperature and precipitation changes, more
frequent and prolonged droughts) and the resulting changes to overall
habitat suitability and availability for fishers throughout their
range, as well as potential to increase fisher stress levels when
habitat changes occur. These changes more specifically affect the
amount and distribution of habitat necessary for female fishers to be
able to have places to den and raise their young. For example:
Climate change, wildfire, and air quality: Ongoing climate
change in California is likely to result in significant or amplified
wildfire activity and air quality challenges, with area burned and
severity likely to increase (Hurteau et al. 2019, pp. 1, 3; Moritz et
al. 2018, p. 36). This in turn can result in reduced denning habitat
availability for fishers, such as in the Coast Range and Klamath
Mountains portion of the NCSO subpopulation area, which is projected to
experience wildfire return intervals decreased by half and thus result
in a near tripling of the annual area burned in this century compared
to last (Sheehan et al. 2015, pp. 20-22; Dalton et al. 2017, p. 46).
Drought, tree mortality, and wildfire: With increased
drought conditions, tree mortality and large-scale high-severity
wildfire are likely to increase in frequency and size, especially if
fuel loads in forests are not decreased (Young et al. 2017, p. 78;
Westerling and Bryant 2008, pp. S244-S248; Abatzoglou and Williams
2016, pp. 11,770, 11,773). The loss of adequate forest canopy cover to
provide habitat suitable for denning female fishers is occurring due to
tree mortality
[[Page 60290]]
as a result of drought and wildfire (CBI 2019, p. 9).
With regard specifically to droughts: Although we can expect that
future droughts may be more intense, it is unknown whether or not
droughts in the future will be worse than our worst droughts in the
past (Keeley and Syphard 2016, p. 6). Regardless, it appears that
climate change is exacerbating the effects of drought, given that
changing climate conditions are estimated to have contributed 5 to 18
percent to the severity of one of the worst recent droughts in 20th-
century California history (Keeley and Syphard 2016, p. 6).
Climate change, wildfire, disease, tree mortality: The
observed increases in wildfire activity in Oregon are partially due to
climate change; increasing wildfire activity is expected under future
warming, which in turn can exacerbate tree mortality from agents such
as mountain pine beetles (Dalton et al. 2017, p. 46). Tree mortality
(whether from changing climate conditions or any other factor), in
turn, is likely to result in fishers experiencing reduced fitness (a
positive relationship between higher amounts of tree mortality and
higher cortisol levels in fishers), as documented in one portion of the
SSN subpopulation (Kordosky 2019, pp. 14, 36) and an overall reduction
in forest stand conditions known to be suitable denning habitat (CBI
2019, entire; Green et al. 2019, pp. 3-4).
Overall, at this time, the best available scientific and commercial
information suggest that changing climate conditions (particularly
increasing air temperatures coupled with prolonged and more frequent
drought conditions) are exacerbating other threats to the fishers and
their habitat within the West Coast DPS, including high-severity
wildfires, the spread of forest insects, and tree diseases. Please see
additional discussion about potential impacts to fishers or their
habitat associated with wildfire (``Wildfire and Wildfire
Suppression,'' above) and tree mortality (``Forest Insects and Tree
Diseases,'' below) under those risk factor sections of this document.
Forest Insects and Tree Diseases
Since 2010, severe drought events have led to more than 147 million
dead trees in California, with a high concentration in the southern
Sierras due to increased susceptibility to forest insects and tree
disease (CAL FIRE and USFS 2019, no page number). Over half of the
potential fisher habitat in the SSN subpopulation has been
significantly impacted by canopy loss due to tree mortality (CBI 2019,
pp. 3-9, 29). Additionally, sudden oak death (Phytophthora ramorum) has
caused some tree mortality in southwestern Oregon and northwestern
California (COMTF 2019, p. 1; Oregon Department of Forestry (ODF) 2016,
pp. 1-2). There is limited information on the direct impacts to fisher
of tree mortality due to forest insects and tree disease. The usual
pattern of localized outbreaks and low density of tree-consuming
insects and tree diseases are beneficial, providing structures
conducive to rest and den site use by fishers or their prey. However,
large, area-wide epidemics of forest disease and insect outbreaks may
displace fishers if canopy cover is lost and salvage and thinning
prescriptions in response to outbreaks degrade the habitat (Naney et
al. 2012, p. 36).
Preliminary information in the SSN subpopulation indicates a change
in fisher habitat use whereby fishers avoid tree mortality areas (Green
et al. 2019, entire). In addition, increased tree mortality on the
landscape has resulted in reduced female fisher survival within the SSN
population due to increased stress hormones (cortisol) (Kordosky 2019,
pp. 31-34, 36-40, 54-61, 65-68, 94). Loss of canopy cover and large
trees due to tree mortality from insects and tree diseases likely
reduces habitat suitability for fishers, but it is unknown if the level
of habitat loss will significantly impact fisher subpopulations
throughout the DPS's range. It is likely that tree mortality will
continue to be a threat into the future due to predicted increases in
drought conditions that will likely continue to weaken trees and make
them susceptible to bark beetles and disease (Millar and Stephenson
2015, pp. 823-826; Young et al. 2017, pp. 78, 85).
Vegetation Management
Vegetation management techniques of the past (primarily timber
harvest) have been implicated as one of the two primary causes for
fisher declines across the United States. Many fisher researchers have
suggested that the magnitude and intensity of past timber harvest is
one of the main reasons fishers have not recovered in the western
United States as compared to the northeastern United States (Service
2014, pp. 54-56). At the time of the 2014 Proposed Rule, we stated that
vegetation management techniques have, and can, substantially modify
the overstory canopy, the numbers and distribution of structural
elements, and the ecological processes that create them. Overall,
fisher home ranges tend to be composed of mosaics of forest stand types
and seral stages but often with a high proportion of mid- to late-seral
forests (Raley et al. 2012, p. 231). Fishers occupy managed landscapes
and stands where timber harvest and other vegetation management
activities occur; the degree to which fishers tend to be found in these
areas often depends on a multitude of factors, including the scale,
intensity, and rate of activities, as well as the composition and
configuration of suitable habitat, and amount and type of retained
legacy structures (Service 2016, pp. 59-60; Thompson and Clayton 2016,
pp. 11-16, 22; Marcot et al. 2018, p. 400; Parsons 2018, pp. 31, 53-55,
63; Purcell et al. 2018, pp. 60-61, 69-70).
At the time of the 2014 Proposed Rule, we concluded that data
limitations in most subregions across the DPS prevented us from
quantifying what proportion of the treatments actually resulted in
habitat loss or downgrade. Thus, at that time, the severity scores
presented in the 2014 draft Species Report and summarized in the 2014
Proposed Rule represented our best estimate and constituted a
relatively broad range to incorporate this uncertainty. Our previous
quantitative analysis of threats resulting in habitat loss also did not
account for ingrowth (i.e., forest stands becoming habitat as a result
of forest succession) of fisher habitat over our 40-year analysis
timeframe and, therefore, provided no values for net habitat change;
while we acknowledged that ingrowth occurs, primarily on Federal lands,
we lacked the data at that time to quantitatively estimate that
ingrowth (Service 2014, pp. 84-92). Although we recognized data
limitations in most subregions across the range of the DPS and we did
not account for ingrowth, we found that vegetation management is a
threat because activities that remove or substantially degrade fisher
habitat through the removal of large structures and overstory canopy
are projected to take place within the range of the DPS over the next
40 years.
Since the time of our 2014 Proposed Rule, we reevaluated our
analysis and changed our approach to rely on available data on forest
disturbances and past changes in older forest. Several sources of data
provide information on past changes in vegetation in different areas of
the DPS. Because of the large area encompassed by the fisher, these
different sources are not directly comparable and do not easily combine
to paint a complete picture of the vegetation trends within the West
Coast DPS. We have acknowledged the limitations of this information,
and we explicitly requested information from the public in our 2014
Proposed Rule to better inform our analysis of this threat
[[Page 60291]]
and to help us make a final determination. Specifically, we requested
information related to the scope and degree of vegetation management on
Federal land within the range of the fisher, and scientific or
commercial information on the type, scope, and degree of vegetation
management (timber harvest, restoration thinning, fuels reduction,
etc.) on non-Federal land in Oregon and Washington. We also requested
scientific evaluation of our use of the northern spotted owl habitat
data as a surrogate for fisher habitat data, and its use in our 2014
draft Species Report as the best available data to determine the scope
and degree of vegetation management effects on Federal lands.
Currently, no analysis explicitly tracks changes in fisher habitat
in recent decades where loss specifically attributable to vegetation
management can be determined. Therefore, we used other available
information, as described below, and our best professional judgment to
analyze the potential effects of this threat on the DPS of fisher.
After considering the best available data, including comments received
from peer reviewers and the public regarding the vegetation management
threat analysis presented in the draft Species Report (Service 2014,
pp. 85-96) and summarized in the 2014 Proposed Rule, we updated and
reconsidered our analysis. Our updated analysis included the use of
several different sources of information to depict forest vegetation
changes caused by vegetation management activities within the range of
the DPS. With the exception of the non-Federal timber harvest database
in California (California Department of Forestry and Fire Protections
(CAL FIRE) 2013), all of these sources are either new or updated since
2014 (Davis et al. 2015, entire; USDA Forest Service 2016, entire;
Spencer et al. 2016, entire; Spencer et al. 2017, entire; gradient
nearest neighbor (GNN) data/maps). Because we were able to use these
sources of data, we did not need to rely on northern spotted owl
habitat data as a surrogate for fisher habitat data in this evaluation.
Our revised methodology is described in detail for the historical,
three-State range of the DPS in the 2016 final Species Report (Service
2016, pp. 98-111); we summarize it below and describe its application
to our revised proposed DPS.
While historical loss of older forests via timber harvest through
much of the 1900s resulted in a substantial loss of fisher habitat in
the West Coast States, harvest volume has sharply declined throughout
this area since 1990, primarily on Federal lands, but also on non-
Federal lands. Although timber harvest is still ongoing throughout the
West Coast States, habitat ingrowth is also occurring, offsetting some
of those losses.
Within the portion of the DPS overlying the Northwest Forest Plan
region, we used information from the draft late-successional and old-
growth forest monitoring report (Davis et al. 2015, entire) to assess
changes in fisher habitat as a result of vegetation management. This
information included use of the ``old growth structure index'' (OGSI),
which is an index of 0-100 that consists of four old-growth elements:
(1) The density of large live trees; (2) the density of large snags;
(3) the amount of down wood cover; and (4) the tree size diversity of
the stand. Over a 20-year period (1993-2012), Davis et al. (2015, pp.
5-6, 16-18) tracked changes in forests classed as OGSI-80, which
represents forests that begin to show stand structures associated with
older forests (e.g., large live trees, snags, down wood, and diverse
tree sizes). Though OGSI-80 forests are not a comprehensive
representation of fisher habitat, we considered this report to be the
best available scientific and commercial information to assess changes
in fisher habitat within the NWFP area. This information was the only
data set available that identified the amount of acres lost to specific
disturbance types (e.g., timber harvest or vegetation management, fire,
and insects) and calculated specific acres of forest ingrowth, allowing
us to explicitly track loss of a specific forest type condition to a
specific disturbance category (vegetation management). All remaining
data sets provided a net change in vegetation type but did not
categorize or quantify the disturbance types (e.g., acres and type of
loss, acres of ingrowth).
Details of our analysis of Davis et al. (2015, entire) are
explained in the 2016 final Species Report (Service 2016, pp. 101-102).
We have since modified that analysis to only include data for the
provinces that cover the current range of native fishers in the West
Coast States (i.e., the West Coast DPS of fisher, as described in
Summary of Changes From the 2014 Proposed Rule, above). The California
portion of the DPS covers all of the California physiographic provinces
analyzed in Davis et al. (2015, pp. 10, 30-31). The Oregon portion of
the DPS occurs mostly within the Oregon Klamath province, but overlaps
somewhat into small portions of the western and eastern Cascades
provinces (Davis et al. 2015, pp. 10, 30-31). We assessed the results
of including and excluding the data from the two Cascades provinces,
and because no substantial differences were revealed between the two
data sets, we report here the results for including only the Oregon
Klamath province data, along with data for all of the California
physiographic provinces located within the NWFP.
Although loss of older forest habitat due to timber harvest on non-
Federal lands (11.1 percent since 1993) was substantially greater than
on Federal lands (1.0 percent since 1993), in combining all ownerships,
the percent loss due to timber harvest over the past 20 years was low
(5.0). This translates to a 2.5 percent loss per decade. However, this
may underestimate future harvest trends because timber harvest volume
within the NWFP area on Federal lands has been on a general upward
trend since 2000. During the first decade of NWFP implementation,
Federal agencies offered, on average annually, 54 percent of the timber
harvest sale goals (probable sale quantity or PSQ) identified in the
Plan, whereas volume offered in 2012 was at about 80 percent of the PSQ
identified in the NWFP, as agencies became more familiar with
implementing the NWFP (USDI BLM 2015, p. 340; Spies et al. 2018, pp. 8-
9). In addition, BLM has recently revised their management plans in
western Oregon and is no longer operating under the NWFP. Consequently,
that agency is predicting an increase in timber volume above the NWFP
sale quantity in the first decade (USDI BLM 2015, pp. 350-352). Hence,
overall harvest trends on Federal lands over the next decade or so may
be closer to rates observed in the last decade of NWFP implementation;
however, the OGSI-80 harvest data we used was categorized by decade so
we were not able to determine what the higher harvest rate during that
time period translated to in terms of estimated habitat loss for
fishers.
The net loss of habitat, however, is somewhat less because 2.5
percent per decade does not include ingrowth of OGSI-80 stands.
Ingrowth is those stands that did not meet the OGSI-80 structural
thresholds at the beginning of the 20-year monitoring period that,
through vegetation succession, reached those thresholds at the end of
the monitoring period. Ingrowth would result in a reduction in overall
net habitat change because stands that grow into suitable habitat are
assumed to offset the loss of habitat through disturbances such as fire
or vegetation management. However, we acknowledge that fisher habitat
occurs on a continuum, and habitat lost to timber
[[Page 60292]]
harvest or some other disturbance is not necessarily equivalent in
quality to habitat that recently crosses a threshold of becoming
suitable habitat.
Ingrowth of OGSI-80 stands within the NWFP area occurred at a rate
of 8 percent over the 20-year period, or 4 percent per decade
(calculated from Davis et al. (2015, tables 6 and 7, pp. 30-31)). While
this change would offset the OGSI-80 stands lost to vegetation
management, there is still a net loss of 1 percent per decade if we
incorporate all disturbances (i.e., wildfire and insects). Ingrowth
rates are expected to increase in the foreseeable future on Federal
lands within the NWFP area because forests regenerating from the post-
World War II harvest boom starting in the 1940s are beginning to meet
the OGSI-80 threshold (Davis et al. 2015, p. 7).
Elsewhere in the West Coast States, while we could track vegetation
changes over time, the available data did not indicate the amount or
types of disturbances affecting the specific vegetation types; that is,
we could only determine net vegetation change of a particular
vegetation type, not the specific amount of that type that was lost to
a specific disturbance type, unlike in the NWFP area. Timber harvest
records were available for the Sierra Nevada region, but idiosyncrasies
in the FACTS (Forest Service Activity Tracking System) database (see
Spencer et al. (2016, p. A-30)) and the fact that the available private
lands database (CAL FIRE timber harvest plans) did not indicate types
of treatment or what portion of the plans may have actually been
implemented, led to concerns in translating acres of ``treatment'' as
depicted in these databases into on-the-ground changes in forest
vegetation types that could represent fisher habitat. Instead, we
relied on net vegetation change data to display actual changes in
forests that represent fisher habitat, realizing that net changes
include other disturbances and that vegetation management will be some
unknown portion of that change.
In the SSN subpopulation area, we approximated fisher habitat
change using a vegetation trend analysis to track changes in forests
with large structural conditions thought to be associated with fisher
habitat. Note that the vegetation category tracked in this analysis is
not equivalent to the OGSI-80 forests used by Davis et al. (2015,
entire). Instead, available data limited us to using predefined
structure conditions describing forests with larger trees (greater than
20 in (50 cm)), realizing this may not include all vegetation types
used by fishers. This analysis showed that net loss of forests with
larger structural conditions in the SSN subpopulation area was 6.2
percent across all ownerships over the past 20 years, which equates to
a loss of 3.1 percent per decade, similar to the 2.5 percent loss per
decade within the NWFP portion of the DPS.
In the single analysis where fisher habitat was actually modeled
and tracked through time (i.e., the SSN subpopulation area), ingrowth
of fisher habitat actually replaced habitat lost by all disturbances
between 1990 and 2012, showing a net increase in fisher habitat at the
female home range scale (Spencer et al. 2016, pp. 44, A-21). However,
the authors of this report have since cautioned that these conclusions
may no longer be accurate based on ``dramatic changes [that] have
occurred in Sierra Nevada mixed conifer forests due to drought and
extraordinary tree mortality'' (Spencer et al. 2017, p. 1).
Consequently, they recommended delaying application of habitat
conservation targets until vegetation data can be updated and fisher
habitat condition reassessed (Spencer et al. 2017, pp. 1-2). Hence,
although our earlier analysis concluded that fisher habitat in the SSN
subpopulation area may actually be increasing, we can no longer support
that conclusion based on recent vegetation mortality.
Extensive areas of suitable habitat remain unoccupied by fishers,
suggesting that there are also areas where habitat may not be the
limiting factor for current or potential fisher populations. Recent
fisher surveys in the western Cascades of Oregon suggest fishers do not
occur in the northern portion of the Cascades, and their former
distribution may even be contracting southward (Moriarty et al. 2016,
entire; Barry 2018, pp. 20-23, 31-32). Lack of fisher detections in
large areas with suitable habitat raises questions about our
understanding of suitable habitat within the Oregon Cascades, and what
the limiting factors are for fishers in Oregon. One such mechanism
could be predation. Recent research in California suggests that
landscape changes as a result of disturbances over the past century may
have altered the carnivore community and affected predation rates on
fishers by bobcats (Wengert 2013, pp. 59-66, 93, 97-100); proximity to
open and brushy areas (vegetation selected for by bobcats) increased
the risk of predation on fishers. Hence, while vegetation management
may not be affecting large areas of suitable fisher habitat, fishers
may be precluded from using the habitat due to other limiting factors.
Vegetation Management Summary
Old-forest losses on all ownerships combined in the past two
decades were less than 2.5 percent per decade due to timber harvest
within the NWFP area (which includes the NCSO subpopulation area), and
3.1 percent per decade as a result of all disturbance types within the
Sierra Nevada region (which includes the SSN subpopulation area).
Additionally, and specifically within the SSN subpopulation area,
fisher habitat appeared to be increasing until recent vegetation
mortality due to fires and drought. However, it is difficult to
conclude the degree to which vegetation management threatens fishers
throughout the DPS. Given the large home range of fishers and the
geographic extent of forest management activities throughout the range
of the DPS, some fisher individuals are likely affected as a result of
habitat impacts (e.g., Thompson and Clayton 2016, pp. 11-16; Purcell et
al. 2018, pp. 60-61).
Although fishers occur in landscapes and stands where timber
harvest has occurred (e.g., Slauson et al. 2003, pp. 7-9; Self and
Callas 2006, entire; Hamm et al. 2012, pp. 421-422; Clayton 2013, pp.
7-19; Niblett et al. 2015, entire), there is no information on how
different vegetation management activities affect fisher subpopulations
and their persistence within the DPS's range. Analysis is further
confounded because the category of vegetation management contains
activities ranging from those that result in substantial loss of
habitat attributes valuable to fishers (e.g., large clear-cut harvests
that remove almost all tree canopy and structural features) to
activities that modify habitat at small-scale levels yet appear to
retain functionality as fisher habitat (e.g., minor reductions in
canopy cover and retention of structural features suitable for rest
sites, den sites, or prey production). In addition, some of the trend
data we analyzed did not allow us to tease out vegetation management
disturbance from disturbances due to fire or other natural events.
Finally, there appears to be substantial amounts of unoccupied fisher
habitat, suggesting that habitat is not limiting for fishers and,
therefore, habitat loss is not a threat. However, this finding may also
be due to errors in our understanding of habitat, or that our
definition of fisher habitat includes conditions suitable for other
factors that may be limiting fishers (e.g., unsuitable prey habitat or
suitable predator habitat (see ``Disease or Predation,'' below)), or
that still other factors unrelated to habitat are limiting fisher
distribution. Consequently, based on the best available scientific and
[[Page 60293]]
commercial information, we find that some levels of vegetation
management may threaten fisher, and will continue to do so in the
foreseeable future, but many of the effects are exacerbated by other
forms of habitat loss such as tree mortality from drought and severe
wildfires.
Exposure to Toxicants
Rodenticides analyzed as a threat to fishers include first- and
second-generation anticoagulant rodenticides and neurotoxicant
rodenticides. First-generation anticoagulant rodenticides are in a bait
form that is targeted for rodents to consume for several consecutive
feedings (i.e., sublethal doses) that deliver a lethal dose. Second-
generation rodenticides are significantly more potent than first-
generation rodenticides because a lethal dose can be ingested in a
single feeding. Additionally, second-generation rodenticides are more
likely to poison predatory wildlife (e.g., fishers) that eat live or
dead poisoned prey, or other non-target wildlife. Neurotoxicant
rodenticides are delivered in either single or multiple doses and have
highly variable potency (multiple hours or days).
Both first- and second-generation anticoagulant rodenticides and
neurotoxicant rodenticides are most often used to kill small mammals
that are destroying crops. Rodenticides impair an animal's ability to
produce several key blood-clotting factors (anticoagulant rodenticides)
or affect brain and liver function (neurotoxicant rodenticides).
Anticoagulant rodenticide exposure is manifested by such conditions as
bleeding nose and gums, extensive bruises, anemia, fatigue, difficulty
breathing, and also damage to small blood vessels, resulting in
spontaneous and widespread hemorrhaging. A sublethal dose of a
rodenticide can produce significant clotting abnormalities and
hemorrhaging, leading to a range of symptoms, such as difficulty moving
and the decreased ability to recover from physical injury. Ingestion of
the neurotoxicant bromethalin has fast-acting and physical effects such
as unsteadiness and weakness, and at higher dosage levels, seizures.
Both anticoagulant and neurotoxicant rodenticides can change or impede
normal movement and foraging behaviors of fishers and therefore may
increase the probability of mortality from other sources.
Both the draft and final Species Reports detail the exposure of
fishers to rodenticides in the West Coast States (Service 2014, pp.
149-166; Service 2016, pp. 141-159). Data available since completion of
the final Species Report in 2016 continue to document exposure and
mortalities to fishers from rodenticides in both the NCSO and SSN
subpopulations (Gabriel and Wengert 2019, unpublished data, entire).
Fishers monitored as part of other studies, and that have died during
these studies, have been collected and tested for causes of mortality
and exposure to rodenticides (Gabriel and Wengert 2019, unpublished
data). Data for 97 fishers collected in California in the period 2007-
2014 indicate 81 percent of fishers tested positive for one or more
rodenticides; 48 fishers were collected during 2015-2018, and the
positive detection rate for rodenticides was 83 percent (Gabriel and
Wengert 2019, unpublished data). Mortalities due to rodenticide
toxicosis have increased from 5.6 to 18.7 percent since collection and
testing of fisher mortalities began in 2007 (Gabriel et al. 2015, p.
7). From 2015 to 2018, additional fisher mortalities due to both
anticoagulant and neurotoxicant rodenticides have been documented,
including data verifying the exposure of neonatal kits to rodenticides
through transplacental transfer (Gabriel and Wengert 2019, unpublished
data, p. 4).
The most likely source of exposure of fishers to these toxicants
continues to be rodenticides associated with illegal marijuana
cultivation sites within occupied fisher habitat on public, private,
and tribal lands in California and Oregon (Gabriel et al. 2015, pp. 14-
15; Thompson et al. 2014, pp. 97-98). Data pertaining to the amount and
types of rodenticides has been collected in more than 300 trespass grow
sites in California during the period 2012-2018 (Gabriel and Wengert
2019, unpublished data, pp. 5-7). Collection of these data has shown
that a lesser amount of second-generation rodenticides are being found
at grow sites due to policy changes in 2014 related to pesticide use
and additional restrictions now in place on the use of second-
generation rodenticides in California. The change in policy has led to
a more intensive use of first-generation anticoagulant rodenticide and
the highest amount of neurotoxicant rodenticide use since 2012 (Gabriel
and Wengert 2019, unpublished data, pp. 5-7). Please see additional
discussion on the effects of first- and second-generation rodenticides
in the 2016 Species Report (Service 2016, pp. 150-159).
Data are limited for the amount of pesticides used at sites outside
of California. The U.S. Forest Service documented 63 trespass grows
between 2006 and 2016, with toxicants present for all sites visited
(Clayton 2019, pers. comm.). To date, only one site in southern Oregon
has been sampled using the same protocol as in California. This
southern Oregon location had 54 pounds (lb) (24.5 kilograms (kg)) of
first-generation anticoagulant rodenticide and 8 lb (3.6 kg) of
neurotoxicant rodenticide (Gabriel and Wengert 2019, unpublished data,
p. 7) onsite.
As was stated in our 2014 Proposed Rule, the extent to which
rodenticides may act as a threat varies across the landscape and our
[then] determination regarding this threat was influenced by the
availability of data for different parts of the fisher's range. In
order to evaluate the risk to fishers from trespass grows and any
differences between populations, a Maximum Entropy (MAXENT) model was
developed to identify high and moderate likelihood of trespass
marijuana grow sites being located within fisher habitat (Gabriel and
Wengert 2019, unpublished data, pp. 7-10). This model indicates that 44
percent of habitat modeled (combined NCSO and SSN subpopulations) for
fishers is within areas of high and moderate likelihood for marijuana
cultivation. Separating these model results into the two fisher
subpopulation areas (NCSO and SSN) indicates a difference in potential
overlap of grow sites with fisher habitat between NCSO and SSN. In the
NCSO subpopulation, there is a potential of 53 percent overlap between
grow sites and fisher habitat; in the SSN subpopulation, there is a
potential for 22 percent overlap of grow sites in fisher habitat. These
modeled differences demonstrate the variability of this threat to
fishers within the extant subpopulations. The extent to which the use
of toxicants occurs on private land marijuana cultivation sites, as
well as other agricultural, commercial, and public land sites within
the range of the fisher (and habitats that fishers select for) is
unknown.
At this time, our evaluation of the best available scientific and
commercial information regarding toxicants and their effects on fishers
leads us to conclude that individual fishers within the NCSO and SSN
subpopulations have died from toxicant exposure. New data indicate a
total of 19 mortalities specifically within the monitored fisher
subpopulations (in both NCSO and SSN in California) have been directly
caused by toxicant exposure (Gabriel and Wengert 2019, unpublished
data, p. 5). In addition, of the two fishers found in Oregon that were
tested for rodenticide exposure, both tested positive (Clayton 2016,
pers. comm.). Toxicologists assume that fishers exposed to one or
[[Page 60294]]
more rodenticides and determined to have died from some other cause
besides toxicosis were also experiencing sublethal levels of effects
from these chemicals (from Rattner and Mastrota 2018, pp. 68-71;
Elliott et al. 2016 in: L[oacute]pez-Perea and Mateo 2018, p. 159). The
degree of impact from sublethal toxicant exposure is unknown (see
additional discussion on sublethal exposure in the 2016 Species Report,
pp. 150-156); complex behavioral responses like prey capture efficiency
and predator avoidance are not well studied (Rattner and Mastrota 2018,
pp. 68-71).
Our analysis of this threat includes additional effort to
reevaluate a variety of toxicant information in our files, including
comments previously provided by peer reviewers on the 2014 Species
Report, as well as new information such as:
(1) Concentrations of active ingredients in bait and a description
of how exposure to rodenticides is confirmed (Erickson and Urban 2004,
entire; Vandenbrouke et al. 2008, entire; Rattner et al. 2014,
entire)--The livers of various species where mortality has occurred
show a wide range of thresholds of rodenticide concentrations and that
a toxicity threshold would need to account for adverse sublethal
effects (Erckson and Urban 2004, p. 95). Thus, due to differences in
individual fishers and rodenticide exposure, it remains unknown at what
level of toxicant exposure fishers may be experiencing adverse impacts.
(2) Rodent diversity at marijuana cultivation sites--In grow sites
sampled, rodent diversity at marijuana cultivation sites that were
treated with rodenticides and sampled after remediation contained only
mice, as compared to nearby untreated sites where rodenticides were not
used and that contained large-bodied rodents (e.g., woodrats,
squirrels, chipmunks). These larger bodied rodents are the prey species
that the fisher prefers (Gabriel et al. 2017, p. 10). This information
provides support for the possibility that fishers could experience
indirect effects from rodenticide use such as preferred prey species
shifting outside of their home range, or prey depletion within their
home ranges. Changes in prey abundance within fisher home ranges could
lead to impaired reproduction or starvation of the resident fishers.
(3) Estimating the extent of fisher exposure to rodenticides and
determining the source(s)--The delay in toxicity caused by rodenticides
and their persistence within food webs can result in contaminated
rodents being found within and adjacent to treated areas weeks or
months after bait application (Geduhn et al. 2014, pp. 8-9; Tosh et al.
2012, pp. 5-6; Sage et al. 2008, p. 215). Predators that are (a)
nocturnal, (b) opportunistic in feeding habitats where rodents are an
important part of their diet, and (c) nonmigratory and live close to or
within landscapes that are heavily impacted by human activities (e.g.,
the grow sites) have a higher incidence of exposure to rodenticides and
have relatively high liver residue concentrations of multiple
rodenticide compounds (Hindmarch and Elliott 2018, p. 251). Because
fishers are territorial (nonmigratory) mammals, and females
specifically make few if any movements once they have established a
territory (Arthur et al. 1993, p. 872), they are vulnerable to
rodenticide exposure from grow sites within their home ranges.
Additionally, fisher diets consist primarily of small mammals
(Golightly et al. 2006, entire), which are the target species for
rodenticides used in grow sites (Gabriel et al. 2015, entire; Thompson
et al. 2014, pp. 97-98). Therefore, even though it may be difficult to
assess persistence of rodenticides in food webs it is likely that
fisher life-history traits make them vulnerable to long-term exposure
to rodenticides.
(4) Unreclaimed sites across the landscape. During the ``Operation
Forest Watch, Department of Justice'' campaign in California between
October 2017 and September 2018, more than 20,000 pounds of fertilizer,
pesticides, and chemicals were removed from 160 trespass cannabis grow
sites (Department of Justice (DOJ) 2018, p. 2). Currently, 766 sites
are still in need of reclamation (DOJ 2018, p. 2). Of the 160 grow
sites mentioned above, 89 percent were confirmed or strongly suspected
to have carbofuran or methamidophos (i.e., toxic pesticides or
insecticides that cause central nervous system dysfunction) present, up
from the previous year total of 75 percent (DOJ 2018, p. 2). Estimates
of the number of sites that necessitate reclamation of toxicants vary.
In addition, law enforcement specialists estimate they locate and raid
roughly 20 to 40 percent of sites each year and only about 10 percent
of those are remediated (Thompson et al. 2017, p. 45). If these
estimates are accurate, it is reasonable to conclude that hundreds to
thousands of sites--known and unknown, and with an undetermined amount
of toxicants present--remain scattered within both the NCSO and SSN
subpopulations where trespass grows have been detected (Gabriel et al.
2015, entire; Thompson et al. 2017, p. 45).
(5) Cannabis cultivation contributing to forest fragmentation--
Expansion of cannabis cultivation as a landscape use on private land is
changing forest conditions within areas currently occupied by fishers.
In Humboldt County, California (a portion of the NCSO subpopulation
area), a recent analysis examined changes to forest patch metrics
between 2000 and 2013 (Wang et al. 2017, entire). While many of the
watershed-scale changes were due to timber harvest, the smaller scale
changes (e.g., approximately 0.4 mi\2\ (1 km\2\) of both timber harvest
and cannabis cultivation) had many similar effects on forest
fragmentation (Wang et al. 2017, pp. 4-5).
(6) Habitat effects resulting from legal cannabis cultivation--
Since the 2014 Proposed Rule, the legal status of cannabis cultivation
changed in Oregon (2015) and California (2016). We have no data to
indicate that legalization of cannabis cultivation will change black
market sales or how municipalities enacting local restrictions for
cannabis cultivation on private lands will alter the number of illegal
grows on public land. Data in Oregon pertaining to permitted cannabis
cultivation show that, within counties currently occupied by fisher,
405 legal operations have been approved (Oregon Liquor Control
Commission 2019, pp. 12-13, 18-34). Given the rural nature of these
Oregon counties (Jackson, Josephine, Curry), many of these operations
likely occur within areas occupied by fishers. At this time, we have
limited data about the prevalence of rodenticide use on legal private
grow sites and whether fishers are at risk from rodenticide use on
private land. However, we have documentation of one radio-collared
fisher within a wildland urban interface area in Jackson County,
Oregon, that tested positive for two rodenticides and whose home range
included two grow sites and rural residences (Clayton 2019, pers.
comm.).
Marijuana cultivation sites are present on public and private land
within or near fisher subpopulations in California and Oregon. The
broad use of toxicants at illegal marijuana cultivation sites in these
States has been documented to occur within or adjacent to habitat
supporting fishers within the DPS (Gabriel and Wengert 2019,
unpublished data, pp. 7-9). There are other possible sources of
rodenticides from legal applications in agriculture and around
buildings in rural areas. The legalization of marijuana in California
and Oregon adds an element of uncertainty to evaluating the potential
future effects of toxicant exposure to fishers. It is unknown whether
or how the
[[Page 60295]]
legalization of marijuana will change grow-site location and
potentially affect exposure and mortality rates of fishers due to
rodenticides. The incidence of fisher exposure to toxicants from all
uses across its range is unknown, and the best available mortality data
are limited (19 individuals in California), given there are no wide-
ranging studies across the DPS specifically focused on fisher toxicant
exposure.
We view toxicants as a potentially significant threat to fishers
because of reported mortalities of fishers from toxicants, the variety
of potential sublethal effects due to exposure to rodenticides, and the
degree to which illegal cannabis cultivation overlaps with the range
and habitat of the fisher. The exposure rate of more than 80 percent of
fisher carcasses tested in the NCSO and SSN subpopulations has not
declined between 2007 and 2018 (Gabriel and Wengert 2019, unpublished
data, pp. 3-4), while toxicosis has increased since 2007 (Gabriel et
al. 2015, p. 7). We do not know the exposure rate of live fishers to
toxicants as the data has not been collected. In addition, the minimum
amount of anticoagulant and neurotoxicant rodenticides required for
sublethal or lethal poisoning of fishers is currently unknown; however,
we have evidence of fisher mortality and sublethal effects as a result
of rodenticides. Overall, rodenticides are likely a threat to fisher
within the DPS now and in the foreseeable future, although we do not
have information about the magnitude or mechanisms of population-level
effects at this point in time.
Effects Associated With Small Population Size
In general, species that occupy a narrow geographic range with
specific habitat requirements and that always occur in small
populations have a high conservation priority (Primack 2014, p. 158).
Small populations are vulnerable to a rapid decline in their numbers
and localized extinction due to the following: (1) Loss of genetic
variability (e.g., inbreeding depression, loss of evolutionary
flexibility), (2) fluctuations in demographic parameters (e.g., birth
and death rates, population growth rates, population density), and (3)
environmental stochasticity or random fluctuations in the biological
(e.g., predation, competition, disease) and physical environment (e.g.,
wildfire, drought events, flooding) (Primack 2014, pp. 252-268). Some
information is available that demonstrates fisher's vulnerability to
small population effects, particularly in the SSN population area,
including fisher's decreased genetic variability from north to south,
limited gene flow, and existing barriers to dispersal (Wisely et al.
2004, pp. 642-643; see also additional discussion in Service 2016, pp.
134-137). While we do not have data across the entire range
demonstrating that the West Coast DPS is exhibiting these specific
effects associated with small population size, consideration of these
three elements along with life-history traits can provide an extinction
vulnerability profile for the West Coast DPS of fisher. In sum, this
DPS exhibits the following attributes that may limit its distribution
and population growth:
(1) Loss of large contiguous areas of historical habitat in
combination with restriction of the species to forested habitats that
have been lost or modified due to timber harvest practices, human
development, and large, high-severity wildfires whose frequency and
intensity are in turn influenced by the effects of climate change.
(2) Dependence on specific elements of forest structure that may be
limited on the landscape, including microsites for denning and resting.
(3) Susceptibility to injury or mortality due to predation from co-
occurring larger predators.
Each of these vulnerabilities may separately, or together,
exacerbate any of the threats described in this analysis for the West
Coast DPS of fisher.
A scarcity of verifiable sightings in the Oregon Cascades, coastal
Oregon, and the north and central sections of the Sierra Nevada in
California indicate that subpopulations of fishers in the DPS are
isolated from fishers elsewhere in North America. Native fishers in the
West Coast States are currently restricted to two historically extant
native subpopulations (NCSO and SSN) and one extant reintroduced native
subpopulation (NSN). The NCSO subpopulation has not expanded and may
have even contracted, nor have fishers recovered portions of their
range in Oregon beyond our previous estimates (Barry 2018, p. 22). We
continue to recognize that the two geographic areas of fisher
subpopulations in the DPS (i.e., SSN and NCSO, the latter of which
includes the SOC and NSN for this analysis) are geographically isolated
from one another with little opportunity for genetic interchange.
Additionally, we continue to recognize that the SSN subpopulation is
relatively small. With regard to small populations, we note that forest
carnivore populations are often isolated and generally occur in low
densities. Because we lack specific information about genetic processes
in small, isolated forest carnivore populations, it is unknown whether
generalities about persistence based on untested theoretical models may
apply to fisher (Ruggiero et al. 1994, p. 146), at least with regard to
the SSN subpopulation. In the specific case of fishers in this DPS, our
evaluation of the best scientific and commercial information available
indicates that the separation of the SSN and NCSO subpopulations
occurred a very long time ago, possibly on the order of more than a
thousand years, pre-European settlement (Tucker et al. 2012, pp. 1, 7).
Despite their isolation and the small size of the SSN subpopulation,
the native NCSO and SSN subpopulations have persisted over a long
period of time.
At this point in time, the fisher subpopulations are already
considered relatively small, especially when taking into account the
original/historical range of the species within the West Coast states,
and the population growth rates do not indicate that the subpopulations
are increasing. The best available information suggests these
populations are expected to remain small (as has been apparent since
pre-European settlement). The SSN subpopulation is likely to remain
smaller than the NCSO subpopulation into the future, primarily given
the other stressors that have the potential to exacerbate the impacts
of small population size. Estimates of fisher population growth rates
for the NCSO subpopulation and the portion of the SSN subpopulation
surveyed do not indicate any overall positive or negative trend. The
NCSO subpopulation, which encompasses both the SOC and NSN
reintroduction sites, covers a relatively large geographic area of
approximately 15,444 mi\2\ (40,000 km\2\). The most recent
subpopulation size estimate is 3,196 individuals (range 2,507-4,184);
however, this estimate excludes SOC and NSN individuals (Furnas et al.
2017, pp. 2-3). Although the areas monitored for population trend are
limited, for the Hoopa study area, the population trend from 2005
through 2012 indicates a population growth rate of 0.992 (C.I. 0.883-
1.100) with a higher growth rate for females 1.038 (0.881-1.196) than
males 0.912 (0.777-1.047) (Higley et al. 2014, p. 102, Higley 2015,
pers. comm.). Additionally, the most recent information for the Eastern
Klamath Study Area suggests a growth rate of 1.06 (C.I. 0.97-1.15,
years 2006-2013) (Powell et al. 2014, p. 23); however, this growth rate
may no longer be valid as suggested by 2 years of data (2014-2016) that
follow two large fires in the study area, which indicate an
[[Page 60296]]
estimated 40 percent reduction in the number of fishers post-fire
(Green et al. 2019, p. 8).
For the SSN subpopulation, which is smaller and estimated to range
anywhere in size from 100 to 500 individuals (Service 2016, pp. 48-50),
the population growth rate is estimated as 0.97 (C.I. 0.79-1.16, years
2007-2014) (Sweitzer et al. 2015a, p. 784). At this point in time, we
do not have sufficient information to predict whether population trends
of the two DPS subpopulation areas will be positive or negative into
the foreseeable future.
Overall, a species (or DPS) with relatively few populations may be
a concern when there are significant threats to the species such that
one or more populations may be permanently lost in the future. One of
the two remaining native fisher subpopulations, SSN, is considered
relatively small, and both the SSN and NCSO subpopulations have not
appeared to grow or expand, despite the availability of suitable
habitat. At this time, the best available information for monitored
subpopulations within the DPS (e.g., Green 2017, Higley et al. 2014,
Powell et al. 2014, entire, Sweitzer et al. 2015a, entire) does not
indicate whether the NCSO or SSN subpopulations, as a whole, are stable
or exhibiting significant declines.
Existing Regulatory Mechanisms and Voluntary Conservation Measures
We stated in the 2014 Proposed Rule, and we reaffirm here that
there are many Federal and State existing regulatory mechanisms that
provide a benefit to fishers and their habitat. For example, trapping
restrictions have substantially reduced fisher mortality throughout the
range of the West Coast DPS of fisher. In some places, forest
management practices are explicitly applied to benefit fishers or other
species with many similar habitat requirements, such as the northern
spotted owl. In addition, some HCPs are in place and to provide a
benefit to fishers and their habitat.
State and Federal regulatory mechanisms have abated the large-scale
loss of fishers to trapping and loss of fisher habitat, especially on
Federal land (Service 2014, pp. 117-141). Additionally, rodenticides
are regulated under Federal and State laws. However, fishers may still
be exposed to such rodenticides in certain areas where they can still
be used legally. Fishers are also exposed to some degree to
rodenticides used illegally (as discussed below).
Forest Service and BLM
A number of Federal agency regulatory mechanisms pertain to
management of fisher (and other species and habitat). Most Federal
activities must comply with the National Environmental Policy Act of
1969, as amended (NEPA) (42 U.S.C. 4321 et seq.). NEPA requires Federal
agencies to formally document, consider, and publicly disclose the
environmental impacts of major Federal actions and management decisions
significantly affecting the human environment. NEPA does not regulate
or protect fishers, but requires full evaluation and disclosure of the
effects of Federal actions on the environment. Other Federal
regulations affecting fishers are the Multiple-Use Sustained Yield Act
of 1960, as amended (16 U.S.C. 528 et seq.) and the National Forest
Management Act of 1976, as amended (NFMA) (90 Stat. 2949 et seq.; 16
U.S.C. 1601 et seq.).
NFMA specifies that the Forest Service must have a land and
resource management plan to guide and set standards for all natural
resource management activities on each National Forest or National
Grassland. Additionally, the fisher has been identified as a sensitive
species by the Forest Service throughout its range. BLM management is
directed by the Federal Land Policy and Management Act of 1976, as
amended (43 U.S.C. 1704 et seq.). This legislation provides direction
for resource planning and establishes that BLM lands shall be managed
under the principles of multiple use and sustained yield. This law
directs development and implementation of resource management plans,
which guide management of BLM lands at the local level. Fishers are
also designated as a sensitive species throughout its range on BLM
lands.
In addition, the NWFP was adopted by the Forest Service and BLM in
1994 to guide the management of more than 24 million ac (9.7 million
ha) of Federal lands within the range of the northern spotted owl,
which overlaps with portions of the West Coast DPS of fisher's range in
Oregon and northwestern California (U.S. Department of Agriculture
(USDA) and U.S. Department of the Interior (USDI) 1994, entire). The
NWFP Record of Decision amended the management plans of National
Forests and BLM Districts and provided the basis for conservation of
the northern spotted owl and other late-successional and old-growth
forest associated species on Federal lands. However, in 2016 the BLM
revised their Resource Management Plan (RMP), replacing NWFP direction
for BLM-administered lands in western Oregon, totaling approximately
2.5 million ac (1 million ha) (USDI BLM 2016a, 2016b, entire).
Compared with management under the NWFP, BLM's revised RMP results
in a decrease in land allocated for timber harvest, from 28 percent of
their planning area in the Matrix allocation under NWFP, to 20 percent
under their revised RMP. However, volume of timber harvest is expected
to increase to 278 million board feet per year through the first
decade, up from the highest NWFP annual amount of about 250 million
board feet, and the average NWFP annual amount of 167 (USDI BLM 2015,
pp. 350-352). Forest stand conditions assumed to represent fisher
habitat are expected to decline in the first two decades under the
revised RMP, similar to projections under the NWFP. However, by decade
three, habitat is projected to increase under the revised plan compared
to the NWFP because more fisher habitat is in reserve allocations under
the revised plan (75 percent of fisher habitat on BLM land) than under
the NWFP (49 percent) (USDI BLM 2015, pp. 1,704-1,709).
Federal lands are important for fishers because they have retained
a network of late-successional and old-growth forests (LSRs) that
currently provide fisher habitat, and the amounts of habitat are
expected to increase over time. Also, the National Forest and BLM units
with anadromous fish watersheds provide buffers for riparian reserves
on either side of a stream, depending on the stream type and size. With
limited exceptions, timber harvesting is generally not permitted in
riparian habitat conservation areas, and the additional protection
guidelines provided by National Forests and BLM for these areas may
provide refugia and connectivity among more substantive blocks of
fisher habitat. Also, the Forest Service under the NWFP, while
anticipating losses of late-successional and old-growth forests in the
initial decades of plan implementation, projected that recruitment
would exceed those losses within 50 to 100 years (Davis et al. 2015, p.
7). Furthermore, BLM, under its revised management plans, is also
projecting an increase in forest stand conditions that are assumed to
represent fisher habitat above current conditions beginning in the
third decade of plan implementation (USDI BLM 2015, p. 875).
National Park Service
Statutory direction for the National Park Service lands within the
range of the DPS is provided by provisions of the
[[Page 60297]]
National Park Service Organic Act of 1916, as amended (54 U.S.C.
100101). Land management plans for the National Parks within Oregon and
California do not contain specific measures to protect fishers, but
areas not developed specifically for recreation and camping are managed
toward natural processes and species composition and are expected to
maintain fisher habitat. In addition, hunting and trapping are
generally prohibited in National Parks (e.g., 16 U.S.C. 60, 98, 127,
204c, and 256b).
Tribal Lands
Several tribes within the range of the DPS recognize fishers as a
culturally significant species, but only a few tribes have fisher-
specific guidelines in their forest management plans. Some tribes,
while not managing their lands for fishers explicitly, manage for
forest conditions conducive to fisher (for example, marbled murrelet
(Brachyramphus marmoratus) habitat, old-forest structure restoration).
Trapping is typically allowed on most reservations and tribal lands,
and is frequently restricted to tribal members. Whereas a few tribal
governments trap under existing State trapping laws, most have enacted
trapping laws under their respective tribal codes. However, trapping
(in general) is not known to be a common occurrence on any of the
tribal lands.
Rodenticide Regulatory Mechanisms
The threats posed to fishers from the use of rodenticides are
described under ``Exposure to Toxicants,'' above. In the 2016 final
Species Report (Service 2016, pp. 187-189), we analyzed whether
existing regulatory mechanisms are able to address the potential
threats to fishers posed from both legal and illegal use of
rodenticides. As described in the 2016 final Species Report, the use of
rodenticides is regulated by several Federal and State mechanisms
(e.g., Federal Insecticide, Fungicide, and Rodenticide Act of 1947, as
amended, (FIFRA) 7 U.S.C. 136, et seq.; California Final Regulation
Designating Brodifacoum, Bromadiolone, Difenacoum, and Difethialone
(Second Generation Anticoagulant Rodenticide Products) as Restricted
Materials, California Department of Pesticide Regulation, 2014). The
primary regulatory issue for fishers with respect to rodenticides is
the availability of large quantities of rodenticides that can be
purchased under the guise of legal uses, but are then used illegally in
marijuana grows within fisher habitat. Both the Environmental
Protection Agency (EPA), through its 2008 Risk Mitigation Decision for
Ten Rodenticides (EPA 2008, entire), which issued new legal
requirements for the labeling, packaging, and sale of second-generation
anticoagulants, and California's Department of Pesticide Regulation,
through a rule effective in July 2014, which restricts access to
second-generation anticoagulants, are attempting to reduce the risk
posed by second-generation anticoagulants.
State Regulatory Mechanisms
Oregon
The fisher is a protected wildlife species, which prohibits killing
or possessing fishers in the State of Oregon (Oregon Administrative
Rule (OAR) 635-044-0430). In addition, ODFW does not allow trapping of
fishers in Oregon. Although fishers can be injured and/or killed by
traps set for other species, known fisher captures are infrequent.
State parks in Oregon are managed by the Oregon Parks and Recreation
Department, and many State parks in Oregon provide forested habitats
suitable for fisher. The Oregon Forest Practice Administrative Rules
(OAR chapter 629, division 600) and Forest Practices Act (Oregon
Revised Statutes (ORS) 527.610 to 527.770, 527.990(1) and 527.992) (ODF
2018, entire) apply to all non-Federal and non-tribal lands in Oregon,
regulating activities that are part of the commercial growing and
harvesting of trees, including timber harvesting, road construction and
maintenance, slash treatment, reforestation, and pesticide and
fertilizer use. The OAR provides additional guidelines intended for
conserving soils, water, fish and wildlife habitat, and specific
wildlife species while engaging in tree growing and harvesting
activities, and these rules may result in retention of some structural
features (i.e., snags, green trees, downed wood) that contribute to
fisher habitat. Management of State forest lands is guided by forest
management plans. Managing for the structural habitats as described in
existing plans should increase habitat for fishers on State forests.
California
At the time of the 2014 Proposed Rule, fishers were a Candidate
Species in California; thus, take (under the CESA definition) was
prohibited during the candidacy period. On June 10, 2015, CDFW
submitted its status review of the fisher to the California Fish and
Game Commission, indicating that listing of the fisher in the Southern
Sierra Nevada ESU as threatened was warranted, but that fishers in the
Northern California ESU were not threatened (CDFW 2015, entire). On
August 6, 2015, the California Fish and Game Commission voted to list
the southern Sierra Nevada Evolutionarily Significant Unit (ESU) of the
fisher as a threatened species under the California Endangered Species
Act (CESA). Consequently, take (i.e., removing, harming, or killing a
protected species), is prohibited by California only in the southern
Sierra Nevada portion of the proposed DPS's range. It is also illegal
to intentionally trap fishers in California (Cal. Code Regs. title 14,
Sec. 460 (2017).
The California Environmental Quality Act (CEQA) can provide
protections for a species that meets one of several criteria for rarity
(CEQA 15380). Fishers throughout the proposed DPS's range in California
meet these criteria, and under CEQA, a lead agency can require that
adverse impacts be avoided, minimized, or mitigated for projects
subject to CEQA review that may impact fisher habitat. All non-Federal
forests in California are governed by the State's Forest Practice Rules
(FPR) under the Z'Berg Nejedly Forest Practice Act of 1973, a set of
regulations and policies designed to maintain the economic viability of
the State's forest products industry while preventing environmental
degradation. FPRs do not contain rules specific to fishers, but they
may provide some protection of fisher habitat as a result of timber
harvest restrictions.
Voluntary Conservation Mechanisms
Northern California-Southern Oregon (NCSO)
An intergovernmental MOU for fisher conservation was signed by
Federal and State agencies in Oregon (DOI et al. 2016, entire) to
facilitate fisher conservation activities. The western Oregon template
fisher CCAA (81 FR 15737, March 24, 2016) has been published, and we
are negotiating site plans and processing permit applications.
Conservation actions in the CCAA include protection of occupied den
sites as well as landowner participation and collaboration with fisher
surveys and research as part of a defined program of work.
In 2009, a programmatic Safe Harbor Agreement (SHA) was completed
for northern spotted owls in Oregon (74 FR 74 35883, July 21, 2009).
The agreement authorizes the ODF to extend incidental take coverage
with assurances through issuance of Certificates of Inclusion to
eligible, non-Federal landowners who are willing to carry out habitat
management measures benefitting the northern spotted owl. The purpose
of
[[Page 60298]]
the agreement is to encourage non-Federal landowners to create,
maintain, and enhance spotted owl habitat through forest management,
which would also benefit fishers given the two species' use of similar
habitat components.
In 2016, an approximately 1.6 million-ac (647 thousand-ha) CCAA for
fishers on lands in Sierra Pacific Industries (SPI) ownership in the
Klamath, Cascade, and Sierra Nevada mountains was completed (SPI and
Service 2016, entire). This CCAA encompasses approximately 5 percent of
potentially suitable fisher habitat in California, 2.7 percent of which
is within the currently occupied range. Implementation and monitoring
has been under way since that time. The objectives of this CCAA are to
secure general forested habitat conditions for fishers for a 10-year
time period and the retention of important fisher habitat components
(large trees, hardwoods, and snags) suitable for denning and resting
into the future.
In 2019, we finalized an incidental take permit for the Green
Diamond Forest HCP (GDRC 2018, entire), which is anticipated to provide
a conservation benefit for fishers and their habitat (portions of
forests on the west slope of the coastal and Klamath Mountains) in Del
Norte and Humboldt Counties, California. Conservation benefits
anticipated include (but are not limited to): Identifying and retaining
fisher denning and resting trees, including maintaining a 0.25-mi (402-
m) radius no-harvest buffer around active fisher dens; fisher-proofing
water tanks and pipes; implementing measures that detect, discourage,
and remove unauthorized marijuana cultivation and associated pesticide
use; and cooperating with any Federal or State-approved fisher capture
and relocation/reintroduction recovery programs (Service 2019a, p. 2).
Southern Sierra Nevada (SSN)
The Sierra Nevada Fisher Working Group completed a conservation
strategy in 2016 (Spencer et al. 2016, entire), but the authors of the
report later released a changed circumstances letter due to new tree
mortality information (Spencer et al. 2017, entire). The changed
circumstances letter provides details on the conservation measures that
may no longer be applicable and an interim process for designing and
evaluating vegetation management projects. Current benefits that still
exist for fisher from the conservation strategy and the changed
circumstances letter include long-term desired conditions representing
a range of characteristics to strive for in various areas to inform
fine-scale assessment of key fisher habitat elements, including their
connectivity within potential home ranges and across the landscape
(Spencer et al. 2017, pp. 2-6). A revised/final conservation strategy
that addresses the new tree mortality information does not yet exist.
Resiliency, Representation, and Redundancy of the West Coast DPS of
Fishers
In this section, we synthesize the information above to evaluate
resiliency, redundancy, and representation as they relate to fishers in
the proposed West Coast DPS both currently and into the future.
Resiliency reflects a species' ability to withstand
stochastic events (events arising from random factors). Resiliency
refers to the capacity of an ecosystem, population(s) (or DPS), or
organism to recover quickly from disturbances such as random
fluctuations in reproductive rates and fecundity (demographic
stochasticity), variations in temperature or rainfall (environmental
stochasticity), and the effects of anthropogenic activities. Resilient
populations demonstrate an ability to tolerate or adapt to changes or
effects caused by a disturbance or a combination of disturbances.
Redundancy reflects a species' ability to withstand
catastrophic events (such as a rare destructive natural event or
episode involving one or many populations). Redundancy is about
spreading the risk of such an event across multiple or large resilient
population(s). As such, redundancy can be measured by the number or
distribution of resilient population(s) across the range of the
species. In this context, a species with adequate or high-level
redundancy compensates for fluctuations in or loss of populations
across the species' range such that the loss of a single population (or
a portion of a single large population) has little or no lasting effect
on the structure and functioning of the species as a whole.
Representation characterizes the ability of a species to
adapt to changing environmental conditions. This adaptive potential can
be measured by genetic and ecological variability. Representation is
directly correlated to a species' ability to adapt to changes (natural
or human-caused) in its environment.
The degree of resiliency of a species (or a DPS) is influenced by
both the representation and redundancy of the species. Resiliency
increases with increasing genetic diversity or a higher number of
individuals; it decreases when the species has less genetic diversity
or fewer individuals. Resiliency can also decrease depending on the
magnitude, extent, and immediacy of impacts affecting one or more
populations. In the case of the proposed West Coast DPS of fisher,
resiliency may be lower than historical levels to some degree because
the total population size is considered by some as small, particularly
in the SSN subpopulation; although, forest carnivores generally occur
at low densities (Ruggiero et al. 1994, p. 146).
The West Coast DPS of fisher faces a variety of threats including
loss and fragmentation of habitat (i.e., from high-severity wildfire
and wildfire suppression actions, climate change, forest insects and
tree diseases, vegetation management, and development) and potential
direct impacts to individuals (e.g., increased mortality, decreased
reproductive rates, increased stress/hormone levels, alterations in
behavioral patterns) from wildfire, increased temperatures, increased
tree mortality, disease and predation, exposure to toxicants, and
potential effects associated with small population size. These threats
(some more than others) cumulatively play a large role in both the
current and future resiliency of the species. Of greatest importance at
this time are:
(1) The long-term suitability of habitat conditions throughout the
DPS's range given the continued presence/extent of high-severity and
wide-ranging wildfires, and prolonged drought conditions that
exacerbate forest insects and tree diseases. These conditions: (a)
Reduce the availability of the natural resources (e.g., appropriate
canopy cover, old growth forest structure with large trees and snags)
that the species relies on to complete its essential life-history
functions, (b) contribute to increased stress hormones (cortisol) and
reduced female fisher survival (as noted in one study in a portion of
the SSN subpopulation), and (c) increase habitat fragmentation within
and between populations.
(2) The sustained presence of toxicants from marijuana grow sites
across a likely significant proportion of the landscape (primarily the
NCSO subpopulation area) that contribute to continued fisher
mortalities. Fisher mortalities continue to occur either by direct
consumption or sublethal exposure to anticoagulant rodenticides, the
latter of which may increase fisher death rates from other impacts such
as predation, disease, or intraspecific conflict.
(3) Continued fragmentation of habitat in conjunction with the
isolation and
[[Page 60299]]
potential inbreeding (due to an overall small population size) of the
SSN subpopulation (see the SSN subpopulation discussion above under
``Current Condition of the West Coast DPS of Fisher'') when taking into
account primarily (1) above (and likely to an insignificant degree (2)
above). The ongoing threats exacerbate this subpopulation's
vulnerability to extinction from stochastic events. Regardless of this
subpopulation's potential for growth into the small amount of available
but unoccupied suitable habitat present, we do anticipate this
subpopulation will be small into the long-term future (see also Service
2016, pp. 133-137). Comments on the 2014 Proposed Rule received to date
generally agree that the SSN subpopulation is small. Comments received
to date on the NCSO subpopulation vary widely between consideration of
this subpopulation as large or small.
Overall, the West Coast DPS of fisher has remained somewhat
resilient across its current range given the degree of habitat loss and
fragmentation from prolonged drought conditions and wildfire impacts,
coupled with mortalities from toxicants (both anticoagulant and
neurotoxicant rodenticides), and given at least some reduced female
survival associated with increased stress hormones and reduced habitat
suitability documented in a portion of the SSN subpopulation (see
``Forest Insects and Tree Diseases,'' above). However, considering the
best available science and information at this time, it is likely that
the resiliency of the DPS is likely to decrease in the near-term future
given the cumulative impacts associated with current climate change
model predictions for continued periodic but prolonged drought
conditions, predictions of continued and increased intensity of
wildfires across southern Oregon and northern California, the high
likelihood of continued presence and spread of forest insect and tree
diseases, and the low likelihood that a significant proportion of
existing toxicants on the landscape would be removed in the near-term
future.
Multiple, interacting populations across a broad geographic area or
a single wide-ranging population (redundancy) provide insurance against
the risk of extinction caused by catastrophic events. As was known at
the time of the 2014 Proposed Rule, population redundancy continues to
exist across the range of the DPS as a result of there being two native
subpopulations: (1) The NCSO subpopulation (which for the purposes of
this analysis and as described in this proposed rule, incorporate the
interbreeding nonnative SOC subpopulation and the adjacent native NSN
subpopulation) in southern Oregon and northern California; and (2) the
SSN subpopulation in the Sierra Nevada range of California. The
existence of these subpopulations, one of which is broadly distributed,
contributes to the probability that fishers in the DPS will persist
into the future and contribute to long-term genetic and demographic
viability across the range. If either the NCSO or SSN native
subpopulations or a significant proportion of the wider-ranging NCSO
subpopulation were to be permanently lost, the fisher's redundancy in
the DPS would be lowered, thereby decreasing the DPS's chance of
survival in the face of potential environmental, demographic, and
genetic stochastic factors and catastrophic events (extreme drought,
wildfire, etc.).
We consider representation (i.e., demographic persistence and
preservation of overall genetic diversity) across the West Coast DPS of
fisher to be moderate at this point in time, considering the
persistence of two native (NCSO and SSN) subpopulations, including the
reintroduced native NSN individuals. Also taken into consideration are
the nonnative fishers reintroduced as the SOC subpopulation (now
documented to be interbreeding with the NCSO native subpopulation);
technically, these genes provide for increased representation. Finally,
native fishers no longer appear to be present in some fragmented,
suitable habitat areas across the DPS's range, including (but not
limited to) north of the NSN reintroduction site, fragmented areas
throughout portions of the NCSO subpopulation area, and throughout most
of the unoccupied, suitable habitat in central and northern Oregon.
Overall, fishers are represented across a smaller range than their
historical presence, and occur in smaller numbers than historically
with some introduction of nonnative genes from the NSN reintroduction.
Determination of the West Coast DPS of Fisher
Section 4 of the Act (16 U.S.C. 1533) and its implementing
regulations (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 a
species that is ``in danger of extinction throughout all or a
significant portion of its range,'' and a ``threatened species'' as a
species that is ``likely to become an endangered species within the
foreseeable future throughout all or a significant portion of its
range.'' The Act 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.
Status Throughout All of Its Range
We evaluated threats to the species and assessed the cumulative
effect of the threats under the section 4(a)(1) factors. Our 2016
Species Report (Service 2016, entire) is the most recent detailed
compilation of fisher ecology and life history, and has a significant
amount of analysis related to the potential impacts of threats within
the DPS's range. In addition, we collected and evaluated new
information available since 2016 to ensure a thorough analysis, as
discussed above. Our analysis as reflected in this finding included our
reassessment of the previous information and comments received on the
2014 Proposed Rule regarding the potential impacts to the West Coast
DPS of fisher, as well as our consideration of new information
regarding the past, present, and future threats to the DPS.
We considered whether the West Coast DPS of fisher is presently in
danger of extinction, and determined that endangered species status is
not appropriate. While threats are currently acting on the species and
many of those threats are expected to continue into the future (see
below), we did not find that the species is currently in danger of
extinction throughout all of its range. With two subpopulations
occurring across a large portion of the DPS's range, the current
condition of the species still provides for enough resiliency,
redundancy, and representation such that it is not currently in danger
of extinction.
At this time, the best available information suggests that future
resiliency for the West Coast DPS of fisher is low. As discussed above
in the ``Risk Factors for the West Coast DPS of Fisher'' section (along
with some detail in the 2014 draft and 2016 final Species Reports
(Service 2014 and 2016, entire)), the species faces a variety of
threats including: Loss and fragmentation of habitat resulting from
high-severity
[[Page 60300]]
wildfire and wildfire suppression, climate change, forest insects and
tree diseases, vegetation management, and development; and potential
direct impacts to individuals (e.g., increased mortality, decreased
reproductive rates, increased stress/hormone levels, alterations in
behavioral patterns) from wildfire, increased temperatures, increased
tree mortality, disease and predation, exposure to toxicants, and
potential effects associated with small population size (primarily the
SSN subpopulation).
Currently, fishers in the West Coast DPS exist in two extant
subpopulations: One small SSN subpopulation, and a larger NCSO
subpopulation. The estimate of the SSN subpopulation is approximately
300 individuals (range = low of 100 to a high of 500 individuals), but
there is no statistically detectable trend in population size or
growth. There are no discernible positive or negative total trends in
the NCSO subpopulation, and studies have suggested both positive and
negative population trends at various times and at localized study
sites. The most recent estimate of the NCSO subpopulation (excluding
NSN and SOC is 3,196 individuals (range = low of 2,507 to a high of
4,184 individuals) (Furnas et al. 2017, p. 12). Overall, the West Coast
DPS of fisher exists in two separate subpopulations (with the SSN
subpopulation appearing significantly smaller than the NCSO
subpopulation; see NCSO and SSN population descriptions, above, under
``Current Condition of the West Coast DPS of Fisher'') that have
persisted but do not appear to be expanding.
We took into consideration all of the threats operating within the
NCSO and SSN subpopulation areas that currently represent the West
Coast DPS of fisher; these subpopulations are reduced in size due to
historical trapping and past loss of late-successional habitat and,
therefore, are more vulnerable to extinction from random events and
increases in mortality. We evaluated the potential for synergistic
effects (interaction of two or more threats that produce an effect
greater than the sum of their individual effects) of multiple threats,
although we are unable to quantify the scope and degree of synergistic
effects and the variation of these effects across the landscape.
However, just as threats are not occurring in equal scope and degree
across the DPS's range, it is reasonable to conclude that the effects
from these threats are occurring more in some areas than others. Some
examples of the synergistic effects of multiple threats on fisher
include:
Destruction, modification, or curtailment of habitat,
which may increase fishers' vulnerability to predation (Factors A and
C);
Impacts associated with climate change, such as increased
risk of wildfire and tree mortality (tree insects and disease), and
environmental impacts of human development, that will likely interact
to cause large-scale ecotype conversion including shifts away from
habitat types used by fisher, which could impact the viability of
populations and reduce the likelihood of reestablishing connectivity
(Factors A and E);
Increases in disease caused by climate change (Factors A
and C); and
Human development (primarily within the Sierra Nevada),
which is likely to cause increases in vehicle collisions, conflicts
with domestic animals, and infections contracted from domestic animals
(Factors A, C, and E).
Depending on the scope and degree of each of the threats and how
they combine cumulatively, these threats can be of particular concern
where populations are small and isolated. The cumulative effect (all
threats combined) is of concern currently and particularly so in the
foreseeable future, mainly in areas not managed for retention and
recruitment of fisher habitat attributes, areas sensitive to climate
change, and areas where direct mortality of fishers reduces their
ability to maintain or expand their populations (Service 2014, pp. 166-
169). Additionally, although there is currently a wide array of
regulatory mechanisms and voluntary conservation measures in place to
provide some benefits to the species and its habitat (see ``Existing
Regulatory Mechanisms and Voluntary Conservation Measures,'' above),
these measures are currently insufficient to protect the species from
becoming an endangered species in the foreseeable future as a result of
the current scope and degree of the threats (in particular threats
related to illegal rodenticide use, increasing high-severity wildfires,
and prolonged droughts that exacerbate the effects from wildfire,
forest insects, and tree disease.
Overall and as stated above, we found that several threats are
likely resulting in population-level impacts (as opposed to impacts to
a few individuals) within the DPS's range, although there is some
uncertainty in regard to the scope and degree of impacts. While there
is uncertainty, the best available information suggests that impacts
occur in both the NCSO and SSN subpopulations, although they appear
particularly problematic in the SSN subpopulation area because of the
narrow band of habitat that comprises this subpopulation and probable
negative impacts associated with its small population size. As noted in
our analysis, preliminary habitat-based population models suggest that
the configuration of habitat affects population numbers in this region,
and that some areas with high-quality habitat may remain unoccupied
even at equilibrium population sizes, probably due to restricted
connectivity between these locations and the main body of the
population (Service 2016, p. 44; Rustigian-Romsos 2013, pers. comm.).
Therefore, the cumulative impacts related to the habitat-based threats
are likely to have a negative effect on the DPS because connectivity
would likely decrease further (Service 2016, p. 69).
For the mortality-related threats, we reaffirm our quantitative
assessment from 2014 regarding potential cumulative impacts in those
portions of the DPS's range where data were available to do so. For
fishers within this DPS, mortality related to research activities,
collisions with vehicles, and anticoagulant rodenticide poisoning
collectively add 3-17 percent annual mortality to naturally occurring
mortality from disease and predation (collectively 6-32 percent
mortality) and other natural sources such as starvation (as was last
analyzed/reported in the final Species Report (Service 2016, p. 160)).
For example, modeling completed for the SSN subpopulation demonstrate
that a 10 to 20 percent increase in mortality rates could prevent
fisher populations from the opportunity to expand in the future
(Spencer et al. 2011, pp. 10-12). Coupled with habitat-related threats,
the best available information suggests that cumulative effects to the
West Coast DPS of fisher are reducing the resiliency of fisher
subpopulations to such a degree that the species is likely to become an
endangered species in the foreseeable future throughout all of its
range (in other words, the future resiliency for the West Coast DPS of
fisher is likely to be low). We also recognize that there likely will
be differences in how the threats, both singly and cumulatively,
present themselves across the landscape within the DPS's range.
Based on our review of the best scientific and commercial data
available, we have determined the West Coast DPS of fisher meets the
definition of a threatened species under the Act. Per our 2014 draft
and 2016 final Species Reports, as well as our most recent analysis
summarized herein, we find the most significant threats to the West
Coast DPS are the cumulative
[[Page 60301]]
impact of all identified threats, especially habitat loss and
fragmentation due to high-severity wildfire (Factor A) and vegetation
management (Factor A) (noting that forest insects and tree diseases are
exacerbated by changing climate conditions and thus also play a role
under Factor A), and exposure to toxicants (Factor E). The existing
regulatory mechanisms (Factor D) are not sufficient to address these
threats to the level that the species does not meet the definition of a
threatened species. We also find that the threat of trapping (Factor B)
that was prevalent in the early 1900s is no longer a threat to the West
Coast DPS of fisher, but the two extant populations are not expanding
geographically even though this threat has been removed.
Thus, after assessing the best available information, we conclude
that the West Coast DPS of fisher is not currently in danger of
extinction, but is likely to become in danger of extinction within the
foreseeable future (estimated as 35-40 years) throughout all of its
range. In reaching this conclusion, we have considered available
conservation measures and existing regulatory mechanisms that may
ameliorate these threats.
Status Throughout a Significant Portion of Its 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. Because we have determined that the West Coast DPS of fisher
is likely to become an endangered species within the foreseeable future
throughout all of its range, we find it unnecessary to proceed to an
evaluation of potentially significant portions of the range. Where the
best available information allows the Services to determine a status
for the species rangewide, that determination should be given
conclusive weight because a rangewide determination of status more
accurately reflects the species' degree of imperilment and better
promotes the purposes of the Act. Under this reading, we should first
consider whether the species warrants listing ``throughout all'' of its
range and proceed to conduct a ``significant portion of its range''
analysis if, and only if, a species does not qualify for listing as
either an endangered or a threatened species according to the
``throughout all'' language. We note that the court in Desert Survivors
v. Department of the Interior, No. 16-cv-01165-JCS, 2018 WL 4053447
(N.D. Cal. Aug. 24, 2018), did not address this issue.
Determination of Status
Our review of the best available scientific and commercial
information indicates that the West Coast DPS of fisher meets the
definition of a threatened species. Therefore, we propose to list the
West Coast DPS of fisher as a threatened species in accordance with
sections 3(20) and 4(a)(1) of the Act.
Available Conservation Measures
Conservation measures provided to species listed as endangered or
threatened species under the Act include recognition, recovery actions,
requirements for Federal protection, and prohibitions against certain
practices. Recognition through listing results in public awareness and
conservation by Federal, State, tribal, and local agencies, private
organizations, and individuals. The Act encourages cooperation with the
States and other countries and calls for recovery actions to be carried
out for listed species. The protection required by Federal agencies and
the prohibitions against certain activities are discussed, in part,
below.
The primary purpose of the Act is the conservation of endangered
and threatened species and the ecosystems upon which they depend. The
ultimate goal of such conservation efforts is the recovery of these
listed species, so that they no longer need the protective measures of
the Act. Subsection 4(f) of the Act calls for the Service to develop
and implement recovery plans for the conservation of endangered and
threatened species. The recovery planning process involves the
identification of actions that are necessary to halt or reverse the
species' decline by addressing the threats to its survival and
recovery. The goal of this process is to restore listed species to a
point where they are secure, self-sustaining, and functioning
components of their ecosystems.
Recovery planning includes the development of a recovery outline
shortly after a species is listed and preparation of a draft and final
recovery plan. The recovery outline guides the immediate implementation
of urgent recovery actions and describes the process to be used to
develop a recovery plan. Revisions of the plan may be done to address
continuing or new threats to the species, as new substantive
information becomes available. The recovery plan also identifies
recovery criteria for review when a species may be ready for
downlisting or delisting, and methods for monitoring recovery progress.
Recovery plans also establish a framework for agencies to coordinate
their recovery efforts and provide estimates of the cost of
implementing recovery tasks. Recovery teams (composed of species
experts, Federal and State agencies, nongovernmental organizations, and
stakeholders) are often established to develop recovery plans. When
completed, the recovery outline, draft recovery plan, and the final
recovery plan will be available on our website (https://www.fws.gov/endangered), or from our Yreka Fish and Wildlife Office (see FOR
FURTHER INFORMATION CONTACT).
Implementation of recovery actions generally requires the
participation of a broad range of partners, including other Federal
agencies, States, Tribes, nongovernmental organizations, businesses,
and private landowners. Examples of recovery actions include habitat
restoration (for example, restoration of native vegetation), research,
captive propagation and reintroduction, and outreach and education. The
recovery of many listed species cannot be accomplished solely on
Federal lands because their range may occur primarily or solely on non-
Federal lands. To achieve recovery of these species requires
cooperative conservation efforts on private, State, and tribal lands.
If the West Coast DPS of fisher is listed, funding for recovery actions
will be available from a variety of sources, including Federal budgets,
State programs, and cost share grants for non-Federal landowners, the
academic community, and nongovernmental organizations. In addition,
pursuant to section 6 of the Act, the States of California and Oregon
would be eligible for Federal funds to implement management actions
that promote the protection or recovery of the West Coast DPS of
fisher. Information on our grant programs that are available to aid
species recovery can be found at: https://www.fws.gov/grants.
Although the West Coast DPS of fisher is only proposed for listing
under the Act at this time, please let us know if you are interested in
participating in recovery efforts for this species. Additionally, we
invite you to submit any new information on this species whenever it
becomes available and any information you may have for recovery
planning purposes (see FOR FURTHER INFORMATION CONTACT).
Section 7(a) of the Act requires Federal agencies to evaluate their
actions with respect to any species that is proposed or listed as an
endangered or threatened species and with respect to its critical
habitat, if any is designated. Regulations implementing
[[Page 60302]]
this interagency cooperation provision of the Act are codified at 50
CFR part 402. Section 7(a)(4) of the Act requires Federal agencies to
confer with the Service on any action that is likely to jeopardize the
continued existence of a species proposed for listing or result in
destruction or adverse modification of proposed critical habitat. If a
species is listed subsequently, section 7(a)(2) of the Act requires
Federal agencies to ensure that activities they authorize, fund, or
carry out are not likely to jeopardize the continued existence of the
species or destroy or adversely modify its critical habitat. If a
Federal action may affect a listed species or its critical habitat, the
responsible Federal agency must enter into consultation with the
Service.
Federal agency actions within the species' habitat that may require
conference or consultation or both as described in the preceding
paragraph include management and any other landscape-altering
activities as well as toxicant use on Federal lands administered by the
U.S. Fish and Wildlife Service, U.S. Forest Service, BLM, and National
Park Service; issuance of section 404 Clean Water Act permits by the
Army Corps of Engineers; and construction and maintenance of roads or
highways by the Federal Highway Administration.
II. Critical Habitat
Section 4(a)(3) of the Act, as amended, and implementing
regulations (50 CFR 424.12), require that, to the maximum extent
prudent and determinable, the Secretary shall designate critical
habitat at the time the species is determined to be an endangered or
threatened species. Our regulations (50 CFR 424.12(a)(1)) state that:
(1) The specific areas within the geographical area occupied by the
species, at the time it is listed in accordance with the provisions of
section 4 of this Act, on which are found those physical or biological
features (a) Essential to the conservation of the species, and (b)
Which may require special management considerations or protection; and
(2) Specific areas outside the geographical area occupied by the
species at the time it is listed in accordance with the provisions of
section 4 of this Act, upon a determination by the Secretary of the
Interior that such areas are essential for the conservation of the
species. Our regulations (50 CFR 424.12(a)(1)) state that the Secretary
may, but is not required to, determine that a designation would not be
prudent in the following circumstances:
(i) The species is threatened by taking or other human activity and
identification of critical habitat can be expected to increase the
degree of threat to the species;
(ii) The present or threatened destruction, modification, or
curtailment of a species' habitat or range is not a threat to the
species, or threats to the species' habitat stem solely from causes
that cannot be addressed through management actions resulting from
consultations under section 7(a)(2) of the Act;
(iii) Areas within the jurisdictions of the United States provide
no more than negligible conservation value, if any, for a species
occurring primarily outside the jurisdiction of the United States;
(iv) No areas meet the definition of critical habitat; or
(v) The Secretary otherwise determines that designation of critical
habitat would not be prudent based on the best scientific data
available.
We did not identify any of the factors above to apply to the West
Coast DPS of fisher. Therefore, we find designation of critical habitat
is prudent for the West Coast DPS of fisher.
Our regulations (50 CFR 424.12(a)(2)) further state that critical
habitat is not determinable when one or both of the following
situations exists: (1) Information sufficient to perform required
analysis of the impacts of the designation is lacking; or (2) the
biological needs of the species are not sufficiently well known to
permit identification of an area as critical habitat. A careful
assessment of the economic impacts that may occur due to a critical
habitat designation is not yet complete, and we are in the process of
working with the States and other partners in acquiring the complex
information needed to perform that assessment. Because the information
sufficient to perform a required analysis of the impacts of the
designation is lacking, we therefore find designation of critical
habitat for the West Coast DPS of fisher to be not determinable at this
time.
III. Proposed Rule Issued Under Section 4(d) of the Act
Provisions of Section 4(d) of the Act
Under section 4(d) of the Act, the Secretary of the Interior has
the discretion to issue such regulations as he deems necessary and
advisable to provide for the conservation of threatened species. The
Secretary also has the discretion to prohibit by regulation with
respect to any threatened species of fish or wildlife any act
prohibited under section 9(a)(1) of the Act. The prohibitions of
section 9(a)(1) of the Act make it illegal for any person subject to
the jurisdiction of the United States to take (which includes harass,
harm, pursue, hunt, shoot, wound, kill, trap, capture, or collect; or
to attempt any of these) endangered species of fish or wildlife within
the United States or on the high seas. In addition, it is unlawful to
import; export; deliver, receive, carry, transport, or ship in
interstate or foreign commerce in the course of commercial activity; or
sell or offer for sale in interstate or foreign commerce any endangered
fish or wildlife species. It is also illegal to possess, sell, deliver,
carry, transport, or ship any such wildlife or fish that has been taken
illegally. To the extent the section 9(a)(1) prohibitions apply only to
endangered species, this proposed rule would apply those same
prohibitions to the West Coast DPS of fisher with some exceptions, in
accordance with section 4(d) of the Act. In other words, we are not
applying the full suite of section 9(a)(1) protections to the West
Coast DPS of fisher, and instead are including some exceptions to the
section 9(a)(1) prohibitions for specific management activities that
result in a long-term benefit to the species.
The courts have recognized the extent of the Secretary's discretion
to develop prohibitions, as well as exclusions from those prohibitions,
that are appropriate for the conservation of a species. For example,
the Secretary may decide not to prohibit take, or to put in place only
limited take prohibitions. See Alsea Valley Alliance v. Lautenbacher,
2007 U.S. Dist. Lexis 60203 (D. Or. 2007); Washington Environmental
Council v. National Marine Fisheries Service, 2002 U.S. Dist. Lexis
5432 (W.D. Wash. 2002). In addition, as affirmed in State of Louisiana
v. Verity, 853 F.2d 322 (5th Cir. 1988), the protective regulations for
a species need not address all the threats to the species. As noted by
Congress when the Act was initially enacted, ``once an animal is on the
threatened list, the Secretary has an almost infinite number of options
available to him with regard to the permitted activities for those
species.'' He may, for example, ``permit taking, but not importation of
such species,'' or he may choose to forbid both taking and importation
but allow the transportation of such species, as long as the measures
will ``serve to conserve, protect, or restore the species concerned in
accordance with the purposes of the
[[Page 60303]]
Act'' (H.R. Rep. No. 412, 93rd Cong., 1st Sess. 1973).
Proposed 4(d) Rule for the West Coast DPS of Fisher
As explained above, we have determined that the West Coast DPS of
fisher meets the definition under the Act of a threatened species, in
that it is likely to become an endangered species within the
foreseeable future throughout its range. As such, we are proposing to
add the West Coast DPS of fisher as a threatened species to the List of
Endangered and Threatened Wildlife (50 CFR 17.11). However, we have
also determined that it is necessary and advisable to issue protective
regulations under section 4(d) of the Act in order to reduce the
likelihood of the West Coast DPS of fisher becoming an endangered
species. Under our proposed section 4(d) rule, except as described and
explained below, all prohibitions and provisions that apply to
endangered wildlife under section 9(a)(1) of the Act would apply to the
West Coast DPS of fisher. Applying these section 9(a)(1) prohibitions
will help minimize threats that could cause further declines in the
status of the species for this DPS. Central to the protections afforded
by this application is the prohibition of take. Take is defined under
the Act as to ``harass, harm, pursue, hunt, shoot, wound, kill, trap,
capture, or collect, or to attempt to engage in any such conduct,''
and, therefore, any actions that would result in unlawful take of the
species would be prohibited as a result of this proposed section 4(d)
rule.
The fisher is a forest-dwelling species, and, as such, the
potential for take may arise anywhere the effects of actions coincide
with the occupied forested habitat in the range of this DPS. Numerous
forest management activities occur within the range of the DPS, many of
which could potentially result in take of fishers, either through death
or injury to fishers resulting from significant habitat modification or
degradation of their habitat. However, we also recognize that many of
these activities are conducted under the scope of forest management
plans or actions that are likely to have an overarching net beneficial
impact for the conservation of fishers in this DPS. Therefore, while
activities conducted under such forest management plans or actions may
result in some short-term or small level of localized negative effect
to fishers, we are providing exceptions to the section 9(a)(1)
prohibitions for these activities, as we believe doing so will provide
a net conservation benefit for the species.
Our first exception is aimed at forestry management activities for
the purposes of reducing the risk or severity of wildfires. The
proposed exception states that these activities could include forest
management practices such as those to remove horizontal and vertical
fuels, to remove fuels within 150 ft (45.7 m) of legally permitted
structures and within 300 ft (91.4 m) of habitable structures, or to
implement Fuel Break/Defensible Space Prescriptions that allow for the
removal of trees or other vegetation to create shaded fuel breaks along
roads or natural features or to create defensible space. All actions
taken during a wildfire to support fire suppression activities would
also be exempt.
With regard to Exception 1, we note that the long-term viability of
the fisher, as with many wildlife species, is intimately tied to the
condition of its habitat. As described in our analysis of the species'
status, one of the primary driving threats to the fisher's continued
viability is the destruction of its habitat from large-scale, stand-
replacing wildfires (see ``Wildfire and Wildfire Suppression,'' above).
Because of climate change and warming temperatures, the increase in the
frequency and severity of these large-scale, stand-replacing wildfires
increases the risk to the species from this threat. Actions taken by
forest managers in the range of the fisher to reduce the risk or
severity of uncharacteristically large and severe wildfires, while
potentially resulting in some short-term or localized negative effects
to fishers, will likely further the goal of reducing the likelihood of
the species from becoming an endangered species, and will ultimately
contribute to its conservation and long-term viability. Therefore, we
will not apply the section 9(a)(1) prohibitions to these actions.
Although we propose this exception to take prohibitions for these
forest management activities, we encourage forest managers to design
them in a way that avoids take of fishers provided the fire reduction
purposes of the activities still can be achieved.
Our second exception is related to forestry management activities
conducted in the range of the West Coast DPS of fisher pursuant to a
fisher conservation plan or strategy approved by the Service or the
California Department of Fish and Wildlife. With regard to this
exception, we note that extensive work has gone into developing
specific forest management measures, as part of overarching fisher
conservation plans or strategies, which can contribute to the
conservation needs of the fisher. Forest management conducted under the
scope of such publicly available fisher conservation plans or
strategies (e.g., Southern Sierra Nevada Fisher Conservation Strategy
(Spencer et al. 2016, entire; and subsequent addendum letter, Spencer
et al. 2017)) that include the objectives outlined below, while having
the potential to result in some small level of localized disturbance or
temporary negative effects to fishers or their habitats, is expected to
improve overall habitat conditions and contribute to the species'
overall long-term viability. Therefore, we will not prohibit incidental
take of fishers that may occur as a result of actions implemented under
such conservation plans or strategies.
Our third exception is aimed at forestry management activities
conducted in the range of the West Coast DPS of fisher and with Federal
or State oversight that are not specifically designed as fisher
conservation plans or strategies, but are nevertheless consistent with
the conservation needs of the West Coast DPS of fisher. Activities
consistent with the conservation needs of fisher could include the
following measures: Retention of known den and rest sites; retention of
multi-layered, structurally diverse forests; retention of larger
diameter trees, including those with damage or decay; increased
vegetation diversity, including desirable species such as hardwoods or
mast- or fruit-bearing trees; retention of shrubs and smaller trees in
areas with sparse overstory cover; and no poisoning of prey species,
such as mountain beavers, porcupines, snowshoe hares, and woodrats.
With regard to Exception 3, we acknowledge that there are forest
management activities conducted under management mechanisms that are
not specifically designed for fisher conservation, in contrast to
Exception 2 above, but that are implemented in ways that serve to
maintain forest habitat conditions beneficial to fishers. The
management mechanisms included under this Exception vary, but all are
conducted with Federal or State oversight. While activities conducted
under such mechanisms have the potential to result in some small level
of localized disturbance or temporary negative effects to fishers or
their habitats, the overall forest habitat will be maintained in
conditions beneficial to fishers, which will contribute to the DPS's
long-term viability. Therefore, incidental take of fishers that may
occur as a result of actions implemented under such forest management
mechanisms will not be prohibited under this section 4(d) rule.
[[Page 60304]]
Our fourth exception is for management activities conducted for the
purpose of identification and clean-up of toxicant-contaminated sites
for which the Service has determined that such activities to remove
toxicants would be consistent with conservation strategies for the West
Coast DPS fishers. Those activities could include use of machinery that
may cause localized, short-term disturbance to West Coast DPS fishers
(e.g., helicopters or off-road vehicles), as well as require limited
removal of some habitat structures valuable to West Coast DPS fishers
(e.g., hazard trees that may be a suitable den site).
With regard to Exception 4, we note that exposure to toxicants,
especially anticoagulant and neurotoxicant rodenticides, is a threat to
the fisher, and that illegal marijuana cultivation sites are the
biggest source of these toxicants in the forested habitats used by the
species. These types of toxicants in the environment can result in both
lethal and sublethal effects to fishers through their ingestion of
contaminated prey items, and also cause indirect effects to fishers as
a result of declines in their prey base. Identification and cleanup of
such contaminated sites is vitally important in removing this threat;
however, site reclamation may involve machinery that can disturb
fishers (e.g., helicopters, off-road vehicles), and hazardous material
removal activities may eliminate some structures used by fisher. As a
result, these cleanup activities have the potential to result in
negative impacts to fisher individuals. However, the removal of these
toxicants that can have long-term detrimental effects on fishers or
their prey will reduce the potential for lethal and sublethal effects
in fishers, and will improve the overall condition of the habitat,
thereby contributing to the long-term viability of the species.
Accordingly, incidental take of fishers that may occur as a result of
toxicant cleanup activities will not be prohibited under this section
4(d) rule.
Therefore, as explained above, we are proposing to issue protective
regulations under section 4(d) of the Act. The prohibitions under
section 9(a)(1) will apply to fishers throughout the range of the West
Coast DPS, with specific exceptions tailored to the conservation needs
of the species. While we are providing these exceptions to the
prohibitions and provisions of section 9(a)(1), we clarify that all
Federal agencies (including the Service) that fund, permit, or carry
out the activities described above will still need to ensure, in
consultation with the Service (including intra-Service consultation
when appropriate), that the activities are not likely to jeopardize the
continued existence of the DPS. Private entities who undertake any
actions other than those described in the exceptions above that may
result in adverse effects to the West Coast DPS of fisher, when there
is no associated Federal nexus to the action, may wish to seek an
incidental take permit from the Service before proceeding with the
activity. The proposed provisions of the 4(d) rule are set forth at the
end of this document in the rule portion.
Nothing in this proposed 4(d) rule would change in any way the
recovery planning provisions of section 4(f) and consultation
requirements under section 7 of the Act, or the ability of the Service
to enter into partnerships for the management and protection of the
West Coast DPS of fisher.
Required Determinations
Clarity of the Rule
We are required by Executive Orders 12866 and 12988 and by the
Presidential Memorandum of June 1, 1998, to write all rules in plain
language. This means that each rule we publish must:
(1) Be logically organized;
(2) Use the active voice to address readers directly;
(3) Use clear language rather than jargon;
(4) Be divided into short sections and sentences; and
(5) Use lists and tables wherever possible.
If you feel that we have not met these requirements, send us
comments by one of the methods listed in ADDRESSES. To better help us
revise the rule, your comments should be as specific as possible. For
example, you should tell us the numbers of the sections or paragraphs
that are unclearly written, which sections or sentences are too long,
the sections where you feel lists or tables would be useful, etc.
National Environmental Policy Act (42 U.S.C. 4321 et seq.)
We have determined that environmental assessments and environmental
impact statements, as defined under the authority of the National
Environmental Policy Act (NEPA; 42 U.S.C. 4321 et seq.), need not be
prepared in connection with listing a species as an endangered or
threatened species under the Endangered Species 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), Executive Order 13175 (Consultation and
Coordination With Indian Tribal Governments), and the Department of the
Interior's manual at 512 DM 2, we readily acknowledge our
responsibility to communicate meaningfully with recognized Federal
Tribes on a government-to-government basis. In accordance with
Secretarial Order 3206 of June 5, 1997 (American Indian Tribal Rights,
Federal-Tribal Trust Responsibilities, and the Endangered Species Act),
we readily acknowledge our responsibilities to work directly with
tribes in developing programs for healthy ecosystems, to acknowledge
that tribal lands are not subject to the same controls as Federal
public lands, to remain sensitive to Indian culture, and to make
information available to tribes. In development of the 2014 Species
Report, we sent letters noting our intent to conduct a status review
and requested information from all tribal entities within the
historical range of the West Coast DPS of fisher, and we provided the
draft Species Report to those tribes for review. We also notified the
tribes via email to ensure they were aware of the January 31, 2019,
document in the Federal Register to reopen the comment period on the
October 7, 2014, proposed rule to list the DPS as a threatened species.
As we move forward in this listing process, we will continue to consult
on a government-to-government basis with tribes as necessary.
References Cited
A complete list of references cited in this rulemaking is available
on the internet at https://www.regulations.gov and upon request from the
Yreka Fish and Wildlife Office (see FOR FURTHER INFORMATION CONTACT).
Authors
The primary authors of this proposed rule are the staff members of
the Pacific Southwest Regional Office.
List of Subjects in 50 CFR Part 17
Endangered and threatened species, Exports, Imports, Reporting and
recordkeeping requirements, Transportation.
Proposed Regulation Promulgation
Accordingly, we propose to amend part 17, subchapter B of chapter
I, title
[[Page 60305]]
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.
0
2. Amend part 17.11(h) by adding an entry for ``Fisher (West Coast
DPS)'' in alphabetical order under Mammals to the List of Endangered
and Threatened Wildlife to read as follows:
Sec. 17.11 Endangered and threatened wildlife.
* * * * *
(h) * * *
EPA--Approved Ohio Regulations
----------------------------------------------------------------------------------------------------------------
Listing citations
Common name Scientific name Where listed Status and applicable
rules
----------------------------------------------------------------------------------------------------------------
Mammals
* * * * * * *
Fisher (West Coast DPS)......... Pekania pennanti... U.S.A. (CA and OR). T [Federal Register
citation when
published as a
final rule]; 50
CFR 17.40(s).4d
* * * * * * *
----------------------------------------------------------------------------------------------------------------
* * * * *
0
3. Amend Sec. 17.40 by adding paragraph (s) to read as set forth
below:
Sec. 17.40 Special rules--mammals.
* * * * *
(s) West Coast DPS of fisher (Pekania pennanti).
(1) Prohibitions. Except as noted in paragraph (a)(2) of this
section, all prohibitions and provisions of section 9(a)(1) of the Act
apply to the West Coast DPS of fisher.
(2) Exceptions from prohibitions. Incidental take of the West Coast
DPS of fisher will not be considered a violation of the Act if the take
results from any of the following activities:
(i) Forestry management activities conducted in the range of the
West Coast DPS of fisher for the purposes of reducing the risk or
severity of wildfires. These activities could include forest management
practices such as those to remove horizontal and vertical fuels, to
remove fuels within 150 ft (45.7 m) of legally permitted structures and
within 300 ft (91.4 m) of habitable structures, or to implement Fuel
Break/Defensible Space Prescriptions that allow for the removal of
trees or other vegetation to create shaded fuel breaks along roads or
natural features or to create defensible space. All actions taken
during a wildfire to support fire suppression activities would also be
exempt.
(ii) Forestry management activities conducted in the range of the
West Coast DPS of fisher pursuant to a fisher conservation plan or
strategy approved by the Service or the California Department of Fish
and Wildlife.
(iii) Forestry management activities conducted in the range of the
West Coast DPS of fisher and with Federal or State oversight that are
not specifically designed as fisher conservation plans or strategies,
but are nevertheless consistent with the conservation needs of the West
Coast DPS of fisher. Activities consistent with the conservation needs
of fisher could include the following measures: Retention of known den
and rest sites; retention of multi-layered, structurally diverse
forests; retention of larger diameter trees, including those with
damage or decay; increased vegetation diversity, including desirable
species such as hardwoods or mast- or fruit-bearing trees; retention of
shrubs and smaller trees in areas with sparse overstory cover; and no
poisoning of prey species, such as mountain beavers, porcupines,
snowshoe hares, and woodrats.
(iv) Management activities conducted for the purpose of
identification and clean-up of toxicant-contaminated sites for which
the Service has determined that such activities to remove toxicants
would be consistent with conservation strategies for the West Coast DPS
fishers. Those activities could include use of machinery that may cause
localized, short-term disturbance to West Coast DPS fishers (e.g.,
helicopters or off-road vehicles), as well as require limited removal
of some habitat structures valuable to West Coast DPS fishers (e.g.,
hazard trees that may be a suitable den site).
(v) Take as set forth at Sec. 17.31(b).
* * * * *
Dated: October 21, 2019.
Margaret E. Everson,
Principal Deputy Director, U.S. Fish and Wildlife Service, Exercising
the Authority of the Director, U.S. Fish and Wildlife Service.
[FR Doc. 2019-23737 Filed 11-6-19; 8:45 am]
BILLING CODE 4333-15-P