Endangered and Threatened Wildlife and Plants; Threatened Species Status for Pearl River Map Turtle With Section 4(d) Rule; and Threatened Species Status for Alabama Map Turtle, Barbour's Map Turtle, Escambia Map Turtle, and Pascagoula Map Turtle Due to Similarity of Appearance With Section 4(d) Rule, 57206-57236 [2024-15176]
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SUPPLEMENTARY INFORMATION:
DEPARTMENT OF THE INTERIOR
Fish and Wildlife Service
50 CFR Part 17
[Docket No. FWS–R4–ES–2021–0097;
FXES1111090FEDR–245–FF09E21000]
RIN 1018–BF42
Endangered and Threatened Wildlife
and Plants; Threatened Species Status
for Pearl River Map Turtle With Section
4(d) Rule; and Threatened Species
Status for Alabama Map Turtle,
Barbour’s Map Turtle, Escambia Map
Turtle, and Pascagoula Map Turtle Due
to Similarity of Appearance With
Section 4(d) Rule
Fish and Wildlife Service,
Interior.
ACTION: Final rule.
AGENCY:
We, the U.S. Fish and
Wildlife Service (Service), list the Pearl
River map turtle (Graptemys pearlensis),
a freshwater turtle species from the
Pearl River drainage in Mississippi and
Louisiana as a threatened species with
4(d) protective regulations under the
Endangered Species Act of 1973 (Act),
as amended. Due to similarity of
appearance, we also list the Alabama
map turtle (Graptemys pulchra),
Barbour’s map turtle (Graptemys
barbouri), Escambia map turtle
(Graptemys ernsti), and Pascagoula map
turtle (Graptemys gibbonsi) as
threatened species with 4(d) protective
regulations under the Act. This rule
adds these species to the List of
Endangered and Threatened Wildlife.
DATES: This rule is effective August 12,
2024.
ADDRESSES: This final rule is available
on the internet at https://
www.regulations.gov under Docket No.
FWS–R4–ES–2021–0097 and at the
Service’s Environmental Conservation
Online System (ECOS) species page at
https://ecos.fws.gov/ecp/species/10895.
Comments and materials we received, as
well as supporting documentation we
used in preparing this rule (such as the
species status assessment report), are
available for public inspection at
https://www.regulations.gov at Docket
No. FWS–R4–ES–2021–0097.
FOR FURTHER INFORMATION CONTACT:
James Austin, Field Supervisor, U.S.
Fish and Wildlife Service, Mississippi
Ecological Services Field Office, 6578
Dogwood View Parkway, Suite A,
Jackson, MS 39213; telephone 601–321–
1129. Individuals in the United States
who are deaf, deafblind, hard of hearing,
or have a speech disability may dial 711
(TTY, TDD, or TeleBraille) to access
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SUMMARY:
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Executive Summary
Why we need to publish a rule. Under
the Act (16 U.S.C. 1531 et seq.), a
species warrants listing if it meets the
definition of an endangered species (in
danger of extinction throughout all or a
significant portion of its range) or a
threatened species (likely to become an
endangered species within the
foreseeable future throughout all or a
significant portion of its range). If we
determine that a species warrants
listing, we must list the species
promptly and designate the species’
critical habitat to the maximum extent
prudent and determinable. We have
determined that the Pearl River map
turtle meets the Act’s definition of a
threatened species; therefore, we are
listing it as such. In addition, due to
similarity of appearance, we have
determined threatened species status for
the Alabama map turtle, Barbour’s map
turtle, Escambia map turtle, and
Pascagoula map turtle. Listing a species
as an endangered or threatened species
can be completed only by issuing a rule
through the Administrative Procedure
Act rulemaking process (5 U.S.C. 551 et
seq.).
What this document does. This rule
lists the Pearl River map turtle as a
threatened species with a rule issued
under section 4(d) of the Act (a ‘‘4(d)
rule’’). It also lists the Alabama map
turtle, Barbour’s map turtle, Escambia
map turtle, and Pascagoula map turtle as
threatened species based on their
similarity of appearance to the Pearl
River map turtle under section 4(e) of
the Act with a 4(d) rule for these
species.
In our November 23, 2021, proposed
rule, we found critical habitat to be not
prudent for the Pearl River map turtle
because of the potential for an increase
in poaching. However, we have
reevaluated the prudency determination
based on public comment and the
already available information in the
public domain that indicates where the
species can be found. Consequently, we
have determined that critical habitat is
prudent but not determinable at this
time for the species. We intend to
publish a proposed rule designating
critical habitat for the Pearl River map
turtle in the near future.
The basis for our action. Under the
Act, we may determine that a species is
an endangered or threatened species
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because of 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
Pearl River map turtle include habitat
degradation or loss (degraded water
quality, channel and hydrologic
modifications/impoundments,
agricultural runoff, mining, and
development—Factor A), collection
(Factor B), and effects of climate change
(increasing temperatures, drought, sealevel rise (SLR), hurricane regime
changes, and increased seasonal
precipitation—Factor E).
Section 4(a)(3) of the Act requires the
Secretary of the Interior (Secretary), to
the maximum extent prudent and
determinable, concurrently with listing
designate critical habitat for the species.
We have not yet been able to obtain the
necessary economic information needed
to develop a proposed critical habitat
designation for the Pearl River map
turtle, although we are in the process of
obtaining this information. At this time,
we find that designation of critical
habitat for the Pearl River map turtle is
not determinable. When critical habitat
is not determinable, the Act allows the
Service an additional year to publish a
critical habitat designation (16 U.S.C.
1533(b)(6)(C)(ii)).
Previous Federal Actions
Please refer to the proposed listing
rule (86 FR 66624; November 23, 2021)
for a detailed description of previous
Federal actions concerning the Pearl
River map turtle, Alabama map turtle,
Barbour’s map turtle, Escambia map
turtle, and Pascagoula map turtle.
Peer Review
A species status assessment (SSA)
team prepared an SSA report for the
Pearl River map turtle (Service 2023,
entire). The SSA team was composed of
Service biologists, in consultation with
other species experts. The SSA report
represents a compilation of the best
scientific and commercial data available
concerning the status of the species,
including the impacts of past, present,
and future factors (both negative and
beneficial) affecting the species.
In accordance with our joint policy on
peer review published in the Federal
Register on July 1, 1994 (59 FR 34270),
and our August 22, 2016, memorandum
updating and clarifying the role of peer
review in listing actions under the Act,
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we solicited independent scientific
review of the information contained in
the Pearl River map turtle SSA report,
version 1.1 (Service 2021, entire). We
sent the SSA report to five independent
peer reviewers and received responses
from all five reviewers; three
substantive comments were provided by
two peer reviewers. We notified Tribal
nations early in the SSA process for the
Pearl River map turtle. We sent the draft
SSA report for review to the Mississippi
Band of Choctaw Indians and received
comments that were addressed in the
SSA report. The peer reviews can be
found at https://www.regulations.gov at
Docket No. FWS–R4–ES–2021–0097 and
at our Mississippi Ecological Services
Field Office (see FOR FURTHER
INFORMATION CONTACT). In preparing the
proposed rule, we incorporated the
results of these reviews, as appropriate,
into the SSA report, which was the
foundation for the proposed rule and
this final rule. A summary of the peer
review comments and our responses can
be found in the Summary of Comments
and Recommendations, below.
Summary of Changes From the
Proposed Rule
After consideration of the comments
we received during the November 23,
2021, proposed rule’s comment period
(refer to Summary of Comments and
Recommendations, below), and new
information published or obtained since
the proposed rule was published, we
updated the SSA report to include new
information. The revised SSA report is
available as version 1.2 (Service 2023,
entire). In addition, in this final rule, we
add information to the listing
determination for the Pearl River map
turtle and the associated 4(d) rule’s
exceptions to prohibitions. Many small,
nonsubstantive changes and corrections,
which do not affect the determination
(e.g., minor clarifications, correcting
grammatical errors, etc.), are made
throughout this document. Below is a
summary of changes we make in this
final rule.
(1) We update the citation for one
literature source reporting on the status
of the Pearl River and Pascagoula map
turtles (Lindeman et al. 2020, entire) to
reflect its recent publication in a peerreviewed journal.
(2) We incorporate an additional
citation (Refsnider et al. 2016, entire) to
discuss how the potential for climate
change-induced impacts to turtle
hatchling sex ratios, a result of these
turtles exhibiting temperaturedependent sex determination (TSD),
may be mitigated by plasticity of TSD
thermal sensitivity and the mother
turtle’s ability for nest-site selection.
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(3) For the Pearl River map turtle’s
4(d) rule, we do not include an
exception from the incidental take
prohibition resulting from construction,
operation, and maintenance activities
that occur near and in a stream. We
determined that this exception is too
vague and could have caused confusion
regarding whether State or Federal
regulatory processes apply to these
activities. Many activities occurring
near or in a stream require permits or
project review by Federal or State
agencies, and including this exception
could have been interpreted as
removing these requirements, which
was not our intention. Therefore, we
find that finalizing a 4(d) rule that
included this exception to incidental
take is not necessary and advisable for
the conservation of the species.
(4) For the Pearl River map turtle’s
4(d) rule, we do not include an
exception from the incidental take
prohibition resulting from maintenance
dredging activities that remain in the
previously disturbed portion of a
maintained channel. We determined
that this exception is too vague and
could have caused confusion regarding
whether State or Federal regulatory
processes apply to these activities. In
addition, dredging activities to promote
river traffic can cause temporary
turbidity, leading to smothering of prey
species (e.g., aquatic invertebrates) and
decreased ability of the Pearl River map
turtle to forage on these species; the
removal of underwater snags, which
could further reduce prey availability by
eliminating areas where prey is found;
and the removal of sheltering and
basking locations for the turtle. All inwater work, including dredging in a
previously dredged area, requires
appropriate State and Federal permits,
so including this exception could have
been interpreted as removing this
requirement, which was not our
intention. Therefore, we find that
finalizing a 4(d) rule that included this
exception to incidental take is not
necessary and advisable for the
conservation of the species.
(5) For the Pearl River map turtle’s
4(d) rule, we do not include an
exception to the incidental take
prohibitions resulting from herbicide/
pesticide use in this final rule. We do
not have enough information about the
types or amounts of pesticides that may
be applied in areas where Pearl River
map turtle occurs to be able assess the
future impacts to the species. The
additional materials provided during
the public comment period indicate
impacts to other turtle species from
pesticide use occurs (de Solla et al.
2014, entire; Douros et al. 2015, pp.113–
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114 ; Kittle et al. 2018, entire; Smith et
al. 2020, entire; EPA 2021a, at Ch. 4,
Appendix 4–1; EPA 2021d, at Ch. 2;
EPA 2021e, at Ch. 2, EPA2021e, at Ch.
4, Appendix 4–1). Further, we note that
the Environmental Protection Agency
(EPA) has not consulted on most
pesticide registrations to date, so
excepting take solely based on user
compliance with label directions and
State and local regulations EPA has not
consulted on most pesticide
registrations to date and is not
appropriate in this situation. Retaining
this exception in the absence of
consultation on a specific pesticide
registration may create confusion
regarding the consideration of these
impacts and whether Federal regulatory
processes apply to these activities. It
was not our intent to supersede the
consultation on the pesticide
registration nor other Federal activities.
Therefore, we find that finalizing a 4(d)
rule that included this exception to
incidental take is not necessary and
advisable for the conservation of the
species.
(6) For the Pearl River map turtle 4(d)
rule and Alabama map turtle, Barbour’s
map turtle, Escambia map turtle, and
Pascagoula map turtle 4(d) rule, we
make minor revisions to the preamble’s
description of the prohibitions and
exceptions in our rule issued under
section 4(d) of the Act (‘‘4(d) rule’’) in
the preamble of this final rule to be
consistent with the regulatory text that
sets forth the 4(d) rule. While we have
refined the text, the substance of the
prohibitions and exceptions has not
changed, except as outlined above.
In addition, we inadvertently left off
from the proposed 4(d) rule for the
Alabama map turtle, Barbour’s map
turtle, Escambia map turtle, and
Pascagoula map turtle the 17.21(d)(2)
provision regarding possession and
engaging in other acts with unlawfully
endangered wildlife by Federal and
State law enforcement, and we have
added this to final rule itself.
(7) We update the information on the
Convention on International Trade in
Endangered Species of Wild Fauna and
Flora (CITES; 27 U.S.T. 1087, TIAS
8249) to reflect that the Pearl River map
turtle (Graptemys pearlensis), Alabama
map turtle (Graptemys pulchra),
Barbour’s map turtle (Graptemys
barbouri), Escambia map turtle
(Graptemys ernsti), and Pascagoula map
turtle (Graptemys gibbonsi) were
transferred from Appendix III of CITES
to Appendix II (CITES 2023, p. 46).
(8) We reevaluated the critical habitat
prudency determination for the Pearl
River map turtle and now find that
critical habitat is prudent but not
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determinable at this time for the species.
We intend to publish a proposed rule
designating critical habitat for the Pearl
River map turtle in the near future.
Summary of Comments and
Recommendations
In our November 23, 2021, proposed
rule (86 FR 66624), we requested that all
interested parties submit written
comments on the proposal by January
24, 2022. We also contacted appropriate
Federal and State agencies, scientific
experts and organizations, and other
interested parties and invited them to
comment on the proposal. Newspaper
notices inviting general public comment
were published in USA Today on
December 8, 2021. We did not receive
any requests for a public hearing. All
substantive information provided to us
during the comment period has been
incorporated directly into this final rule
or is addressed below.
Peer Reviewer Comments
As discussed in Peer Review, above,
we received comments from five peer
reviewers on the draft SSA report. We
reviewed all comments we received
from the peer reviewers for substantive
issues and new information regarding
the contents of the SSA report. Most
comments received were grammatical
and improved accuracy and readability
of the SSA. The three substantive
comments from peer reviewers are
addressed in the following summary. As
discussed above, because we conducted
this peer review prior to the publication
of our November 23, 2021, proposed
rule (86 FR 66624), we had already
incorporated all applicable peer review
comments into version 1.2 of the SSA
report (Service 2023, entire), which is
the foundation for the proposed rule
and this final rule.
The peer reviewers generally
concurred with our methods and
conclusions and provided additional
information and suggestions for
clarifying and improving the accuracy of
the updated version of the SSA report.
Three substantive comments from peer
reviewers are addressed in the following
summary and were incorporated into
the SSA report, version 1.2 (Service
2023, entire), as appropriate.
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Peer Reviewer Comments
(1) Comment: One peer reviewer
questioned how the assessment of future
condition of the Pearl River map turtle
could be conducted without knowing
population trends through time
compared to historical baseline data or
through the use of demographic or
viability models.
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Our Response: Limited historical data
exist for the Pearl River map turtle to
provide a sufficient baseline to
determine current or future population
trends or densities. In addition, the
limited amount of historical data
prohibited the Service from modeling
population viability or demographics.
The best available science was used to
assess future condition based on
projected increases in potential threats,
which resulted in the Service
concluding that the Pearl River map
turtle meets the Act’s definition of a
threatened species. We have added a
statement in the SSA report to clarify
the lack of research on population
trends and demographics through time.
(2) Comment: One peer reviewer
questioned if locations that were
deemed high density for the population
estimates are actually comparable to
historical high density or are just
populations that are slowly declining
towards extirpation.
Our Response: Since historical
densities are unknown, it was not
feasible to determine if locations
recently classified as high density are
comparable to historical high-density
locations. Density classifications were
based on recent basking density surveys
(Lindeman et al. 2020, entire)
representing the current status of the
Pearl River map turtle.
(3) Comment: One peer reviewer
mentioned water quality issues
associated with large-scale chicken
operations on the Strong River.
Our Response: To determine how this
additional water quality information
would impact the overall composite
score, we decreased the water quality
score for the Pearl River-Strong and
Pearl River-Silver resilience units from
moderate to low; however, the overall
composite score for both resilience units
is still classified as moderate even with
a low water quality classification. Thus,
the overall composite score for the
resilience units did not change, and we
retain the original scoring
classifications. We appreciate the
additional reference material, and these
water quality issues were updated in the
SSA report, version 1.2 (Service 2023,
pp. 25–27, 65).
Comments From States
The Georgia Department of Natural
Resources (GaDNR) Wildlife Resources
Division provided a comment letter in
support of listing the Barbour’s map
turtle and Escambia map turtle as
threatened due to similarity of
appearance. The Mississippi
Department of Wildlife, Fisheries, and
Parks (MDWFP) provided a comment
letter in support of listing the Pearl
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River map turtle as threatened and
listing the Pascagoula map turtle,
Alabama map turtle, Escambia map
turtle, and Barbour’s map turtle as
threatened due to similarity of
appearance. The Florida Fish and
Wildlife Conservation Commission
(FWC) submitted a letter in opposition
to listing the Escambia map turtle and
Barbour’s map turtle as threatened due
to similarity of appearance because of
potential conflicting regulations and
expected regulatory confusion within
the State. Federal listing would shift
permitting for take from FWC to the
Service, potentially causing regulatory
confusion among stakeholders about: (1)
the legality of possession of these
species in Florida, and (2) whether or
not a State permit for incidental take of
these species is required. The Service is
actively working with FWC to rectify
conflicts between State regulations and
those Federal regulations that provide
protection under the Act.
Public Comments
(4) Comment: One commenter
questioned the not-warranted finding
for the Pascagoula map turtle due to the
lower population abundances when
compared with other federally
threatened map turtles such as the
ringed map turtle (Graptemys oculifera)
and yellow-blotched map turtle (G.
flavimaculata).
Our Response: Listing of a species is
not dependent upon the population
abundances of previously listed species.
The Pascagoula map turtle does not
meet the Act’s definition of either an
endangered species or a threatened
species based on the analysis of its
current and future conditions using the
best available science. The 12-month
finding and all other supporting
information can be found on the
internet at https://www.regulations.gov
under Docket No. FWS–R4–ES–2021–
0097.
However, in this rule, we are listing
the Pascagoula map turtle along with
Alabama map turtle (Graptemys
pulchra), Barbour’s map turtle
(Graptemys barbouri), and Escambia
map turtle (Graptemys ernsti) as
threatened species due to similarity of
appearance to the Pearl River map
turtle.
(5) Comment: One commenter stated
that the Pearl River map turtle is not a
separate species based on a publication
by Praschag et al. (2017).
Our Response: The Pearl River map
turtle was initially described as a new
species based on mitochondrial DNA
(mtDNA) sequences, significant
carapace pattern variation,
morphological differentiation, and
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allopatric distributions between the
Pearl River map turtle and the
Pascagoula map turtle (Ennen et al.
2010, entire). For example, mtDNA
sequences showed greater genetic
differentiation between the Pearl River
map turtle in the Pearl River and the
Pascagoula map turtle in the Pascagoula
River than mtDNA sequence differences
between two other recognized, and
reciprocally sympatric, species: ringed
map turtle in the Pearl River and
yellow-blotched map turtle in the
Pascagoula River (Ennen et al. 2010,
entire). However, a 2017 study, using
mtDNA and 12 nuclear loci, determined
that the Pearl River map turtle is not a
separate species from the Pascagoula
map turtle, and that the genus
Graptemys is taxonomically over split
(Praschag et al. 2017, entire). We
considered this information and
disregarded it due to the captive origin
of the sampled turtles used (Praschag et
al. 2017, p. 677), as well as the genetic
analyses that were called into question
(Thomson et al. 2018, p. 68). The most
recent comprehensive genetic analysis
(18 nuclear genes and 2 mtDNA
sequences) that assessed wild
Graptemys determined that the Pearl
River map turtle is a valid species
(Thomson et al. 2018, entire).
Additionally, several other recent
publications recognize the Pearl River
map turtle as a separate species from the
Pascagoula map turtle (Lindeman et al.
2020, entire; Selman and Lindeman
2020, entire; Vučenović and Lindeman
2021, entire; Selman 2020b, entire;
Smith et al. 2020, entire).
(6) Comment: One commenter stated
that, due to the difficulty of identifying
the Pearl River map turtle, research
conducted by college and graduate
students on this species is not reliable
and cannot be used to determine
populations.
Our Response: A species expert stated
that only 5 to 10 professionals can
distinguish the difference among the
megacephalic map turtles: Pearl River
map turtle, Pascagoula map turtle,
Alabama map turtle, Escambia map
turtle, and Barbour’s map turtle (Selman
2021, pers. comm.). There are only two
native map turtle species within the
Pearl River drainage: the megacephalic
Pearl River map turtle and the
microcephalic ringed map turtle. Unlike
distinguishing among megacephalic
map turtle species, these two species
can be readily identified from one
another by trained students utilizing
morphological characteristics including
proportional head size, head and
carapace coloration and patterning, and
the distinct rings found on the carapace
of the ringed map turtle. Information
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used within the SSA was gathered by
professionals from academia and State
and Federal agencies, as well as from
graduate students at local universities.
(7) Comment: One commenter raised
concerns about the reliability of using
data from a different species as a
surrogate for Pearl River map turtle
population estimates. Additionally, the
commenter stated that differences in
survey techniques for the Pearl River
map turtle may have led to inaccurate
population estimates.
Our Response: As population data
were not available for the Pearl River
map turtle, population abundance was
estimated using a correction factor
(based on previous mark-resight studies
of the Pascagoula map turtle) to estimate
the population abundance of the Pearl
River map turtle from basking density
surveys conducted within the Pearl
River drainage (Lindeman et al. 2020,
entire). The Service considers this to be
the best available science as the
Pascagoula map turtle is the sister
species of the Pearl River map turtle
(Thomson et al. 2018, entire; Ennen et
al. 2010, entire) and both fill a similar
role within their respective river
drainages. Although survey techniques
may have differed among the surveys
conducted on the Pearl River map turtle,
we used the best available science to
assess population status (Lindeman et
al. 2020, entire).
(8) Comment: One commenter noted
the relatively recent discovery of
tributary populations that consist of
approximately one-third of the total
Pearl River map turtle abundance in the
river system. The commenter noted that
the Service may not have taken
potentially unknown tributary
populations into consideration during
the proposed listing, and that more
Pearl River map turtles may reside
within these tributaries than was
assessed in the SSA.
Our Response: The most recently
published range map provides the
known range of the Pearl River map
turtle within the Pearl River and its
major tributaries and is based on
thorough surveys of the river system
(Lindeman et al. 2020, p. 176). This
2020 publication lists the tributaries
throughout the drainage that have been
surveyed, as well as those tributaries
where no Pearl River map turtles were
observed (Lindeman et al. 2020,
Supplemental Material 2). This
information represents the best available
science and was incorporated into the
SSA, version 1.2 (Service 2023, pp. 45–
48).
(9) Comment: One commenter stated
that the performed models provide
insufficient information compared to
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actual water quality data and that
research to determine water quality
within the Pearl River would be key to
developing a recovery plan.
Additionally, the commenter stated that
there is speculation regarding how land
use factors into the proxy approach.
Our Response: Because no long-term
(pre-Ross Barnett Reservoir) water
quality data exist for the watershed, we
used the best available science related to
land use as a proxy for water quality.
The 2016 National Land Cover Dataset
(NLCD) includes different
categorizations of agricultural use,
urbanization, and forest cover. As stated
in the SSA report, version 1.2 (Service
2023, p. 62), urbanization and
agricultural land uses were considered
as threats impacting water quality, and
a land cover percentage was calculated
for these threats by using the total land
cover (including all NLCD land cover
categories) within the buffer around
each occupied stream.
(10) Comment: One commenter noted
that the use of any sea-level rise (SLR)
predictions as a threat to future
conditions is questionable, as turtles
will move in response to inundation,
and that the Service needs to gather
actual data in order to learn what is
important to the survivability of the
turtles.
Our Response: Sea-level rise is
expected to impact one location
inhabited by Pearl River map turtles
within the West Pearl River and up to
10.8 river miles (rmi) (17.4 river
kilometers (rkm)) of occupied habitat
within the East Pearl River under the
‘‘extreme’’ SLR scenario (Service 2023
p. 87). These turtles may move
upstream; however, SLR eliminates
suitable habitat for the species in the
Pearl River and lower sections of the
Bogue Chitto River due to increased
salinity. A 2009 study provides
additional evidence that increased
salinity can cause population declines
in Graptemys, as seen by a 50 percent
decline in population density of yellowblotched map turtles (G. flavimaculata)
within the lower Pascagoula River
attributed to Hurricane Katrina storm
surge (Selman et al. 2009, entire). We
used the best available scientific data to
inform how SLR would impact the Pearl
River map turtle in the future.
(11) Comment: One commenter stated
that the Service did not use the best
available science related to predation
and illegal collection of the Pearl River
map turtle due to limited information
known about these two potential
threats. Additionally, the commenter
stated that using the Pascagoula map
turtle as a surrogate for the Pearl River
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map turtle was not appropriate given
their differing diets.
Our Response: We used the best
available scientific and commercial data
on predation, diet, and illegal collection
of the Pearl River map turtle in the SSA
report to inform the proposed, and this
final, threatened species status
determination for the Pearl River map
turtle. Regarding predation of the Pearl
River map turtle, we address the
information in the SSA report, version
1.2 (Service 2023, pp. 28–29), as no
other studies are available and no
additional information regarding
predation was provided during the
November 23, 2021, proposed rule’s
comment period.
Regarding information about diet,
some variation exists between the Pearl
River map turtle and the Pascagoula
map turtle’s food preferences (McCoy et
al. 2020, entire; Vučenović et al. 2021,
entire); however, both species rely
predominantly on aquatic invertebrates,
which are affected similarly by water
quality (Jones et al. 2021, p. 14; Lydeard
et al. 2004, entire).
Although little information exists on
the current collection and/or trade of
the Pearl River map turtle, exploitation
of the megacephalic map turtles
(Graptemys spp.) for the pet trade has
been documented (Lindeman 1998, p.
137; Cheung and Dudgeon 2006, p. 756;
Service 2006, p. 2; Selman and Qualls
2007, pp. 32–34; Ennen et al. 2016, p.
094.6). Additionally, rare species are
more sought after for the pet trade (Sung
and Fong 2018, p. 221), potentially
leading to higher exploitation of the
species.
(12) Comment: One commenter stated
that listing the Pascagoula map turtle,
Alabama map turtle, Escambia map
turtle, and Barbour’s map turtle as
threatened due to similarity of
appearance does not create any
additional protection or remove any
additional threats to the Pearl River map
turtle as it is the only one of the abovementioned turtle species that occur in
the Pearl River drainage.
Our Response: As stated in the
proposed rule (86 FR 66624 at 66655;
November 23, 2021), the slight
morphological and color pattern
differences within the megacephalic
map turtle clade makes identification of
species difficult when collection
location is unknown (Selman 2019,
pers. comm.). This difficulty can lead to
an additional threat for Pearl River map
turtles, with collected individuals being
misrepresented as other members of the
megacephalic map turtle clade
(Pascagoula map turtle, Alabama map
turtle, Escambia map turtle, or Barbour’s
map turtle) within the pet trade.
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Difficulty in identification and the
additional threat of misrepresenting the
Pearl River map turtle as another
species meets the definition of
similarity of appearance set forth in
section 4(e) of the Act (16 U.S.C.
1533(e)) and explained in the proposed
rule (86 FR 66624 at 66655; November
23, 2021) and this final rule.
(13) Comment: Six commenters
expressed concern that the Service’s
description of the 4(d) rule’s incidental
take exception for construction,
operation, and maintenance activities
occurring near- and in-stream is too
broad and should be more narrowly
defined or removed.
Our Response: We agree that it is
difficult to understand and identify
specific situations for which the
proposed exception for incidental take
resulting from construction, operation,
and maintenance activities would
apply. Accordingly, as stated above
under Summary of Changes from the
Proposed Rule, we are not including
this as an exception to the incidental
take prohibitions in the 4(d) rule for the
Pearl River map turtle because it is too
vague and would have caused confusion
with respect to requirements that must
be met when undertaking these
activities. Many activities occurring
near or in a stream require permits or
project review by Federal or State
agencies. Therefore, we find that
finalizing a 4(d) rule that included this
exception to incidental take is not
necessary and advisable for the
conservation of the species.
(14) Comment: One commenter
questioned how the Service will
monitor maintenance dredging activities
in order to ensure that these activities
will not encroach upon suitable turtle
habitat outside of the maintained
waterway and how the Service will
enforce any violations.
Our Response: Accordingly, for the
reasons stated above under Summary of
Changes from the Proposed Rule, we are
not including the proposed exception
for incidental take resulting from
maintenance dredging activities from
the 4(d) rule for the Pearl River map
turtle. The proposed exception is too
vague and would have caused confusion
with respect to requirements that must
be met when undertaking these
activities. Many activities occurring
near or in a stream require permits or
project review by Federal or State
agencies. Therefore, we find that
finalizing a 4(d) rule that included this
exception to incidental take is not
necessary and advisable for the
conservation of the species.
In terms of monitoring these types of
activities, through section 7
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consultation, maintenance dredging
activities will be monitored so that these
activities do not encroach upon suitable
turtle habitat outside of the maintained
waterway.
(15) Comment: Seven commenters
expressed concern about adopting an
incidental take exception for pesticide
and herbicide use that follows chemical
label and appropriate application rates.
One commenter stated that exposure to
pesticides and herbicides is harmful to
turtle species and provided several
citations to support the comment (such
as, de Solla et al. 2014, entire; Kittle et
al. 2018, entire).
Our Response: After review of the
comments to the proposed rule and
revisiting the best available scientific
and commercial information, we are not
including the pesticide and herbicide
use exception from the incidental take
prohibitions in the final 4(d) rule. In the
proposed and this final rule, we
describe the primary threats to the Pearl
River map turtle as habitat degradation
and loss, collection, and effects of
climate change. In the preamble of our
proposed 4(d) rule, we proposed an
exception to incidental take
prohibitions resulting from invasive
species removal activities using
pesticides and herbicides as these types
of activities could be considered
beneficial to the native ecosystem and
are likely to improve habitat conditions
for the species. However, as described
in our SSA (Service 2023, pp. 22–42),
invasive species were found to have
minimal effects to the species. In
addition, we do not have enough
information about the types or amounts
of pesticides that may be applied in
areas where Pearl River map turtle
occurs to be able assess the future
impacts to the species.
The additional materials provided
during the public comment period do
not indicate Pearl River map turtle is
impacted greatly from pesticides used to
reduce impacts from nonnative,
invasive species; however, the
information provided does indicate
impacts to other turtle species from
pesticide use (de Solla et al. 2014,
entire; Kittle et al. 2018, entire). As
documented in other turtle species from
the literature provided by the
commenter, we assessed that there is the
potential of indirect effects from
pesticides on the Pearl River map turtle.
Further, we note that the
Environmental Protection Agency (EPA)
has not consulted on most pesticide
registrations to date, so excepting take
solely based on users complying with
labels is not appropriate in this
situation. Therefore, we find that
finalizing a 4(d) rule that included this
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exception to incidental take is not
necessary and advisable for the
conservation of the species.
(16) Comment: Two commenters
stated that recreational and commercial
fishing gears are a potential threat to the
Pearl River map turtle and should not be
excepted from incidental take.
Additionally, the commenters stated
that the Service should incorporate
fisheries bycatch data into the SSA
report.
Our Response: Few data are available
to determine the extent that recreational
and commercial fishing have on the
Pearl River map turtle. Two recent
studies determined that catch per unit
effort (CPUE) in hoop nets set in
preferred Pearl River map turtle habitat
was very low, with 1 Pearl River map
turtle captured every 59 to 72 trap
nights, respectively (Pearson et al. 2020,
pp. 55, 60; Haralson 2021, p. 65). These
numbers suggest that commercial and/or
recreational fishing may be a low risk to
the Pearl River map turtle.
Recreational and commercial fishing
activities are regulated by State natural
resource and fish and game agencies,
and these agencies issue permits for
these activities in accordance with their
regulations. The Service will coordinate
with State agencies to better understand
the impacts of permitted recreational
and commercial fishing on Pearl River
map turtles and may develop a
coordinated plan based on the best
available science to reduce fishing
impacts through research and
development on innovative fishing
technologies and methodologies to
reduce the risk of bycatch. Additionally,
we will continue coordinating with
State agencies on the development of
public awareness programs regarding
identification and conservation of the
Pearl River map turtle.
(17) Comment: Nine commenters
claimed that the Service lacks sufficient
support for the not prudent finding for
critical habitat regarding the increased
threat of illegal collection by identifying
areas where the turtles may be found.
These comments also indicated that the
species’ location data and maps are
already available to the public in
published reports.
Our Response: In our November 23,
2021, proposed rule (86 FR 66624), we
determined that designating critical
habitat was not prudent for the Pearl
River map turtle. Many species of turtles
are affected by poaching worldwide
because of the large demand from
collectors. Although limited, poaching
has been documented for map turtles.
Reports and notes included with
surveys going back several decades
identify poaching as a threat. We based
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our determination on our finding that
poaching may increase because the
listing of the species would draw
attention to their existence and rarity,
possibly creating a greater demand
among collectors. We postulated that
the publication of maps in the Federal
Register could facilitate poaching of the
species by making it easier to find exact
locations where the species is found.
After a thorough reevaluation of the
publicly available information regarding
the locations of Pearl River map turtles,
we have determined that the current
locations are currently available in
sources readily accessed by the public.
These include online conservation
databases, scientific journals, and
documents found on agency websites.
We now acknowledge that publishing
critical habitat maps would not provide
many, if any, additional details helpful
to locate the species, beyond what is
already publicly available. In addition,
because locations are largely available,
the increased threat comes more from
the attention drawn by listing the
species, rather than the publication of
maps depicting critical habitat. For this
reason, we have reassessed our
prudency determination that
designating critical habitat would likely
increase the threat of poaching.
Consequently, we have determined that
the designation of critical habitat is
prudent for the Pearl River map turtle.
We will publish a proposed rule to
designate critical habitat for the Pearl
River map turtle in the near future.
I. Final Listing Determination for the
Pearl River Map Turtle
Background
The Pearl River map turtle
(Graptemys pearlensis) is a freshwater
turtle species belonging to the Emydidae
family that includes terrapins, pond
turtles, and marsh turtles. Turtles in the
genus Graptemys are also known as map
turtles for the intricate pattern on the
carapace that often resembles a
topographical map. The Pearl River map
turtle is in the megacephalic (largeheaded) clade as females grow
proportionally larger heads and jaws
than males as they age; the carapace
length of adult females is over two times
the length of adult males on average
(Gibbons and Lovich 1990, pp. 2–3).
The life history of the Pearl River map
turtle can be described as the stages of
egg, hatchling, juvenile, and adult.
Typically, male map turtles mature in 2
to 3 years, while females mature much
later, around 9 years of age (Lindeman
2013, p. 109; Vogt et al. 2019, pp. 557–
558).
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The species inhabits rivers and large
creeks with sand and gravel bottoms in
the Pearl River drainage from central
Mississippi to the border of southern
Mississippi and Louisiana. For the Pearl
River map turtle to survive and
reproduce, individuals need suitable
habitat that supports essential life
functions at all life stages. Several
elements appear to be essential to the
survival and reproduction of
individuals: mainstem and tributary
reaches within the Pearl River system
that have sandbars, adequate flow, an
adequate supply of invertebrate prey
items including insects and mollusks
(particularly freshwater mussels), and
an abundance of emergent and floating
basking structures of various sizes. The
diet of the Pearl River map turtle varies
between females and males. Mature
females consume mostly Asian clams
(Corbicula fluminea), while males and
juveniles eat insects, with mature males
specializing in caddisfly larvae and
consuming more mollusks than
juveniles (Vučenović and Lindeman
2021, entire; Service 2023, p. 11).
Pearl River map turtles are found in
rivers and creeks with sand and gravel
bottoms and dense accumulations of
deadwood; this species has not been
documented in oxbow lakes or other
floodplain habitats. They are notably
absent from lakes where their sympatric
microcephalic species, the ringed map
turtle (Graptemys oculifera), is present,
but do occur at very low densities at the
upstream reach of Ross Barnett
Reservoir, an impoundment of the Pearl
River (Lindeman 2013, p. 298; Selman
and Jones 2017, entire). All life stages
require adequate water quality within
flowing river systems and are largely
intolerant of brackish and saltwater
environments (Selman and Qualls 2008,
pp. 228–229; Lindeman 2013, pp. 396–
397). The species requires semi-exposed
structure for basking, such as emergent
deadwood, which serves as
thermoregulatory structure, as foraging
structure for males and juveniles
(Selman and Lindeman 2015, pp. 794–
795), and as an overnight resting place
for males and juveniles (Cagle 1952, p.
227).
The species also requires terrestrial
nesting habitat where the females
excavate nests and lay their eggs on
sandbars, and occasionally steep cutbanks, along riverbanks during the late
spring and early summer months.
Hatchlings typically emerge from the
nest at night and after an average of 69
days; the hatchling and small juvenile
life stages depend on adequate
abundance of invertebrate prey and
emergent branches near the riverbank. A
more thorough review of the taxonomy,
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life history, and ecology of the Pearl
River map turtle is presented in detail
in the SSA report (Service 2023, pp. 5–
19).
Regulatory and Analytical Framework
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Regulatory Framework
Section 4 of the Act (16 U.S.C. 1533)
and the implementing regulations in
title 50 of the Code of Federal
Regulations set forth the procedures for
determining whether a species is an
endangered species or a threatened
species, issuing protective regulations
for threatened species, and designating
critical habitat for endangered and
threatened species. On April 5, 2024,
jointly with the National Marine
Fisheries Service, the Service issued a
final rule that revised the regulations in
50 CFR 424 regarding how we add,
remove, and reclassify endangered and
threatened species and what criteria we
apply when designating listed species’
critical habitat (89 FR 24300). On the
same day, the Service published a final
rule revising our protections for
endangered species and threatened
species at 50 CFR 17 (89 FR 23919).
These final rules are now in effect and
are incorporated into the current
regulations. Our analysis for this final
decision applied our current
regulations. Given that we proposed
listing for the Pearl River map turtle
under our prior regulations (revised in
2019), we have also undertaken an
analysis of whether our decision would
be different if we had continued to
apply the 2019 regulations; we
concluded that the decision would be
the same. The analyses under both the
regulations currently in effect and the
2019 regulations are available on
https://www.regulations.gov. 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 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.
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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
species’ expected response 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, 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.
The Act does not define the term
‘‘foreseeable future,’’ which appears in
the statutory definition of ‘‘threatened
species.’’ Our implementing regulations
at 50 CFR 424.11(d) set forth a
framework for evaluating the foreseeable
future on a case-by-case basis, which is
further described in the 2009
Memorandum Opinion on the
foreseeable future from the Department
of the Interior, Office of the Solicitor
(M–37021, January 16, 2009; ‘‘MOpinion,’’ available online at https://
www.doi.gov/sites/doi.opengov.
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ibmcloud.com/files/uploads/M37021.pdf). The foreseeable future
extends as far into the future as the U.S.
Fish and Wildlife Service and National
Marine Fisheries Service (hereafter, the
Services) can make reasonably reliable
predictions about the threats to the
species and the species’ responses to
those threats. We need not identify the
foreseeable future in terms of a specific
period of time. We will describe the
foreseeable future on a case-by-case
basis, using the best available data and
taking into account considerations such
as the species’ life-history
characteristics, threat-projection
timeframes, and environmental
variability. In other words, the
foreseeable future is the period of time
over which we can make reasonably
reliable predictions. ‘‘Reliable’’ does not
mean ‘‘certain’’; it means sufficient to
provide a reasonable degree of
confidence in the prediction, in light of
the conservation purposes of the Act.
Analytical Framework
The SSA report documents the results
of our comprehensive biological review
of the best scientific and commercial
data regarding the status of the species,
including an assessment of the potential
threats to the species. The SSA report
does not represent our decision on
whether the species should be listed as
an endangered or threatened species
under the Act. However, it does provide
the scientific basis that informs our
regulatory decisions, which involve the
further application of standards within
the Act and its implementing
regulations and policies.
To assess Pearl River map turtle
viability, we used the three conservation
biology principles of resiliency,
redundancy, and representation (Shaffer
and Stein 2000, pp. 306–310). Briefly,
resiliency is the ability of the species to
withstand environmental and
demographic stochasticity (for example,
wet or dry, warm or cold years),
redundancy is the ability of the species
to withstand catastrophic events (for
example, droughts, large pollution
events), and representation is the ability
of the species to adapt to both near-term
and long-term changes in its physical
and biological environment (for
example, climate conditions,
pathogens). In general, species viability
will increase with increases in
resiliency, redundancy, and
representation (Smith et al. 2018, p.
306). Using these principles, we
identified the species’ ecological
requirements for survival and
reproduction at the individual,
population, and species levels, and
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described the beneficial and risk factors
influencing the species’ viability.
The SSA process can be categorized
into three sequential stages. During the
first stage, we evaluated the individual
species’ life-history needs. The next
stage involved an assessment of the
historical and current condition of the
species’ demographics and habitat
characteristics, including an
explanation of how the species arrived
at its current condition. The final stage
of the SSA involved making predictions
about the species’ responses to positive
and negative environmental and
anthropogenic influences. Throughout
these stages, we used the best available
information to characterize viability as
the ability of a species to sustain
populations in the wild over time. We
use this information to inform our
regulatory decision.
The following is a summary of the key
results and conclusions from the SSA
report; the full SSA report can be found
at Docket FWS–R4–ES–2021–0097 on
https://www.regulations.gov.
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Summary of Biological Status and
Threats
In this discussion, we review the
biological condition of the species and
its resources, and the threats that
influence the species’ current and future
condition, in order to assess the species’
overall viability and the risks to that
viability. Additional details about the
species’ biology and threats can be
found in the SSA report, version 1.2
(Service 2023, entire) and the proposed
listing rule (86 FR 66624; November 23,
2021).
Species Needs
We assessed the best available
information to identify the physical and
biological needs to support individual
fitness at all life stages for the Pearl
River map turtle. Full descriptions of all
needs are available in chapter 3 of the
SSA report (Service 2023, pp. 20–21),
which can be found in Docket No.
FWS–R4–ES–2021–0097 on https://
www.regulations.gov. Based upon the
best available scientific and commercial
information, and acknowledging
existing ecological uncertainties, the
resource and demographic needs for
breeding, feeding, sheltering, and
dispersal of the Pearl River map turtle
are characterized as:
• For successful reproduction, the
species requires patches of fine sand
with sparse vegetation (typically
sandbars, occasionally cutbanks)
adjacent to adult habitat, adequate sand
incubation temperatures to yield an
appropriate hatchling sex ratio, and
natural hydrologic regimes to prevent
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nest mortality due to out-of-season
flooding.
• Hatchlings require an adequate
abundance of invertebrate prey and of
emergent branches and tangles near the
riverbank for shelter and basking.
• Adult males require an adequate
abundance of insect prey and emergent
logs, branches, and tangles near the
bank for basking and foraging.
• Adult females require an adequate
abundance of native mussels or Asian
clams; deeper, sand or gravel-bottomed
stretches for foraging; and emergent logs
and branches for basking.
Population needs include the same
requirements as individuals (sandbars;
natural hydrologic regimes; and an
adequate supply of invertebrate prey
items, basking structures, and sand,
gravel, or rocky substrates) but must be
met at a larger scale. Connectivity that
facilitates genetic exchange and
maintains high genetic diversity is
needed; tributary and mainstem reaches
with suitable habitat uninterrupted by
impoundments must be sufficient in
size to support a large enough
population of individuals to avoid
issues associated with small
populations, such as inbreeding
depression.
Threats
The following discussions include
evaluations of three threats and
associated factors that are affecting the
Pearl River map turtle and its habitat:
(1) habitat degradation or loss, (2)
collection, and (3) climate change
(Service 2023, chapter 4, pp. 22–42). In
addition, potential impacts from disease
and invasive species were evaluated but
were found to have minimal effects on
viability of the species based on current
knowledge (Service 2023, pp. 22–42).
Habitat Degradation or Loss
Water Quality—Degradation of stream
and wetland systems through reduced
water quality and increased
concentrations of contaminants can
affect the occurrence and abundance of
freshwater turtles (DeCatanzaro and
Chow-Fraser 2010, p. 360).
Infrastructure development increases
the percentage of impervious surfaces,
reducing and degrading terrestrial and
aquatic habitats. Increased water
volume and land-based contaminants
(e.g., heavy metals, pesticides, oils) flow
into aquatic systems, modifying
hydrologic and sediment regimes of
rivers and wetlands (Walsh et al. 2005,
entire). Contaminants in the aquatic
environment can have both immediate
and long-term negative impacts on
species and ecosystems by degrading
the water quality and causing direct and
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indirect effects to the species or its
required resources (Service 2023, pp.
25–27).
Freshwater mussels and snails are
important food sources for the Pearl
River map turtle, and sedimentation and
pollution can have adverse impacts on
mollusk populations (Box and Mossa
1999, entire). Point source pollution can
be generated from inadequately treated
effluent from industrial plants, sanitary
landfills, sewage treatment plants,
active surface mining, drain fields from
individual private homes, and others
(Service 2000, pp. 14–15). Nonpoint
source pollution may originate from
agricultural activities, poultry and cattle
feedlots, abandoned mine runoff,
construction, silviculture, failing septic
tanks, and contaminated runoff from
urban areas (Deutsch et al. 1990, entire;
Service 2000, pp. 14–15). These sources
may contribute pollution to streams via
sediments, heavy metals, fertilizers,
herbicides, pesticides, animal wastes,
septic tank and gray water leakage, and
oils and greases. The contaminants
likely have direct (e.g., decreased
survival or reproduction or both) and
indirect (e.g., loss, degradation, and
fragmentation of habitat) effects.
Additionally, water quality for the Pearl
River map turtle is impacted by
activities associated with four processes:
channel and hydrology modifications
and impoundments, agriculture,
development (urbanization), and
mining. These processes are discussed
in more detail in the proposed listing
rule (86 FR 66624 at 66632–66634;
November 23, 2021).
Channel and Hydrological
Modifications and Impoundments
Dredging and channelization have led
to loss of aquatic habitat in the
Southeast (Warren Jr. et al. 1997,
unpaginated). Dredging and
channelization projects are extensive
throughout the region for flood control,
navigation, sand and gravel mining, and
conversion of wetlands into croplands
(Neves et al. 1997, unpaginated; Herrig
and Shute 2002, pp. 542–543). Many
rivers are continually dredged to
maintain a channel for shipping traffic.
Dredging and channelization modify
and destroy habitat for aquatic species
by destabilizing the substrate, increasing
erosion and siltation, removing woody
debris, decreasing habitat heterogeneity,
and stirring up contaminants, which
settle onto the substrate (Williams et al.
1993, pp. 7–8; Buckner et al. 2002,
entire; Bennett et al. 2008, pp. 467–468).
Channelization can also lead to
headcutting, which causes further
erosion and sedimentation (Hartfield
1993, pp. 131–141). Dredging removes
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woody debris, which provides cover
and nest locations for many aquatic
species (Bennett et al. 2008, pp. 467–
468). Snags and logs are removed from
some sites to facilitate boat navigation
(Dundee and Rossman 1989, p. 187).
Experiments with manual deposition of
deadwood in stretches with less riparian
forest have been suggested as potential
habitat restoration measures (Lindeman
2019, p. 33).
Stream channelization, point-bar
mining, and impoundments were
identified as potential threats in a report
issued prior to the Pascagoula map
turtle and Pearl River map turtle being
recognized as taxonomically distinct
(Service 2006, p. 2). Channel
modification is recognized as a cause of
decline in the ringed map turtle, a
sympatric endangered species
(Lindeman 1998, p. 137). Considerably
low densities of Pearl River map turtles
were observed in the lower reaches of
the Pearl River, where much
channelization and flow diversion has
occurred (Lindeman et al. 2020, pp. 178,
181).
Impoundment of rivers is a primary
threat to aquatic species in the
Southeast (Benz and Collins 1997,
unpaginated; Buckner et al. 2002,
entire). Dams modify habitat conditions
and aquatic communities both upstream
and downstream of an impoundment
(Winston et al. 1991, pp. 103–104;
Mulholland and Lenat 1992, pp. 193–
231; Soballe et al. 1992, pp. 421–474).
Upstream of dams, habitat is flooded,
and in-channel conditions change from
flowing to still water, with increased
depth, decreased levels of dissolved
oxygen, and increased sedimentation.
Sedimentation alters substrate
conditions by filling in interstitial
spaces between rocks that provide
habitat for many species (Neves et al.
1997, unpaginated). Downstream of
dams, flow regime fluctuates with
resulting fluctuations in water
temperature and dissolved oxygen
levels, the substrate is scoured, and
downstream tributaries are eroded
(Schuster 1997, unpaginated; Buckner et
al. 2002, unpaginated). Negative
‘‘tailwater’’ effects on habitat can extend
many kilometers downstream (Neves et
al. 1997, unpaginated). Dams fragment
habitat for aquatic species by blocking
corridors for migration and dispersal,
resulting in population geographic and
genetic isolation and heightened
susceptibility to extinction (Neves et al.
1997, unpaginated). Dams also preclude
the ability of aquatic organisms to
escape from polluted waters and
accidental spills (Buckner et al. 2002,
unpaginated).
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Damming of streams and springs is
extensive throughout the Southeast
(Etnier 1997, unpaginated; Morse et al.
1997, unpaginated; Shute et al. 1997,
unpaginated). Most Southeastern
streams are impacted by impoundment
(Shute et al. 1997, p. 458). Many streams
have both small ponds in their
headwaters and large reservoirs in their
lower reaches. Small streams on private
lands are regularly dammed to create
ponds for cattle, irrigation, recreation,
and fishing, with significant ecological
effects due to the sheer abundance of
these structures (Morse et al. 1997,
unpaginated). Small headwater streams
are increasingly being dammed in the
Southeast to supply water for
municipalities (Buckner et al. 2002,
unpaginated), and many Southeastern
springs have also been impounded
(Etnier 1997, unpaginated). Dams are
known to have caused the extirpation
and extinction of many Southeastern
species, and existing and proposed
dams pose an ongoing threat to many
aquatic species (Folkerts 1997,
unpaginated; Neves et al. 1997,
unpaginated; Service 2000, p. 15;
Buckner et al. 2002, unpaginated).
On the Pearl River, Ross Barnett
Reservoir was constructed between 1960
and 1963 and provides a water supply
for the City of Jackson, Mississippi, and
the associated area, as well as
recreational opportunities on the
33,000-acre (ac) (13,355 hectares (ha))
lake and the 17,000 ac (6,880 ha)
surrounding it (Pearl River Valley Water
Management District 2020, entire). A
total of 20.9 rmi (33.6 rkm) of the Pearl
River that was previously suitable
habitat is now submerged beneath the
Ross Barnett Reservoir (Lindeman et al.
2020, p. 173). The Ross Barnett
Reservoir has greatly reduced habitat
suitability of five percent of the
mainstem Pearl River by altering the
lotic (flowing water) habitat preferred by
Pearl River map turtles to lentic (lake)
habitat and fragmented the contiguous
habitat for the species. Low population
densities of Pearl River map turtles have
been observed upstream of the Ross
Barnett Reservoir, possibly due to
recreational boating and extended
recreational foot traffic or camping on
sandbars by reservoir visitors (Selman
and Jones 2017, pp. 32–34). Between the
late 1980s and early 2010s, notable
population declines also have been
observed in the stretch of the Pearl River
downstream of the Ross Barnett
Reservoir (north of Lakeland Drive), but
the exact reason for the decline is
unknown (Selman 2020b, p. 194).
Additionally, plans for new reservoirs
on the Pearl River both upstream and
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downstream of Jackson have been or are
being considered (Lindeman 2013, pp.
202–203). Up to 170 individual Pearl
River map turtles could be impacted by
the construction of the One Lake
Project, one of several proposed
impoundments (Selman 2020b, entire).
Agriculture—Agricultural land uses
occur across the Pearl River basin
(Service 2023, pp. 52–57). Some
agricultural practices degrade habitat by
eroding stream banks, resulting in
alterations to stream hydrology and
geomorphology. Nutrients, bacteria,
pesticides, and other organic
compounds are generally found in
higher concentrations in areas affected
by agriculture than in forested areas.
Contaminants associated with
agriculture (e.g., fertilizers, pesticides,
herbicides, and animal waste) can cause
degradation of water quality and
habitats through instream oxygen
deficiencies, excess nutrification, and
excessive algal growths. These, in turn,
alter the aquatic community
composition, shifting food webs and
stream productivity, forcing altered
behaviors, and even having sublethal
effects or outright killing individual
aquatic organisms (Petersen et al. 1999,
p. 6). These alterations likely have
direct (e.g., decreased survival or
reproduction or both) and indirect (e.g.,
loss, degradation, and fragmentation of
habitat) effects on the Pearl River map
turtle or its habitat.
Land conversion from agricultural
development may also reduce the
amount of adjacent riparian forest
available to produce deadwood; in
another megacephalic map turtle
species (Barbour’s map turtle), turtle
abundance decreased in areas where
adjacent riparian corridors had been
disturbed by agriculture, while the
abundance of the red-eared slider
(Trachemys scripta), a cosmopolitan
species, increased (Sterrett et al. 2011,
entire).
Pesticide application and use of
animal waste for soil amendment are
becoming common in many regions and
pose a threat to biotic diversity in
freshwater systems. Over the past two
decades, these practices have
corresponded with marked declines in
populations of fish and mussel species
in the Upper Conasauga River
watershed in Georgia and Tennessee
(Freeman et al. 2017, p. 419) that are
prey sources for the megacephalic
Alabama map turtle. Nutrient
enrichment of streams was widespread,
with nitrate and phosphorus exceeding
levels associated with eutrophication,
and hormone concentrations in
sediments were often above those
shown to cause endocrine disruption in
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fish, possibly reflecting widespread
application of poultry litter and manure
(Lasier et al. 2016, entire). Researchers
postulate that species declines observed
in the Conasauga watershed may be at
least partially due to hormones, as well
as excess nutrients and herbicide
surfactants (Freeman et al. 2017, p. 429).
Similar effects may be associated with
these practices in the Pearl River
watershed.
Development—The Pearl River map
turtle’s range includes areas of the Pearl
River that are adjacent to several urban
areas, including the Jackson,
Mississippi, metropolitan area where
urbanization is expected to increase, as
well as other areas within the Pearl
River basin that are expected to grow in
the future, including the cities of
Monticello and Columbia, Mississippi.
Urbanization is a significant source of
water quality degradation that can
reduce the survival of aquatic
organisms. Urban development can
stress aquatic systems and affect the
availability of prey items and suitable
habitat for aquatic turtles. In addition,
sources and risks of an acute or
catastrophic contamination event, such
as a leak from an underground storage
tank or a hazardous materials spill on a
highway or by train, increase as
urbanization increases.
Mining—The rapid rise in
urbanization and construction of
large-scale infrastructure projects are
driving increasing demands for
construction materials such as sand and
gravel. Rivers are a major source of sand
and gravel because transport costs are
low; river energy produces the gravel
and sand, thus eliminating the cost of
mining, grinding, and sorting rocks; and
the material produced by rivers tends to
consist of resilient minerals of angular
shape that are preferred for construction
(Koehnken et al. 2020, p. 363). Impacts
of sand and gravel mining can be direct
or indirect. Direct impacts include
physical changes to the river system and
the removal of gravel and floodplain
habitats from the system. Indirect
impacts include shifting of habitat types
due to channel and sedimentation
changes; changes in water quality,
which alter the chemical and physical
conditions of the system; and hydraulic
changes that can impact movement of
species and habitat availability, which
is vital for supporting turtle nesting and
basking activities.
Gravel mining is a major industry in
southeastern Louisiana, particularly
along the Bogue Chitto River, within the
range of the Pearl River map turtle
(Selman 2020a, p. 20). Instream and
unpermitted point-bar mining was
observed in the late 1990s and was the
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biggest concern for Graptemys species
in the Bogue Chitto River (Shively 1999,
pp. 10–11). Gravel mining is perhaps
still the greatest threat to the Pearl River
system in southeastern Louisiana,
particularly in the Bogue Chitto
floodplain where run-off and effluents
would affect river stretches downstream
of these point sources (Selman 2020a, p.
20). Gravel mining can degrade water
quality, increase erosion, and ultimately
impact movement and habitat quality
for aquatic species such as the Pearl
River map turtle (Koehnken et al. 2020,
p. 363). A recent comparison of aerial
imagery from the mid-1980s and late
1990s with images from 2019 revealed
increases in the distribution and
magnitude of gravel mines in the Bogue
Chitto River system, and recent surveys
have reported several areas where
mining appears to have degraded water
quality significantly (Selman 2020a, pp.
20–21, 40). Although Louisiana and
Mississippi have reduced the number of
gravel mining permits issued in those
States, mining in the floodplain
continues to be a significant threat to
the Pearl River map turtle.
Collection
According to a species expert,
collection of wild turtles in the Pearl
River system is probably occurring, and
similar to what has been observed in
other States, these turtles are likely
destined for the high-end turtle pet
trade in China and possibly other
Southeast Asian countries (Selman
2020a, p. 23). Information has been
documented from three different local
individuals, at three different locations,
concerning turtle bycatch or harvest in
local Louisiana waterways occupied by
Pearl River map turtles (Selman 2020a,
pp. 22–23). The specific species
captured were not documented;
however, it is likely that at least some
of these turtles were Pearl River map
turtles.
The Service manages information
related to species exports in the Law
Enforcement Management Information
System (LEMIS). According to a LEMIS
report from 2005 to 2022, more than 1.5
million turtles identified as Graptemys
spp. or their parts were exported from
the United States to 29 countries
(Service 2023, appendix B). Collection
is allowed in Mississippi with an
appropriate license through the State; a
person may possess and harvest from
the wild no more than 10 non-game
turtles per license year. No more than
four can be of the same species or
subspecies. It is illegal to harvest turtles
between April 1 and June 30 (see title
40 of the Mississippi Administrative
Code at part 5, rule 2.3 (‘‘Regulations
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Regarding Non-game Wildlife in Need of
Management’’)). In Louisiana, a
recreational basic fishing license is
required but allows unlimited take of
most turtle species, including the Pearl
River map turtle; exceptions are that no
turtle eggs or nesting turtles may be
taken (Louisiana Department of Wildlife
and Fisheries (LDWF) 2020a, pp. 50–
51). A recreational gear license is also
required for operating specified trap
types; for example, a recreational gear
license is required when operating five
or fewer hoop nets, but operating more
than five hoop nets requires a
commercial fisherman license (see
Louisiana Revised Statutes, title 56,
chapter 1, parts VI and VII, for details
on licensing requirements, trap types).
Climate Change
In the southeastern United States,
climate change is expected to result in
a high degree of variability in climate
conditions with more frequent drought,
more extreme heat (resulting in
increases in air and water temperatures),
increased heavy precipitation events
(resulting in increased flooding), more
intense storms (e.g., increased frequency
of major hurricanes), and rising sea level
and accompanying storm surge
(Intergovernmental Panel on Climate
Change (IPCC) 2023, entire). Warming in
the Southeast is expected to be greatest
in the summer, which is predicted to
increase drought frequency, while
annual mean precipitation is expected
to increase slightly, leading to increased
flooding events (IPCC 2023, entire;
Alder and Hostetler 2013, unpaginated).
The dual stressors of climate change
and direct human impact have the
potential to impact aquatic ecosystems
by altering stream flows and nutrient
cycles, eliminating habitats, and
changing community structure (Moore
et al. 1997, p. 942). Increased water
temperatures and alterations in stream
flow are the most likely climate change
effects that will impact stream
communities (Poff 1992, entire), and
each of these variables is strongly
influenced by land use patterns.
Increased urbanization may lead to
more impervious surfaces, increasing
runoff and flashiness of stream flows
(Nelson et al. 2009, pp. 156–159).
Increasing Temperatures—Climate
change may affect the viability of the
Pearl River map turtle through
temperature-dependent sex
determination (TSD) during embryo
development within buried nests. In
turtle species that exhibit TSD,
increasing seasonal temperatures may
result in skewed sex ratios among
hatchlings. This could be an important
factor as climate change drives
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increasing temperatures. Since male
map turtles develop at lower
temperatures than females, rising
temperatures during developmental
periods may result in sex ratios that are
increasingly female-biased; however,
microevolution of TSD thermal
sensitivity and the mother’s ability for
nest-site selection may partially mitigate
the impact of increasing temperatures
on sex determination of hatchlings
(Refsnider et al. 2016, entire). There are
approximately eight more nights per
year with a temperature above 70
degrees Fahrenheit (21.1 degrees
Celsius) in the southeastern United
States, with an additional 30 days per
year over 95 degrees Fahrenheit (37.8
degrees Celsius) projected into the
future with an additional 3.6-degree
Fahrenheit (2 degree Celsius) warming
(Marvel et al. 2023, pp. 2–18, 2–24).
Drought—The Pearl River map turtle
and its predominant prey species are
riverine obligates that require adequate
flow to complete their life cycles. Based
on down-scaled climate models for the
southeastern United States, the
frequency, duration, and intensity of
droughts are likely to increase in the
future (Keellings and Engstrom 2019,
pp. 4–6), limiting flow in the rivers and
streams occupied by the species and its
prey. Stream flow is strongly correlated
with important physical and chemical
parameters that limit the distribution
and abundance of riverine species
(Power et al. 1995, entire; Resh et al.
1988, pp. 438–439); as such, the
invertebrate prey of the Pearl River map
turtle may experience declines
associated with the effects of droughts
(Haag and Warren 2008, entire; Aspin et
al. 2019, entire). Additionally, turtles
may experience changes in sex ratio of
offspring, growth, and behavior because
of extreme or prolonged drought (Powell
et al. 2023, entire).
Sea-level Rise—The rate of global SLR
is accelerating and is currently
estimated to be about 0.14 inches (in)
(3.6 millimeters (mm)) per year
(National Oceanic and Atmospheric
Administration (NOAA) 2022,
unpaginated). It is estimated that sea
levels will rise at least 1 foot (ft) (0.3
meters (m)) above year 2000 levels by
the century’s end (NOAA 2022,
unpaginated). However, some research
suggests the magnitude may be far
greater than previously predicted due to
recent rapid ice loss from Greenland
and Antarctica (Rignot and
Kanagaratnam 2006, pp. 989–990).
Accounting for this accelerated melting,
sea level could rise upwards of 12 ft (3.7
m) higher in 2150 than it was in 2000
(NOAA 2022, unpaginated).
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SLR is likely to impact downstream
Pearl River map turtle populations
directly by reducing the quality and
quantity of available habitat through
increased salinity of the freshwater
system upstream from the Gulf of
Mexico (Service 2023, pp. 86–90). SLR
may also affect the salt marsh wetlands
at the mouth of the Pearl River,
deteriorating the protective effect of the
marsh in reducing saltwater intrusion.
Barrier islands off the coast may also be
submerged, resulting in loss of the
protections provided by the small land
masses that buffer the effects of
hurricanes and storms. Although some
species of Graptemys appear to handle
some salinity increases, there is
evidence that the group is largely
intolerant of brackish and saltwater
environments (Selman and Qualls 2008,
pp. 228–229; Selman et al. 2013, p.
1201; Lindeman 2013, pp. 396–397).
Hurricane Regime Changes; Increased
Intensity and Frequency—Since 1996,
the frequency of hurricane landfalls in
the southeastern United States has
increased, and that trend is predicted to
continue for some years into the future
(Goldenberg et al. 2001, p. 475; Emanuel
2005, entire; Webster et al. 2005, p.
1845). Increasing frequency of storms
and subsequent storm surges,
compounded with SLR, will likely
exacerbate saltwater intrusion into the
coastal river systems. Conditions that
result from storm surge that correspond
with high tides are amplified and
change the salinity of waters ever farther
upstream, negatively affecting
freshwater species that are not tolerant
of saline conditions, including map
turtles.
Hurricane Regime Changes; Increased
Precipitation and Flooding—While river
flooding under natural hydrologic
conditions is important for sandbar
construction and deposition of basking
structure (Dieter et al. 2014, pp. 112–
117), an increase in hurricane frequency
and stochastic catastrophic floods could
cause an increase in nest mortality.
Climate change will continue affecting
the species into the future, with chronic
and acute exposure to the resulting
changes in its aquatic and terrestrial
habitats over time.
Additional Stressors
Additional stressors that affect the
Pearl River map turtle that are not well
studied or considered major threats to
the species’ viability include disease,
contaminants, and persecution by
humans. Some of the contaminants
include pesticides (e.g., herbicides and
insecticides) and heavy metals. The
culmination of stress due to disease and
chronic exposure to contaminants may
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exacerbate the effects of the other
threats on individuals. Wanton shooting
of turtles has been documented for
Graptemys species and may impact
populations (Lindeman 1998, p. 137;
Service 2006, p. 2); however, this action
often goes unreported and is thus
difficult to study and/or quantify.
Conservation Efforts and Regulatory
Mechanisms
Existing regulatory mechanisms that
protect the Pearl River map turtle
include Federal and State protections of
the species and its habitat.
Federal
The Clean Water Act of 1972 (33
U.S.C. 1251 et seq.) regulates dredge and
fill activities that would adversely affect
wetlands. Such activities are commonly
associated with dry land projects for
development, flood control, and land
clearing, as well as for water-dependent
projects such as docks/marinas and
maintenance of navigational channels.
The U.S. Army Corps of Engineers
(Corps) and the Environmental
Protection Agency (EPA) share the
responsibility for implementing the
permitting program under section 404 of
the Clean Water Act. Permit review and
issuance follows a process that
encourages avoidance, minimizing and
requiring mitigation for unavoidable
impacts to the aquatic environment and
habitats. This includes protecting the
riverine habitat occupied by the Pearl
River map turtle. This law has resulted
in some enhancement of water quality
and habitat for aquatic life, particularly
by reducing point-source pollutants.
The EPA’s regulatory mechanisms have
improved water quality within the Pearl
River drainage, as evidenced by a
resurgence of intolerant fishes (Wagner
et al. 2018, p. 13). Because the Pearl
River map turtle has a greater tolerance
for variances in water quality compared
to intolerant fishes, these regulatory
mechanisms provide protection for the
species and its habitat from the threat of
water quality degradation; however,
there are instances where sources
exceed EPA thresholds and degrade
water quality (Mississippi Department
of Environmental Quality 2019, entire).
Additionally, Federal agencies are
required to evaluate the effects of their
discretionary actions on federally listed
species and must consult with the
Service if a project may affect a species
listed under the Endangered Species
Act. Such discretionary Federal actions
within the Pearl River map turtle’s
habitat that may affect other listed
species include: maintenance dredging
for navigation in the lower Pearl River
by the Corps and their issuance of
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section 404 Clean Water Act permits;
construction and maintenance of gas
and oil pipelines and power line rightsof-way by the Federal Energy Regulatory
Commission; EPA pesticide registration;
construction and maintenance of roads
or highways by the Federal Highway
Administration; and funding of various
projects administered by the U.S.
Department of Agriculture’s Natural
Resources Conservation Service and the
Federal Emergency Management
Agency. Section 7 consultations on
other federally listed aquatic species are
known to frequently require and
recommend Federal agencies implement
conservation measures, best
management practices, and other
actions that may also minimize or
eliminate potential harmful effects on
the Pearl River map turtle and
encourage best management practices
for all aquatic species. Accordingly,
requirements under section 7 of the Act
may provide some protections indirectly
to the Pearl River map turtle and its
habitat.
National Wildlife Refuges
The National Wildlife Refuge System
Administration Act (NWRAA; 16 U.S.C.
668dd et seq.) represents organic
legislation that set up the administration
of a national network of lands and water
for the conservation, management, and
restoration of fish, wildlife, and plant
resources and their habitats for the
benefit of the American people that is
managed by the Service. Conservationminded management of public lands
allows for: (1) natural processes to
operate freely, and thus changes to
habitat occur due to current and future
environmental conditions; (2) managing
the use of resources and activities,
which minimizes impacts; (3)
preservation and restoration to maintain
habitats; and (4) reduction of the
adverse physical impacts from human
use. Amendment of the NWRAA in
1997 (Pub. L. 105–57) required the
refuge system to ensure that the
biological integrity, diversity, and
environmental health of refuges be
maintained.
The Pearl River map turtle occurs on
the Bogue Chitto National Wildlife
Refuge within Pearl River County,
Mississippi, and St. Tammany and
Washington Parishes, Louisiana. A
comprehensive conservation plan (CCP)
has been developed to provide the
framework of fish and wildlife
management on the refuge (Service
2011, entire). Within the CCP, specific
actions are described to protect the
ringed map turtle that will also benefit
the Pearl River map turtle. Actions
include ongoing habitat management to
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provide downed woody debris for
basking turtles and to maintain 330-ft
(100.6-m) buffers along all named
streams during forest habitat
improvement and harvest to protect
water quality in streams (Service 2011,
pp. 21, 73, 89, 179).
National Forests
The National Forest Management Act
of 1976 (16 U.S.C. 1600 et seq.) provides
standards for National Forest
management and planning to protect the
designated forest lands while
maintaining viable populations of
existing native and desired nonnative
vertebrate species. The 2012 Planning
Rule (77 FR 21162; April 9, 2012)
requires that the U.S. Forest Service
develop land management plans for all
units within the National Forest system.
The National Forests in Mississippi
have adopted, and in most cases
exceeded, the best management
practices (BMPs) established by the
State of Mississippi (U.S. Forest Service
2014, p. 66) (see discussion below of
State BMPs). These measures include
practices such as establishing
streamside buffer zones, restricting
vegetation management in riparian
zones, and employing erosion control
measures. The Bienville National Forest
has no known records for the Pearl
River map turtle but contains tributaries
that flow into the Pearl and Strong
Rivers; thus, these practices may
provide some protective measures for
habitat occupied by the species
downstream. The regulations and
practices applied across the National
Forests upstream from Pearl River map
turtle habitat provide protections for the
species’ aquatic habitat and contribute
to the conservation of the species.
Department of Defense Integrated
Natural Resources Management Plans
The Sikes Act Improvement Act of
1997 (Pub. L. 105–85) led to Department
of Defense guidance regarding
development of integrated natural
resources management plans (INRMPs)
for promoting environmental
conservation on military installations.
The U.S. Navy operates the Stennis
Western Maneuver Area located along
the western edge of the National
Aeronautics Space Administration
Stennis Space Center and incorporated
into the Stennis Space Center Buffer
Zone. The Stennis Western Maneuver
Area encompasses a 4-mi reach of the
East Pearl River and a smaller eastern
tributary named Mikes River in Hancock
and Pearl River Counties, Mississippi
(Buhlman 2014, p. 4). These river
reaches are used by the U.S. Navy’s
Construction Battalion Center for
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riverboat warfare training. The western
bank of the East Pearl River denotes the
boundary of the U.S. Navy property and
is managed as the Pearl River Wildlife
Management Area by the State of
Louisiana (see discussion below under
State Protections, ‘‘Louisiana’’). Based
on known records of the Pearl River
map turtle, the U.S. Navy has developed
an INRMP for the Stennis Western
Maneuver Area (Buhlman 2014, pp. 11–
12, 31–32; U.S. Navy 2011, entire).
Measures within the INRMP are
expected to protect listed species and
the Pearl River map turtle, and include
erosion and storm water control,
floodplain management, invasive plant
species management, and the use of an
ecosystem approach to general fish and
wildlife management (U.S. Navy 2011,
pp. 4–4–4–20).
International Protections
Convention on International Trade in
Endangered Species of Wild Fauna and
Flora, Appendix III
All species of Graptemys were
included on the Convention on
International Trade in Endangered
Species of Wild Fauna and Flora’s
(CITES) Appendix III in 2005 (CITES
2019, p. 43; 70 FR 74700, December 16,
2005). In 2023, all megacephalic map
turtles, including the Pearl River map
turtle, were upgraded to CITES
Appendix II (CITES 2023, p. 46).
Appendix II includes species that,
although not necessarily now threatened
with extinction, may become so unless
trade in them is strictly controlled.
Appendix II also includes species that
must be subject to regulation in order
that trade in other CITES-listed species
may be brought under effective control.
Such ‘‘look alike’’ inclusions usually are
necessary because of the difficulty
inspectors have at ports of entry or exit
in distinguishing one species from other
species.
State Protections
Louisiana
The species has no State status under
Louisiana regulations or law (LDWF
2021, entire). In Louisiana, a
recreational basic fishing license is
required but allows unlimited take of
most species of turtles, including the
Pearl River map turtle; exceptions are
that no turtle eggs or nesting turtles may
be taken (LDWF 2020, pp. 50–51). A
recreational gear license is also required
for operating specified trap types; for
example, a recreational gear license is
required when operating five or fewer
hoop nets, but operating more than five
hoop nets requires a commercial
fisherman license (see Louisiana
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Revised Statutes, title 56, chapter 1,
parts VI and VII, for details on licensing
requirements, trap types).
The Louisiana Scenic Rivers Act
(1988; see Louisiana Revised Statutes,
title 56, chapter 8, part II) was
established as a regulatory program
administered by the Louisiana
Department of Wildlife and Fisheries
(LDWF) through a system of regulations
and permits. Rivers with the natural and
scenic river designation that are
occupied by the Pearl River map turtle
include the Bogue Chitto River, Holmes
Bayou, and West Pearl River in St.
Tammany Parish and Pushepatapa
Creek in Washington Parish (Louisiana
Department of Agriculture and Forestry
(LDAF) undated, p. 48). Certain actions
that may negatively affect the Pearl
River map turtle are either prohibited or
require a permit on rivers included on
the State’s natural and scenic river list.
Prohibited actions include
channelization, channel realignment,
clearing and snagging, impoundments,
and commercial clearcutting within 100
ft (30.5 m) of the river low water mark
(LDAF undated, p. 45). Permits are
required for river crossing structures,
bulkheads, land development adjacent
to the river, and water withdrawals
(LDAF undated, p. 45).
Additional protected areas of Pearl
River map turtle habitat in Louisiana
include the Pearl River Wildlife
Management Area located in St.
Tammany Parish and Bogue Chitto State
Park located on the Bogue Chitto River
in Washington Parish. A master plan for
management of Wildlife Management
Areas and State Refuges has been
developed for Louisiana, which
describes the role of these lands in
improving wildlife populations and
their habitats, including identifying and
prioritizing issues threatening wildlife
resources (LDWF and The Conservation
Fund 2014, entire). Bogue Chitto State
Park is managed by the Louisiana
Department of Culture, Recreation, and
Tourism for public use.
The Louisiana State Comprehensive
Wildlife Action Plan was developed as
a roadmap for nongame conservation in
Louisiana (Holcomb et al. 2015, entire).
The primary focus of the plan is the
recovery of ‘‘species of greatest
conservation need’’ (SGCN), those
wildlife species in need of conservation
action within Louisiana, which includes
the Pearl River map turtle. Specific
actions identified for the Pearl River
map turtle include conducting
ecological studies of the turtle’s
reproduction, nest success, and
recruitment, as well as developing
general population estimates via mark
and recapture studies (Holcomb et al.
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2015, p. 69). Recent Pearl River map
turtle survey work in Louisiana was
conducted using funding from the State
Wildlife Grants (SWG) program (Selman
2020a, entire).
Gravel mining activities that occur
within Louisiana require review and
permits by Louisiana Department of
Environmental Quality. Additional
permits are required by LDWF for any
mining activities that occur within
designated scenic streams in Louisiana.
The permit requirements ensure all
projects are reviewed and approved by
the State, thus ensuring oversight by the
State and application of State laws.
Mississippi
The Pearl River map turtle is ranked
as S2 (imperiled because of rarity or
because of some factor making it very
vulnerable to extinction) in Mississippi
(Mississippi Museum of Natural Science
(MMNS) 2015, p. 38) but is not listed on
the Mississippi State list of protected
species (Mississippi Natural Heritage
Program 2015, entire). Protections under
State law are limited to licensing
restrictions for take for personal use of
nongame species in need of
management (which includes native
species of turtles). A Mississippi
resident is required to obtain one of
three licenses for capture and
possession of Pearl River map turtles
(Mississippi Commission on Wildlife,
Fisheries, and Parks, Mississippi
Department of Wildlife, Fisheries, and
Parks (MDWFP) 2016, pp. 3–5). The
three licenses available for this purpose
are a Sportsman License, an All-Game
Hunting/Freshwater Fishing License,
and a Small Game Hunting/Freshwater
Fishing License. A nonresident would
require a Nonresident All Game Hunting
License. Restrictions on take for
personal use include that no more than
four turtles of any species or subspecies
may be possessed or taken within a
single year and that no turtles may be
taken between April 1 and June 30
except by permit from the MDWFP
(Mississippi Commission on Wildlife,
Fisheries, and Parks, MDWFP 2016, pp.
3–5; see also title 40 of the Mississippi
Administrative Code at part 5, rule 2.3
(‘‘Regulations Regarding Non-game
Wildlife in Need of Management’’)).
Additional restrictions apply to this
species if removed from the wild; nongame wildlife or their parts taken from
wild Mississippi populations may not
be bought, possessed, transported,
exported, sold, offered for sale, shipped,
bartered, or exhibited for commercial
purposes.
The Mississippi Comprehensive
Wildlife Action Plan (MMNS 2015,
entire) was developed to provide a
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guide for effective and efficient longterm conservation of biodiversity in
Mississippi. As in Louisiana, the
primary focus of the plan is on the
recovery of species designated as SGCN,
which includes the Pearl River map
turtle. Specific actions identified for the
Pearl River map turtle in Mississippi
include planning and conducting status
surveys for the species (MMNS 2015, p.
686).
Lands managed for wildlife by the
State of Mississippi, which may provide
habitat protections for the Pearl River
map turtle, include the Old River
Wildlife Management Area in Pearl
River County and the Pearl River
Wildlife Management Area in Madison
County. In addition, a ringed map turtle
sanctuary was designated in 1990 by the
Pearl River Valley Water Supply District
(District), north of the Ross Barnett
Reservoir, Madison County, which also
provides habitat for the Pearl River map
turtle. One of the goals of management
on Wildlife Management Areas in
Mississippi is to improve wildlife
populations and their habitats (MDWFP
2020, entire). The District sanctuary is
approximately 12 river miles (rmi) (19.3
river kilometer (rkm)) north from Ratliff
Ferry to Lowhead Dam on the Pearl
River (Service 2010, p. 4). Within the
sanctuary, the District maintains
informational signs to facilitate public
awareness of the sanctuary and of the
importance of the area to the species
and conducts channel maintenance by
methods that do not hinder the
propagation of the species. The District
has recorded a notation on the deed of
the property comprising the sanctuary
area that will in perpetuity notify
transferees that the sanctuary must be
maintained in accordance with the
stated provisions (Service 2010, p. 4).
Additionally, gravel mining activities
that occur within Mississippi require
review and permits by Mississippi
Department of Environmental Quality.
The permit requirements ensure all
projects are reviewed and approved by
the State, thus ensuring oversight by the
State and application of State laws.
U.S. Fish and Wildlife State Wildlife
Grants
In 2000, the State Wildlife Grants
(SWG) Program was created through the
Fiscal Year 2001 Interior Appropriations
Act (Pub. L. 106–291) and provided
funding to States for the development
and implementation of programs for the
benefit of wildlife and their habitat,
including species that are not hunted or
fished. The SWG Program is
administered by the Service and
allocates Federal funding for proactive
nongame conservation measures
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nationwide. Congress stipulated that
each State fish and wildlife agency that
wished to participate in the SWG
program develop a Wildlife Action Plan
to guide the use of SWG funds (see
discussion above regarding the plans
developed by the States of Louisiana
and Mississippi). This program funds
studies that assist conservation by
providing needed information regarding
the species or its habitat and has
contributed to the conservation of the
species by assessing the current status
and range of the Pearl River map turtle.
Additional Conservation Measures—
Forest Management Best Management
Practices
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Most of the land adjacent to the Pearl
River and Bogue Chitto River in
Louisiana and Mississippi is privately
owned and much of it is managed for
timber. Both States have developed
voluntary best management practices
(BMPs) for forestry activities conducted
in their respective States with the intent
to protect water quality and minimize
the impacts to plants and wildlife. In
addition, the forest industry has several
forest certification programs, such as the
Sustainable Forestry Initiative, which
require participating landowners to
meet or exceed State forestry BMPs.
Silvicultural practices implemented
with State-approved BMPs can reduce
negative impacts to aquatic species,
including turtles, through reductions in
nonpoint source pollution, such as
sedimentation. Although nonpoint
source pollution is a localized threat to
the Pearl River map turtle, it is less
prevalent in areas where State-approved
BMPs are used (Service 2023, pp. 41–
42).
In Louisiana, BMPs include
streamside management zones (SMZ) of
50 ft (15.24 m), measured from the top
of the streambank, for streams less than
20 ft (6.1 m) wide during estimated
normal flow, to a width of 100 ft (30.5
m) for streams more than 20 ft (6.1 m)
wide (LDAF undated, p. 15). Guidance
includes maintaining adequate forest
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canopy cover for normal water and
shade conditions as well as an
appropriate amount of residual cover to
minimize soil erosion (LDAF undated,
p. 14). An overall rate of 97.4 percent of
204 forestry operations surveyed by the
LDAF in 2018 complied with the State’s
voluntary guidelines; compliance with
guidelines in SMZs was 98.6 percent
(LDAF 2018, entire).
The State of Mississippi has voluntary
BMPs developed by the Mississippi
Forestry Commission (MFC) (MFC 2008,
entire). These BMPs include SMZs with
the purpose of maintaining bank
stability and enhancing wildlife habitat
by leaving 50 percent crown cover
during timber cuts (MFC 2008, p. 6).
The width of SMZs is based on slope,
with a minimum SMZ width of 30 ft
(9.14 m) extending to 60 ft (18.3 m) at
sites with more than 40 percent slope
(MFC 2008, p. 6). The most recent
monitoring survey of 174 Mississippi
forestry sites indicated that 95 percent
of applicable sites were implemented in
accordance with the 2008 guidelines
(MFC 2019, p. 6).
Overall, voluntary BMPs related to
forest management activities conducted
on private lands throughout the riparian
corridor of the Pearl River drainage have
provided a significant foothold for Pearl
River map turtle conservation. As a
result of high BMP compliance in these
specific areas, nonpoint source
pollution associated with forest
management practices is not a major
contributor to impacts on the species.
Cumulative/Synergistic Effects
The Pearl River map turtle uses both
aquatic and terrestrial habitats that may
be affected by activities along the Pearl
River drainage. Ongoing and future
stressors that may contribute to
cumulative effects include habitat
fragmentation, genetic isolation,
invasive species, disease, climate
change, and impacts from increased
human interactions due to human
population increases. When considering
the compounding and synergistic effects
acting on the species, the resiliency of
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57219
the analysis units will be further
reduced in the future.
We note that, by using the SSA
framework to guide our analysis of the
scientific information documented in
the SSA report, we have analyzed the
cumulative effects of identified threats
and conservation actions on the species.
To assess the current and future
condition of the species, we evaluate the
effects of all the relevant factors that
may be influencing the species,
including threats and conservation
efforts. Because the SSA framework
considers not just the presence of the
factors, but to what degree they
collectively influence risk to the entire
species, our assessment integrates the
cumulative effects of the factors and
replaces a standalone cumulative-effects
analysis.
Current Condition
The current condition of the Pearl
River map turtle is described in terms of
population resiliency, redundancy, and
representation across the species. The
analysis of these conservation principles
to understand the species’ current
viability is described in more detail in
the Pearl River map turtle SSA report
(Service 2023, pp. 43–69) and in the
proposed listing rule (86 FR 66624;
November 23, 2021).
Resiliency
In order to analyze the species’
resiliency, we delineated the species
into five resiliency units that represent
groups of interbreeding individuals:
Upper Pearl, Middle Pearl-Silver,
Middle Pearl-Strong, Bogue Chitto, and
Lower Pearl (figure 1, below).
Historically, the majority of the species’
range was likely a single, connected
biological population prior to the
fragmentation due to the construction of
the Ross Barnett Reservoir; however, we
delineated five different units to more
accurately describe trends in resiliency,
forecast future resiliency, and capture
differences in stressors between the
units.
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Pearl River Map Turtle (Graptemys pearlensis) Distribution
AL
LA
Legend
D State Boundaries
1111 Resilience Units
1
2
3
4
5
Upper Pearl
Middle Pearl-Strong
Middle Pearl-Silver
Lower Pearl
Bogue Chitto
O
I
14.5 29 Miles
•
,
,
1
1 inch = 28 miles
1 centimeter= 18 kilometers - - - - - ~ - - - -
The factors used to assess current
resiliency of Pearl River map turtle
resilience units include two population
factors and four habitat factors. The
population factors we assessed were (1)
occupancy in mainstems and tributaries
and (2) density and abundance. The
habitat factors we assessed were (a)
water quality, (b) forested riparian
cover, (c) protected land, and (d)
presence of channelization/reservoirs/
gravel mining. These population and
habitat factors are collectively described
as resiliency factors.
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For a given population to be resilient,
the species must be present in the
mainstem and a high proportion of
tributaries within a unit, as well as
having moderate to high population
densities. Furthermore, although
relative abundance of the Pearl River
map turtle is typically much higher
within mainstem reaches, presence of
the species within tributary systems can
contribute to resiliency by increasing
the number of occupied miles of stream
within a given unit, and also by
providing refugia from catastrophic
events, such as chemical spills or
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flooding. In order to assess occupied
tributaries, we used survey data
collected from 2005–2020. These data
were collected by several different
observers through a variety of survey
types, including bridge surveys, basking
surveys, and live trapping.
The influence of stochastic variation
in demographic (reproductive and
mortality) rates is much higher for small
populations than large ones. For small
populations, this stochastic variation in
demographic rates can lead to a greater
probability that fluctuations will lead to
extinction. There are also genetic
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Figure 1. Pearl River map turtle range map distributed across the Pearl River basin. A
total of one population within five resilience units (HUC-8 watersheds) is currently
considered extant.
Federal Register / Vol. 89, No. 134 / Friday, July 12, 2024 / Rules and Regulations
concerns with small populations,
including reduced availability of
compatible mates, genetic drift, and low
genetic diversity or inbreeding
depression. Small populations of Pearl
River map turtles inherently have low
resilience, leaving them particularly
vulnerable to stochastic events. In 2020,
the global population was estimated to
be 21,841 individuals, with 61 percent
occurring on mainstem reaches, 34
percent occurring in 4 large tributaries,
and the remaining 5 percent spread
amongst other smaller tributaries
(Lindeman et al. 2020, p. 174). Based on
basking density surveys and on results
of point counts, each river drainage was
divided into river reaches that were
categorized as high, moderate, low, and
very low density (Service 2023, p. 50).
After determining the occupied status
of mainstem reaches and tributaries, and
the density classes of the mainstem
reaches and tributaries, the population
factor score for each resilience unit
resulted in three moderate (Bogue
Chitto, Middle Pearl-Strong, and Upper
Pearl) and two low (Lower Pearl and
Middle-Pearl Silver) conditions. The
overall habitat factor score for each
resiliency unit resulted in low condition
for two units (Bogue Chitto and Lower
Pearl) and moderate condition for three
units (Middle Pearl-Silver, Middle
Pearl-Strong, and Upper Pearl).
Additional details and methodologies
for determining each habitat condition
score are described in the SSA report
(Service 2023, pp. 51–64).
After evaluating the population and
habitat factors together, we determined
the overall current resiliency of each
unit: two units have low resiliency
(Middle Pearl-Silver and Lower Pearl),
and three units have moderate
resiliency (Bogue Chitto, Middle PearlStrong, and Upper Pearl) (table 1,
below). The Lower Pearl unit seems
particularly vulnerable, as both the
population and habitat composite scores
were low. The Lower Pearl has
significant channelization issues, low
amounts of protected land, and a low
density of individual turtles, all of
which are driving the low resilience of
this unit. Although the Middle PearlSilver unit scored moderate for overall
habitat score, the low population score
(mainly a function of the lack of
occupied tributaries) is driving the low
57221
resilience of this unit. Additional details
and methodologies for determining the
overall current resiliency of each unit
are described in the SSA report (Service
2023, pp. 45–66).
When looking at the three units with
moderate resiliency, the Middle PearlStrong and Bogue Chitto units appear to
be vulnerable to further decreases in
resiliency. For the Bogue Chitto unit,
moderate densities of Pearl River map
turtle populations are present within 40
percent of surveyed (occupied)
tributaries, although low amounts of
protected land and substantial gravel
mining activity make this unit
vulnerable. For the Middle Pearl-Strong,
moderate population densities are
present within 50 percent of surveyed
tributaries, but development in the
Jackson area and the presence of the
Ross Barnett Reservoir make this unit
vulnerable. If development increases
substantially in this unit, or if proposed
reservoir projects (One Lake) move
forward, it is likely there would be
population-level impacts that would
drop the resiliency to low in the future
conditions.
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TABLE 1—CURRENT RESILIENCY OF PEARL RIVER MAP TURTLE UNITS BASED ON COMPOSITE HABITAT AND POPULATION
FACTORS
Resiliency unit
Composite habitat score
Composite population score
Bogue Chitto ..................................
Lower Pearl ....................................
Middle Pearl-Silver .........................
Middle Pearl-Strong .......................
Upper Pearl ....................................
Low ...............................................
Low ...............................................
Moderate .......................................
Moderate .......................................
Moderate .......................................
Moderate .......................................
Low ...............................................
Low ...............................................
Moderate .......................................
Moderate .......................................
Redundancy
Redundancy refers to the ability of a
species to withstand catastrophic events
and is measured by the amount and
distribution of sufficiently resilient
populations across the species’ range.
Catastrophic events that could severely
impact or extirpate entire Pearl River
map turtle units include chemical spills,
changes in upstream land use that alter
stream characteristics and water quality
downstream, dam construction with a
reservoir drowning lotic river habitat
and further fragmenting contiguous
aquatic habitat, and potential effects of
climate change such as rising
temperatures and SLR.
The Middle Pearl-Silver unit is the
most vulnerable to a catastrophic landbased spill due to transportation via
train or automobile, and there are no
known occupied tributaries at this time.
However, across the range of the Pearl
River map turtle, extant units of the
species are distributed relatively widely,
and several of those units have
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moderate resilience; thus, it is highly
unlikely that a catastrophic event would
impact the entire species’ range. As the
species occurs in multiple tributaries
and all units, the Pearl River map turtle
has a high potential of withstanding
catastrophic events; therefore, the
species exhibits a moderate-high degree
of redundancy.
Representation
Representation refers to the breadth of
genetic and environmental diversity
within and among populations that
allows for adaptive capacity of the
species; this influences the ability of a
species to adapt to changing
environmental conditions over time.
Differences in life-history traits, habitat
features, and/or genetics across a
species’ range often aid in the
delineation of representative units,
which are used to assess species
representation. The species is described
as consisting of a single representative
unit due to the lack of genetic
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Current resilience
Moderate.
Low.
Low.
Moderate.
Moderate.
structuring across the range; the limited
genetic diversity may reduce the ability
of the species to adapt to changing
conditions (Pearson et al. 2020, entire).
However, there are habitat differences
for the Strong River and we recognize
the potential importance of that system
to the adaptive capacity of the species.
In summary, the current condition of
the Pearl River map turtle is described
using resiliency, redundancy, and
representation. We assessed current
resiliency as a function of two
population factors (occupied tributaries
and density) and four habitat factors
(water quality, protected areas,
deadwood abundance, and reservoirs/
channelization) for each resiliency unit.
Based on these factors, there are two
units with low resiliency (Lower Pearl
and Middle Pearl-Silver) and three units
with moderate resiliency (Upper Pearl,
Middle Pearl-Strong, and Bogue Chitto);
no units were assessed as highly
resilient. Because three of the five units
are classified as moderately resilient,
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and those units are distributed relatively
widely, the Pearl River map turtle
exhibits a moderate-high degree of
redundancy (i.e., it has a high potential
of withstanding catastrophic events).
Even with the unique habitat in the
Strong River, we recognize only a single
representative unit based on low genetic
variation. The wide distribution within
the five resilience units across the range
provides sufficient adaptive capacity to
adapt to changing environmental
conditions.
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Future Conditions
The viability of the Pearl River map
turtle in the future is based on the
threats that are acting on the species and
the species’ response to those threats in
light of conservation efforts or other
actions that may benefit the species or
its habitat. We consider plausible
scenarios using the best available
scientific and commercial data for
developing each scenario. We describe
the future conditions of the species by
forecasting the species’ response to
plausible future scenarios of varying
environmental conditions and
ameliorating conservation efforts, and
then considered the impact these
influences could have on the viability of
the Pearl River map turtle. The
scenarios described in the SSA report
represent six plausible future conditions
for the species (Service 2023, pp. 74–
76). The scenarios include land use
changes and SLR in a matrix to
determine the effects of both factors to
each unit. We then considered future
water engineering projects for each
matrix and determined the resiliency of
each unit based on whether the project
is installed or not. All six scenarios
were projected out to two different time
steps: 2040 (∼20 years) and 2070 (∼50
years). These timeframes are based on
input from species experts, generation
time for the species, and the confidence
in predicting patterns of urbanization
and agriculture. Confidence in how
these land uses will interact with the
species and its habitat diminishes
beyond 50 years. The scenarios only
considered threats for which there were
available data. We assume that other
threats will continue, such as collection
from the wild and impacts from climate
change.
We continue to apply the concepts of
resiliency, redundancy, and
representation to the future scenarios to
describe possible future conditions of
the Pearl River map turtle and
understand the overall future viability
of the species. When assessing the
future, viability is not a specific state,
but rather a continuous measure of the
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likelihood that the species will sustain
populations in the wild over time.
Using the best available information
regarding the factors influencing the
species’ viability in the future, we
considered the following factors to
inform the future resiliency of the five
units: (1) changes in land use/water
quality, (2) SLR, and (3) future water
engineering projects.
We considered projected land-use
changes related to agricultural and
developed land in assessing future
resilience of each unit for the Pearl
River map turtle. We consider these
land use classes as surrogates for
potential changes in water quality, a
primary risk factor for the species. We
used data available at the resiliency unit
scale from the U.S. Geological Survey
(USGS) Forecasting Scenarios of Landuse Change (FORE–SCE) modelling
framework (USGS 2017, unpaginated) to
characterize nonpoint source pollution
(i.e., from development and agriculture).
The FORE–SCE model provides
spatially explicit historical, current, and
future projections of land use and land
cover. Four scenarios were modeled,
corresponding to four major scenario
storylines from the Intergovernmental
Panel on Climate Change (IPCC) Special
Report on Emissions Scenarios (SRES)
(IPCC 2000, pp. 4–5). The global IPCC
SRES (A1B, A2, B1, and B2 scenarios)
were downscaled to ecoregions in the
conterminous United States with the
USGS FORE–SCE model used to
produce landscape projections
consistent with the IPCC SRES. The
land-use scenarios focused on
socioeconomic impacts on
anthropogenic land use (e.g.,
demographics, energy use, agricultural
economics, and other socioeconomic
considerations). For the A1B, A2, B1,
and B2 scenarios, we used two time
steps (2040 and 2070), with the A2Extreme-One Lake project scenarios
representing the highest threat scenario,
the B1-Intermediate High-No One Lake
project scenario the lowest threat
scenario, and the other four scenarios
representing moderate threat scenarios.
Sea-level rise impacts the future
resiliency of Pearl River map turtles
directly through loss/degradation of
habitat. To estimate habitat loss/
degradation due to inundation from
SLR, we used National Oceanic and
Atmospheric Administration (NOAA)
shapefiles available at their online SLR
viewer (NOAA 2020, unpaginated). We
used projections corresponding to the
representative concentration pathways
(RCP) of RCP6 (intermediate-high) and
RCP8.5 (extreme). We found the average
SLR estimate for the intermediate-high
and extreme NOAA scenarios to project
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estimated habitat loss at years 2040 and
2070. If SLR estimates overlap with
known occupied portions of the river
system, we assume that area is no longer
suitable or occupiable; thus, resiliency
would decrease.
SLR is occurring, but the rate at which
it continues is dependent on the
different atmospheric emissions
scenarios. In the next 20 years, sea
levels are estimated to rise 1 ft (0.30 m)
to 2 ft (0.61 m), and by 2070, a 3-ft (0.91m) to 5-ft (1.52-m) rise in sea levels is
projected for the lower and higher
emissions scenarios. The effects of SLR
and saltwater intrusion are exacerbated
with storm surge and high tides. Pulses
of saltwater from increased storm
frequency and intensity, coupled with
SLR, can have direct effects on
freshwater habitats and species that are
not salt-tolerant.
As noted above, water engineering
projects that convert free-flowing rivers
to lentic habitats negatively affect the
species. The proposed One Lake project
proposes a new dam and commercial
development area 9 miles (mi) (14.5
kilometer (km)) south of the current
Ross Barnett Reservoir Dam near
Interstate 20. However, the One Lake
project is still being debated, and there
is uncertainty as to whether the project
will proceed. Because of this
uncertainty, we have created two
scenarios based around the proposed
One Lake project: One in which the
project occurs, and one in which it does
not, within the next 50 years. Because
of the potential for negative impacts on
Pearl River map turtles from the
proposed One Lake project, we assume
a decrease in resiliency of the Middle
Pearl-Strong unit if the project moves
forward.
We do not assess population factors
(occupancy of tributaries and density) in
our future conditions analysis because
the data are not comparable through
time or space; the baseline data come
from recent surveys, and no historical
data are available to allow for analyses
of trends or comparisons over time.
Additionally, we assume the amount of
protected land within each unit stays
the same within our projection
timeframes, although it is possible that
additional land could be converted to a
protected status or lands could degrade
over time. Rather than attempting to
categorize future resiliency as was done
in the current condition analysis, we
indicate a magnitude and direction of
anticipated change in resiliency of Pearl
River map turtle units.
Scenario Descriptions
Scenarios were built around three
factors: land use, SLR, and water
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engineering projects. To present
plausible future conditions for the
species and to assess the viability for the
Pearl River map turtle in response to
those conditions, we projected two land
use and two SLR scenarios out to the
years 2040 (∼20 years) and 2070 (∼50
years). Additional details regarding the
scenario descriptions can be found in
the SSA report (Service 2023, pp. 73–
75) and the proposed listing rule (86 FR
66624; November 23, 2021).
Future Resiliency
Bogue Chitto—Under all scenarios,
development remains low across the
Bogue Chitto unit. Agriculture is high
across the entire unit in all scenarios,
except for the B1 scenario in the year
2070, where agriculture is moderate.
Forested cover is relatively high across
the unit under all scenarios; thus,
deadwood does not appear to be a
limiting factor. There are no predicted
SLR impacts or water engineering
projects directly affecting this unit.
There is uncertainty regarding future
impacts related to mining activity,
which has the potential to further
reduce resiliency. However, the effects
of past and current mining activities
have already altered the Bogue Chitto by
degrading both habitat and water quality
(Service 2023, p. 31). It is likely that this
unit maintains a moderate resilience
over the next 50 years according to all
future scenarios.
Lower Pearl—SLR impacts this unit
under all scenarios, although the
impacts of inundation are localized to
the southern portion of the unit, mainly
in the East Pearl River. Under the A2
scenarios, a few streams are impacted by
high levels of development, although
most of the unit has low levels of
development; under the B1 scenarios,
development is low across the entire
unit. Agriculture is predicted to be high
across the unit under the A2 scenarios,
and moderate across the unit under the
B1 scenarios. There are no predicted
water engineering projects, and forested
cover is anticipated to remain relatively
high. Current resiliency for this unit is
low, and resiliency is anticipated to
decline across all scenarios, with the A2
scenarios with extreme SLR associated
with the most substantial decreases.
Middle Pearl-Silver—Development
remains low across the unit under all
scenarios at both time steps. Agriculture
increases to high under the A2 scenarios
and stays moderate under the B1
scenarios. There are no predicted SLR
effects or water engineering project
impacts on this unit. Forested cover is
relatively high across the unit under all
scenarios and is predicted to increase
under the B1 scenarios; thus, deadwood
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does not appear to be a limiting factor.
Current resilience for this unit is low,
and based on the factors assessed, it is
likely there will not be a decline in
resilience in the future (Service 2023, p.
93).
Middle Pearl-Strong—Development is
substantial in a few areas within this
unit, particularly around Jackson,
Mississippi. The current resiliency for
this unit is moderate, and the future
resiliency is likely to decline due to
increased agriculture and decreased
forest cover within the unit (without
One Lake). Agriculture is predicted to
be high across the unit under all
scenarios. If the One Lake project moves
forward, there is a substantial decrease
in resiliency predicted within and
adjacent to the project area, as several
streams are predicted to lose a
substantial amount of forested cover.
However, these impacts from the One
Lake project will not extend to the
Strong River as this tributary connects
with the Pearl River downstream of the
proposed project area. No SLR impacts
are predicted in this unit. The Middle
Pearl-Strong unit is perhaps the most
vulnerable unit, as development,
agriculture, and water engineering
projects are projected to impact this unit
and lead to future declines in resiliency.
Upper Pearl—The habitat associated
with this unit provides conditions to
potentially support a stronghold for the
species because it has the largest total
area of protected lands compared to the
other four units (Service 2023, p. 61).
Development remains low across the
entire unit under all scenarios.
Agriculture is high across the entire unit
in all scenarios, except for the B1
scenario in the year 2070, where
agriculture is moderate. Forested cover
is relatively high across the unit under
all scenarios; thus, deadwood does not
appear to be a limiting factor. There are
no predicted SLR or water engineering
project impacts in this unit. The Upper
Pearl unit will remain in the moderate
category over the next 50 years, based
on the factors assessed; however, this
population may experience genetic drift
over time due to isolation caused by
habitat fragmentation from the existing
(Ross Barnett) and planned (One Lake)
reservoirs in the adjacent (downstream)
unit. This will likely result in a decline
in resiliency due to a loss of
connectivity with the rest of the turtle’s
range.
Future Redundancy
Although the scenarios do not project
extirpation in any of the units, we do
anticipate resiliency to decline in four
units; however, only the Middle PearlStrong unit will be downgraded from
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moderate to low resiliency under all
scenarios in which the One Lake project
is built. All other units will stay within
the same (i.e., current) resiliency
category but will decline in resiliency
within their respective categories. For
example, the Lower Pearl unit will be
impacted by SLR under all scenarios,
and this is compounded by projected
increases in both development and
agriculture, but resiliency is expected to
remain low. Only the Middle PearlSilver unit will not show any decline in
resiliency into the future. Because
extant units of the species are predicted
to be distributed relatively widely, it is
highly unlikely that a catastrophic event
would impact the entire species’ range;
thus, the Pearl River map turtle is
predicted to exhibit a moderate degree
of redundancy in the future under all
scenarios.
Future Representation
As described above under the current
conditions, the species is a single
representative unit regarding genetic
variation. Relatively unique habitat
conditions in the Strong River may
influence the species’ adaptive capacity
and its overall representation. When
looking at projections of threats within
the Strong River, development is
projected to remain low. In the A2
climate scenarios, agriculture increases
from moderate to high; in the B1 climate
scenarios, agriculture stays moderate.
Also, forested cover within the riparian
zone of the Strong River remains
relatively high (68–83 percent),
although it does drop across all climate
scenarios from the current condition (92
percent). SLR does not impact this river
in any of our scenarios, as the Strong
River is far enough inland to avoid the
effects of inundation. Finally, the One
Lake project is not anticipated to
directly impact the Strong River due to
the location of the project (i.e.,
mainstem Pearl River). Given this
information, although the resiliency of
the Strong River might decrease slightly
due to land use projections, it is likely
the Strong River will support a
moderate density of individual turtles,
and thus contribute to representation
through maintenance of potential
genetic diversity based on unique
habitat features.
It is noteworthy that a recent genetics
study has revealed that genetic diversity
is lower in Pearl River map turtles
compared to the closely related
congener, Pascagoula map turtles
(Pearson et al. 2020, pp. 11–12).
Declining populations generally have
reduced genetic diversity, which can
potentially elevate the risk of extinction
by reducing a species’ ability and
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potential to adapt to environmental
changes (Spielman et al. 2004, entire).
Genetic bottlenecks and low overall
genetic diversity are more of a concern
for populations that become
geographically isolated by physical
barriers that inhibit connectivity.
Although no documented genetic
differentiation has occurred, limited
gene flow and genetic isolation of Pearl
River map turtle populations upstream
and downstream of the Ross Barnett
Reservoir is expected to occur over
future generations.
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Determination of Pearl River Map
Turtle’s Status
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 an endangered species
or a threatened species. The Act defines
an ‘‘endangered species’’ as a species in
danger of extinction throughout all or a
significant portion of its range, and a
‘‘threatened species’’ as a species 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
After evaluating threats to the species
and assessing the cumulative effect of
the threats under the Act’s section
4(a)(1) factors, we determined that the
species currently has sufficient
resiliency, redundancy, and
representation contributing to its overall
viability across its range. Even though
the species is described as a single
population, we assessed its viability by
evaluating the condition of the Pearl
River map turtle in five different
resiliency units. This assessment
indicated that the current condition of
all units is below optimal or high
resiliency, with three units having
moderate resiliency and the remaining
two units having low resiliency. There
are no units within the range that
demonstrate high resiliency. Despite the
moderate and low conditions of all
units, the species still occupies all five
units. Current threats to the species
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include habitat degradation or loss
(degraded water quality, channel and
hydrologic modifications/
impoundments, agricultural runoff,
mining, and development), collection
for the pet trade, and effects of climate
change (increasing temperatures,
drought, sea-level rise, hurricane regime
changes, and increased seasonal
precipitation).
The Ross Barnett Reservoir was
completed in 1963 and has reduced the
amount of available habitat for the
species and fragmented contiguous
suitable habitat. Pearl River map turtles
prefer flowing water in rivers and
creeks. Indirect effects from the
reservoir are associated with
recreational use from boat traffic and
foot traffic from day visitors and
campers. Declines in Pearl River map
turtles have been documented both
upstream (lower density) and
downstream (population declines) from
the reservoir (Selman and Jones 2017,
pp. 32–34). A total of 20.9 rmi (33.6
rkm) of the Pearl River is submerged
beneath the Ross Barnett Reservoir and
is no longer suitable for the Pearl River
map turtle. This reservoir is currently
affecting the Middle Pearl-Strong unit
and the Upper Pearl unit, reducing the
suitable habitat of 5 percent of the
mainstem Pearl River by altering the
lotic (flowing water) habitat preferred by
Pearl River map turtles to lentic (lake)
habitat. The reservoir reduces the
resiliency and overall condition of these
affected units.
Despite the effects of the existing
reservoir on the Upper Pearl and Middle
Pearl-Strong resilience units, sufficient
habitat remains to provide adequate
resiliency of these units to contribute to
the viability of the species. The effects
from the reservoir may continue
affecting the species in the future as the
turtles in the Upper Pearl unit (above
the reservoir) become more isolated over
time; however, there is currently
adequate resiliency.
In terms of redundancy and the ability
of the species to respond to catastrophic
events, the species currently has enough
redundancy across the five resilience
units to protect it from a catastrophe
such as a large hurricane or oil spill.
The Middle Pearl-Silver and Middle
Pearl-Strong units are particularly
vulnerable to a potential spill from
railways and transportation corridors
that are near or adjacent to habitat
occupied by Pearl River map turtles.
The Lower Pearl unit is vulnerable to
the effects from hurricanes as it is in
close proximity to the Gulf of Mexico.
However, because the species is a single
population distributed across five
resilience units encompassing 795.1 rmi
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(1279.6 rkm), it is buffered against
catastrophic events such as these. The
overall current condition of the species
exhibits moderate-high redundancy, as
the species is still widespread across its
range in all resilience units across the
single representative unit. Thus, after
assessing the best available information,
we conclude that the Pearl River map
turtle is not currently in danger of
extinction throughout all of its range.
A threatened species, as defined by
the Act, is any species which is likely
to become an endangered species within
the foreseeable future throughout all or
a significant portion of its range.
Because the species is not currently in
danger of extinction (i.e., endangered)
throughout its entire range, we
evaluated the viability of the species
over the foreseeable future considering
the condition of the species in relation
to its resiliency, redundancy, and
representation. We analyzed future
conditions (2040 and 2070) based on
input from species experts, generation
time for the species, and the confidence
in predicting patterns of urbanization
and agriculture, enabling us to make
reasonably reliable predictions about
the threats and the species’ response to
these threats over time.
The threats included in the future
scenarios are projected to negatively
affect the Pearl River map turtle and
result in a decline of resiliency
throughout four (Bogue Chitto, Lower
Pearl, Middle Pearl-Strong, and Upper
Pearl) of the five resilience units
(Service 2023, pp. 70–105). While the
Middle Pearl-Silver unit is not expected
to see major declines in resiliency, its
current resiliency is low and is
anticipated to remain low in the future
projections. None of the resilience units
will improve from current conditions to
provide high resiliency; three units are
currently in moderate condition, but
resiliency within these conditions
decline in the future scenarios. Three
resilience units may have additional
stressors including isolation for the
Upper Pearl, compounded by the
addition of another planned reservoir
for the Middle Pearl-Strong unit, and
gravel mining for the Bogue Chitto unit.
These threats will likely cause a decline
in the amount of available suitable
habitat, thereby affecting the future
resiliency; however, the development of
the reservoir and future sand and gravel
mining activities are uncertain. Two of
the resilience units are in low condition
and are expected to remain in low
condition in the future (Lower Pearl and
Middle Pearl-Silver), with the
southernmost unit (Lower Pearl) facing
threats from SLR. The low genetic
variability of Pearl River map turtles
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may result in low adaptive capacity (the
potential to adapt) to environmental or
habitat changes within the units. More
than half of the population inhabits the
main stem river, which is subject to
more catastrophic events (e.g., an oil
spill). These point source pollutants
would flow downstream below the
point of contamination, with greater
impacts occurring in closer proximity to
the spill. However, the mainstems of
large, occupied tributaries (Bogue
Chitto, Strong, Yockanookany) contain
moderate densities of the Pearl River
map turtle (34 percent of total
population), which would allow for
some rescue potential from tributaries to
areas impacted by future catastrophic
events.
In terms of resiliency, the future
condition is expected to decline for all
but one resilience unit. The future
scenarios project out to the year 2070 to
capture the species’ response to threats
and changing landscape conditions. The
impacts from the existing Ross Barnett
Reservoir will continue affecting the
species, and resilience of the Middle
Pearl-Strong unit will decline, and the
turtle populations in the northernmost
unit (Upper Pearl) will become even
more spatially and genetically isolated
over time. An additional planned
development project (the One Lake
project) downstream of the existing
reservoir could affect up to 170 turtles
directly and 360 turtles indirectly in the
Middle Pearl-Strong unit (Selman
2020b, pp. 192–193). If this
impoundment project moves forward,
the species’ viability will continue to
decline in the foreseeable future as
resiliency declines through loss of
suitable habitat and further isolation of
turtles above the reservoirs. The turtles
in the Upper Pearl unit are subject to
genetic isolation and potentially the
effects of small population size as the
species in this unit will not be
connected to the rest of the contiguous
habitat south of the reservoir.
Another future threat to the species is
SLR, which will cause a contraction in
the Lower Pearl unit as saline waters
encroach upstream from the Gulf of
Mexico, and the effects will be
magnified with hurricane-related storm
surge pulsing saline water upstream into
the freshwater system. The amount of
habitat affected over time depends on
the rate of SLR and other factors that
influence surge, such as increased
hurricane or storm frequency and
severity.
An additional threat that is expected
to impact the species within the
foreseeable future includes the
continued collection from wild
populations for the domestic and
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international pet trade. Map turtles are
desired by collectors for their intricate
shell patterns. Despite the less
distinctive shell patterns and markings
of adult Pearl River map turtles, the
species remains a target for some
herptile enthusiasts and personal
collections. The demand for turtles
globally is increasing, which results in
more intense pressures on wild
populations. The threat of illegal
collection is expected to continue into
the foreseeable future.
The overall future condition of the
species is expected to continue a
declining trajectory resulting in
compromised viability as described in
the future scenarios out to year 2070.
Thus, after assessing the best available
information, we conclude that the Pearl
River map turtle is not currently in
danger of extinction but is likely to
become in danger of extinction within
the foreseeable future throughout all of
its range.
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 within the
foreseeable future throughout all or a
significant portion of its range. The
court in Center for Biological Diversity
v. Everson, 435 F. Supp. 3d 69 (D.D.C.
2020) (Everson), vacated the provision
of the Final Policy on Interpretation of
the Phrase ‘‘Significant Portion of Its
Range’’ in the Endangered Species Act’s
Definitions of ‘‘Endangered Species’’
and ‘‘Threatened Species’’ (Final Policy;
79 FR 37578, July 1, 2014) that provided
if the Service determines that a species
is threatened throughout all of its range,
the Service will not analyze whether the
species is endangered in a significant
portion of its range.
Therefore, we proceed to evaluating
whether the species is endangered in a
significant portion of its range—that is,
whether there is any portion of the
species’ range for which both (1) the
portion is significant; and (2) the species
is in danger of extinction in that
portion. Depending on the case, it might
be more efficient for us to address the
‘‘significance’’ question or the ‘‘status’’
question first. We can choose to address
either question first. Regardless of
which question we address first, if we
reach a negative answer with respect to
the first question that we address, we do
not need to evaluate the other question
for that portion of the species’ range.
Following the court’s holding in
Everson, we now consider whether the
species is in danger of extinction in a
significant portion of its range. In
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undertaking this analysis for the Pearl
River map turtle, we choose to address
the status question first—we consider
information pertaining to the geographic
distribution of both the species and the
threats that the species faces to identify
any portions of the range where the
species may be endangered.
We evaluated the range of the Pearl
River map turtle to determine if the
species is in danger of extinction now
in any portion of its range. The range of
a species can theoretically be divided
into portions in an infinite number of
ways. We focused our analysis on
portions of the species’ range that may
meet the definition of an endangered
species. For Pearl River map turtle, we
considered whether the threats or their
effects on the species are greater in any
biologically meaningful portion of the
species’ range than in other portions
such that the species is in danger of
extinction now in that portion.
The statutory difference between an
endangered species and a threatened
species is the time frame in which the
species becomes in danger of extinction;
an endangered species is in danger of
extinction now while a threatened
species is not in danger of extinction
now but is likely to become so within
the foreseeable future. Thus, we
reviewed the best scientific and
commercial data available regarding the
time horizon for the threats that are
driving the Pearl River map turtle to
warrant listing as a threatened species
throughout all of its range. We then
considered whether these threats or
their effects are occurring (or may
imminently occur) in any portion of the
species’ range with sufficient magnitude
such that the species is in danger of
extinction now in that portion of its
range. We examined the following
threats: effects of climate change
(including SLR), habitat loss and
degradation, and illegal collection. We
also considered whether cumulative
effects contributed to a concentration of
threats across the species’ range.
Overall, we found that the threat of
SLR and habitat loss is likely acting
disproportionately to particular areas
within the species’ range. The threat of
SLR is concentrated in the Lower Pearl,
which is the southernmost resilience
unit that connects to the Gulf of Mexico.
However, the salinity influx into the
species’ habitat due to SLR is not
currently affecting this area but will
affect the species’ habitat within the
foreseeable future. Thus, we have
determined that SLR is not currently
affecting this portion of the range to the
extent that endangered status is
warranted.
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The threat of habitat loss and
degradation is concentrated on the
Middle Pearl-Strong and Upper Pearl
units due to an existing reservoir and a
planned project that disjoins the
connectivity of turtles above and below
the reservoir. The impacts due to habitat
degradation and loss because of the
existing reservoir are acting on the
species’ current condition and possibly
future condition if the One Lake project
is constructed as planned. The impacts
from the One Lake project are in the
future and are not currently affecting the
species; therefore, we will only consider
the existing reservoir for the analysis to
determine if the species is endangered
in a significant portion of its range.
After identifying areas where the
concentration of threats of habitat
degradation and loss affects the species
or its habitat and the time horizon of
these threats, we evaluated whether the
species is endangered in the affected
portion of the range. The area that
currently contains a concentration of
threats includes a portion of the Middle
Pearl-Strong and Upper Pearl units.
Habitat loss and degradation from an
existing reservoir has reduced the
amount and quality of existing habitat
for the species in these units. The Ross
Barnett Reservoir, constructed between
1960 and 1963 near Jackson,
Mississippi, changed the natural
hydrology of the Pearl River and
resulted in 20.9 rmi (33.6 rkm) of river
submerged and made unsuitable for the
Pearl River map turtle (Lindeman et al.
2020, p. 173). Low population densities
of turtles have been observed upstream
from the reservoir (Selman and Jones
2017, pp. 32–34). Notable population
declines also have been observed in the
stretch of the Pearl River downstream of
the Ross Barnett Reservoir (north of
Lakeland Drive), but the exact reason for
the decline is unknown (Selman 2020b,
p. 194). However, despite these
declines, the species can be found
throughout the Pearl River downstream
of the reservoir, and all size classes and
moderate population densities have
been observed in the mainstem and
tributaries upstream of the reservoir. As
a result, the Pearl River map turtle is not
currently in danger of extinction in the
portion of the range affected by the
Barnett Ross Reservoir. We found no
biologically meaningful portion of the
Pearl River map turtle’s range where
threats are impacting individuals
differently from how they are affecting
the species elsewhere in its range, or
where the biological condition of the
species differs from its condition
elsewhere in its range such that the
status of the species in that portion
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differs from any other portion of the
species’ range. Therefore, no portion of
the species’ range provides a basis for
determining that the species is in danger
of extinction in a significant portion of
its range, and we determine that the
Pearl River map turtle is likely to
become in danger of extinction within
the foreseeable future throughout all of
its range. This does not conflict with the
courts’ holdings in Desert Survivors v.
U.S. Department of the Interior, 321 F.
Supp. 3d 1011, 1070–74 (N.D. Cal. 2018)
and Center for Biological Diversity v.
Jewell, 248 F. Supp. 3d 946, 959 (D.
Ariz. 2017) because, in reaching this
conclusion, we did not apply the
aspects of the Final Policy, including
the definition of ‘‘significant’’ that those
court decisions held to be invalid.
Determination of Pearl River Map
Turtle’s Status
Our review of the best scientific and
commercial data available indicates that
the Pearl River map turtle meets the
Act’s definition of a threatened species.
Therefore, we are listing the Pearl River
map turtle 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 as a listed species,
planning and implementation of
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, including the
Service, 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. Section 4(f) of the
Act calls for the Service to develop and
implement recovery plans for the
conservation of endangered and
threatened species. The goal of this
process is to restore listed species to a
point where they are secure, selfsustaining, and functioning components
of their ecosystems.
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The recovery planning process begins
with development of a recovery outline
made available to the public soon after
a final listing determination. The
recovery outline guides the immediate
implementation of urgent recovery
actions while a recovery plan is being
developed. Recovery teams (composed
of species experts, Federal and State
agencies, nongovernmental
organizations, and stakeholders) may be
established to develop and implement
recovery plans. The recovery planning
process involves the identification of
actions that are necessary to halt and
reverse the species’ decline by
addressing the threats to its survival and
recovery. The recovery plan identifies
recovery criteria for review of when a
species may be ready for reclassification
from endangered to threatened
(‘‘downlisting’’) or removal from
protected status (‘‘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. Revisions of the plan
may be done to address continuing or
new threats to the species, as new
substantive information becomes
available. The recovery outline, draft
recovery plan, final recovery plan, and
any revisions will be available on our
website as they are completed (https://
www.fws.gov/program/endangeredspecies), or from our Mississippi
Ecological Services Field 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 (e.g., 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.
Once the Pearl River map turtle is
listed (see DATES, above), 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 Louisiana and
Mississippi will be eligible for Federal
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funds to implement management
actions that promote the protection or
recovery of the Pearl River map turtle.
Information on our grant programs that
are available to aid species recovery can
be found at: https://www.fws.gov/
service/financial-assistance.
Please let us know if you are
interested in participating in recovery
efforts for the Pearl River map turtle.
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 of the Act is titled,
‘‘Interagency Cooperation’’ and
mandates all Federal agencies to use
their existing authorities to further the
conservation purposes of the Act and to
ensure that their actions are not likely
to jeopardize the continued existence of
listed species or adversely modify
critical habitat. Regulations
implementing section 7 are codified at
50 CFR part 402.
Section 7(a)(2) states that each Federal
action agency shall, in consultation with
the Secretary, ensure that any action
they authorize, fund, or carry out is not
likely to jeopardize the continued
existence of a listed species or result in
the destruction or adverse modification
of designated critical habitat. Each
Federal agency shall review its action at
the earliest possible time to determine
whether it may affect listed species or
critical habitat. If a determination is
made that the action may affect listed
species or critical habitat, formal
consultation is required (50 CFR
402.14(a)), unless the Service concurs in
writing that the action is not likely to
adversely affect listed species or critical
habitat. At the end of a formal
consultation, the Service issues a
biological opinion, containing its
determination of whether the Federal
action is likely to result in jeopardy or
adverse modification.
Examples of discretionary actions for
the Pearl River map turtle that may be
subject to consultation procedures
under section 7 are land management or
other landscape-altering activities on
Federal lands administered by the
Service (Refuges) and Department of
Defense (Stennis Western Maneuver
Area) as well as actions on State, Tribal,
local, or private lands that require a
Federal permit (such as a permit from
the U.S. Army Corps of Engineers under
section 404 of the Clean Water Act (33
U.S.C. 1251 et seq.) or a permit from the
Service under section 10 of the Act) or
that involve some other Federal action
(such as funding from the Federal
Highway Administration, Federal
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Aviation Administration, or the Federal
Emergency Management Agency).
Federal actions not affecting listed
species or critical habitat—and actions
on State, Tribal, local, or private lands
that are not federally funded,
authorized, or carried out by a Federal
agency—do not require section 7
consultation. Federal agencies should
coordinate with the Field Supervisor of
the Service’s Mississippi Ecological
Services Field Office (see FOR FURTHER
INFORMATION CONTACT) with any specific
questions on section 7 consultation and
conference requirements.
It is the policy of the Services, as
published in the Federal Register on
July 1, 1994 (59 FR 34272), to identify
to the extent known at the time a
species is listed, specific activities that
will not be considered likely to result in
violation of section 9 of the Act. To the
extent possible, activities that will be
considered likely to result in violation
will also be identified in as specific a
manner as possible. The intent of this
policy is to increase public awareness of
the effect of a listing on proposed and
ongoing activities within the range of
the species. Although most of the
prohibitions in section 9 of the Act
apply to endangered species, sections
9(a)(1)(G) and 9(a)(2)(E) of the Act (16
U.S.C. 1538(a)(1)(G) and (a)(2)(E))
prohibit the violation of any regulation
under section 4(d) pertaining to any
threatened species of fish or wildlife, or
threatened species of plant,
respectively. Section 4(d) of the Act (16
U.S.C. 1533(d)) directs the Secretary to
promulgate protective regulations that
are necessary and advisable for the
conservation of threatened species. As a
result, we interpret our policy to mean
that, when we list a species as a
threatened species, to the extent
possible, we identify activities that will
or will not be considered likely to result
in violation of the protective regulations
under section 4(d) of the Act for that
species.
At this time, we are unable to identify
specific activities that will or will not be
considered likely to result in violation
of section 9 of the Act beyond what is
already clear from the descriptions of
prohibitions and exceptions established
by protective regulation under section
4(d) of the Act.
Questions regarding whether specific
activities would constitute violation of
section 9 of the Act should be directed
to the Field Supervisor of the Service’s
Mississippi Ecological Services Field
Office (see FOR FURTHER INFORMATION
CONTACT).
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II. Protective Regulations Under
Section 4(d) of the Act for the Pearl
River Map Turtle
Background
Section 4(d) of the Act contains two
sentences. The first sentence states that
the Secretary shall issue such
regulations as she deems necessary and
advisable to provide for the
conservation of species listed as
threatened. Conservation is defined in
the Act to mean the use of all methods
and procedures which are necessary to
bring any endangered species or
threatened species to the point at which
the measures provided pursuant to the
Act are no longer necessary.
Additionally, the second sentence of
section 4(d) of the Act states that the
Secretary may by regulation prohibit
with respect to any threatened species
any act prohibited under section 9(a)(1),
in the case of fish or wildlife, or section
9(a)(2), in the case of plants. With these
two sentences in section 4(d), Congress
delegated broad authority to the
Secretary to determine what protections
would be necessary and advisable to
provide for the conservation of
threatened species, and even broader
authority to put in place any of the
section 9 prohibitions, for a given
species.
The courts have recognized the extent
of the Secretary’s discretion under this
standard to develop rules that are
appropriate for the conservation of a
species. For example, courts have
upheld, as a valid exercise of agency
authority, rules developed under section
4(d) that included limited prohibitions
against takings (see Alsea Valley
Alliance v. Lautenbacher, 2007 WL
2344927 (D. Or. 2007); Washington
Environmental Council v. National
Marine Fisheries Service, 2002 WL
511479 (W.D. Wash. 2002)). Courts have
also upheld 4(d) rules that do not
address all of the threats a species faces
(see State of Louisiana v. Verity, 853
F.2d 322 (5th Cir. 1988)). As noted in
the legislative history 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 [her] with regard to the
permitted activities for those species.
[She] may, for example, permit taking,
but not importation of such species, or
[she] may choose to forbid both taking
and importation but allow the
transportation of such species’’ (H.R.
Rep. No. 412, 93rd Cong., 1st Sess.
1973).
The provisions of this species’
protective regulations under section 4(d)
of the Act are one of many tools that we
will use to promote the conservation of
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the Pearl River map turtle. Nothing in
4(d) rules change in any way the
recovery planning provisions of section
4(f) of the Act, the 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 Pearl River map turtle.
As mentioned previously in Available
Conservation Measures, Section 7(a)(2)
of the Act requires Federal agencies,
including the Service, to ensure that any
action they authorize, fund, or carry out
is not likely to jeopardize the continued
existence of any endangered species or
threatened species or result in the
destruction or adverse modification of
designated critical habitat of such
species. These requirements are the
same for a threatened species regardless
of what is included in its 4(d) rule.
Section 7 consultation is required for
Federal actions that ‘‘may affect’’ a
listed species regardless of whether take
caused by the activity is prohibited or
excepted by a 4(d) rule (‘‘blanket rule’’
or species-specific 4(d) rule). A 4(d) rule
does not change the process and criteria
for informal or formal consultations and
does not alter the analytical process
used for biological opinions or
concurrence letters. For example, as
with an endangered species, if a Federal
agency determines that an action is ‘‘not
likely to adversely affect’’ a threatened
species, this will require the Service’s
written concurrence (50 CFR 402.13(c)).
Similarly, if a Federal agency
determines that an action is ‘‘likely to
adversely affect’’ a threatened species,
the action will require formal
consultation and the formulation of a
biological opinion (50 CFR 402.14(a)).
Provisions of the 4(d) Protective
Regulations for the Pearl River Map
Turtle
Exercising the Secretary’s authority
under section 4(d) of the Act, we have
developed a rule that is designed to
address the Pearl River map turtle’s
conservation needs. As discussed
previously under Summary of Biological
Status and Threats, we have concluded
that the Pearl River map turtle is likely
to become in danger of extinction
within the foreseeable future primarily
due to habitat degradation and loss
caused by degraded water quality,
channel or hydrological modifications
and impoundments, agricultural runoff,
development, mining; collection; and
climate change. Additional stressors
acting on the species include disease
and contaminants (pesticides and heavy
metals). Drowning and/or capture due to
bycatch associated with recreational and
commercial fishing of some species of
freshwater fish may also affect the Pearl
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River map turtle but are of unknown
frequency or severity.
Section 4(d) requires the Secretary to
issue such regulations as she deems
necessary and advisable to provide for
the conservation of each threatened
species and authorizes the Secretary to
include among those protective
regulations any of the prohibitions that
section 9(a)(1) of the Act prescribes for
endangered species. We are not required
to make a ‘‘necessary and advisable’’
determination when we apply or do not
apply specific section 9 prohibitions to
a threatened species (In re: Polar Bear
Endangered Species Act Listing and 4(d)
Rule Litigation, 818 F. Supp. 2d 214,
228 (D.D.C. 2011) (citing Sweet Home
Chapter of Cmtys. for a Great Or. v.
Babbitt, 1 F.3d 1, 8 (D.C. Cir. 1993),
rev’d on other grounds, 515 U.S. 687
(1995))). Nevertheless, even though we
are not required to make such a
determination, we have chosen to be as
transparent as possible and explain
below why we find that the protections,
prohibitions, and exceptions in this rule
as a whole satisfy the requirement in
section 4(d) of the Act to issue
regulations deemed necessary and
advisable to provide for the
conservation of the Pearl River map
turtle.
The protective regulations for Pearl
River map turtle incorporate
prohibitions from section 9(a)(1) of the
Act to address the threats to the species.
The prohibitions of section 9(a)(1) of the
Act, and implementing regulations
codified at 50 CFR 17.21, make it illegal
for any person subject to the jurisdiction
of the United States to commit, to
attempt to commit, to solicit another to
commit or to cause to be committed any
of the following acts with regard to any
endangered wildlife: (1) import into, or
export from, the United States; (2) take
(which includes harass, harm, pursue,
hunt, shoot, wound, kill, trap, capture,
or collect) within the United States,
within the territorial sea of the United
States, or on the high seas; (3) possess,
sell, deliver, carry, transport, or ship, by
any means whatsoever, any such
wildlife that has been taken illegally; (4)
deliver, receive, carry, transport, or ship
in interstate or foreign commerce, by
any means whatsoever and in the course
of commercial activity; or (5) sell or
offer for sale in interstate or foreign
commerce. This protective regulation
includes all of these prohibitions
because the Pearl River map turtle is at
risk of extinction in the foreseeable
future and putting these prohibitions in
place will help to better preserve the
condition of the species’ resilience
units, slow its rate of decline, and
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decrease synergistic, negative effects
from other ongoing or future threats.
In particular, this 4(d) rule will
provide for the conservation of the Pearl
River map turtle by prohibiting the
following activities, unless they fall
within specific exceptions or are
otherwise authorized or permitted:
importing or exporting; take; possession
and other acts with unlawfully taken
specimens; delivering, receiving,
carrying, transporting, or shipping in
interstate or foreign commerce in the
course of commercial activity; or selling
or offering for sale in interstate or
foreign commerce.
Under the Act, ‘‘take’’ means to
harass, harm, pursue, hunt, shoot,
wound, kill, trap, capture, or collect, or
to attempt to engage in any such
conduct. Some of these provisions have
been further defined in regulation at 50
CFR 17.3. Take can result knowingly or
otherwise, by direct and indirect
impacts, intentionally or incidentally.
Regulating take will help preserve the
species’ remaining populations, slow
their rate of decline, and decrease
cumulative effects from other ongoing or
future threats. Therefore, we are
prohibiting take of the Pearl River map
turtle, except for take resulting from
those actions and activities specifically
excepted by the 4(d) rule. Exceptions to
the prohibition on take include the
general exceptions to the prohibition on
take of endangered wildlife, as set forth
in 50 CFR 17.21 and additional
exceptions, as described below.
Despite these prohibitions regarding
threatened species, we may under
certain circumstances issue permits to
carry out one or more otherwise
prohibited activities, including those
described above. The regulations that
govern permits for threatened wildlife
state that the Director may issue a
permit authorizing any activity
otherwise prohibited with regard to
threatened species. These include
permits issued for the following
purposes: for scientific purposes, to
enhance propagation or survival, for
economic hardship, for zoological
exhibition, for educational purposes, for
incidental taking, or for special
purposes consistent with the purposes
of the Act (50 CFR 17.32). The statute
also contains certain exemptions from
the prohibitions, which are found in
sections 9 and 10 of the Act.
In addition, to further the
conservation of the species, any
employee or agent of the Service, any
other Federal land management agency,
the National Marine Fisheries Service, a
State conservation agency, or a federally
recognized Tribe, who is designated by
their agency or Tribe for such purposes,
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may, when acting in the course of their
official duties, take threatened wildlife
without a permit if such action is
necessary to: (i) Aid a sick, injured, or
orphaned specimen; or (ii) Dispose of a
dead specimen; or (iii) Salvage a dead
specimen that may be useful for
scientific study; or (iv) Remove
specimens that constitute a
demonstrable but nonimmediate threat
to human safety, provided that the
taking is done in a humane manner; the
taking may involve killing or injuring
only if it has not been reasonably
possible to eliminate such threat by live
capturing and releasing the specimen
unharmed, in an appropriate area.
We recognize the special and unique
relationship that we have with our State
natural resource agency partners in
contributing to conservation of listed
species. State agencies often possess
scientific data and valuable expertise on
the status and distribution of
endangered, threatened, and candidate
species of wildlife and plants. State
agencies, because of their authorities
and their close working relationships
with local governments and
landowners, are in a unique position to
assist us in implementing all aspects of
the Act. In this regard, section 6 of the
Act provides that we must cooperate to
the maximum extent practicable with
the States in carrying out programs
authorized by the Act. Therefore, any
qualified employee or agent of a State
conservation agency that is a party to a
cooperative agreement with us in
accordance with section 6(c) of the Act,
who is designated by his or her agency
for such purposes, will be able to
conduct activities designed to conserve
the Pearl River map turtle that may
result in otherwise prohibited take
without additional authorization.
The 4(d) rule will also provide for the
conservation of the species by allowing
exceptions that incentivize conservation
actions or that, while they may have
some minimal level of take of the Pearl
River map turtle, are not expected to
rise to the level that would have a
negative impact (i.e., would have only
de minimis impacts) on the species’
conservation. The exceptions to these
prohibitions include take resulting from
forest management practices that use
State-approved best management
practices (described below) that are
expected to have negligible impacts to
the Pearl River map turtle and its
habitat.
Silvicultural Practices and Forest
Management Activities that Use State
Forestry Best Management Practices—
Forest management practices that
implement State-approved BMPs
designed to protect water quality and
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stream and riparian habitat will avoid or
minimize the effects of habitat
alterations in areas that support Pearl
River map turtles. We consider that
certain activities associated with
silvicultural practices and forest
management activities may remove
riparian cover or forested habitat,
change land use within the riparian
zone, or increase stream bank erosion
and/or siltation. We recognize that
forest management practices are widely
implemented in accordance with Stateapproved BMPs (as reviewed by Cristan
et al. 2018, entire), and the adherence to
these BMPs broadly protects water
quality, particularly related to
sedimentation (as reviewed by Cristan et
al. 2016, entire; Warrington et al. 2017,
entire; and Schilling et al. 2021, entire),
to an extent that does not impair the
species’ conservation. Forest
landowners who properly implement
those BMPs are helping conserve the
Pearl River map turtle, and this 4(d) rule
is an incentive for all landowners to
properly implement applicable Stateapproved BMPs to avoid any take
implications. Further, those forest
landowners who are third-partycertified (attesting to the sustainable
management of a working forest) to a
credible forest management standard are
providing audited certainty that BMP
implementation is taking place across
the landscape.
Summary of Species-specific
Incidental Take Exceptions in the 4(d)
Rule—Under this final 4(d) rule,
incidental take associated silviculture
practices and forest management
activities that use State-approved BMPs
designed to protect water quality and
stream and riparian habitat with the
following activities is excepted from the
prohibitions.
III. Critical Habitat for the Pearl River
Map Turtle
Background
Section 4(a)(3) of the Act requires
that, to the maximum extent prudent
and determinable, we designate a
species’ critical habitat concurrently
with listing the species. Critical habitat
is defined in section 3 of the Act as:
(1) The specific areas within the
geographical area occupied by the
species, at the time it is listed in
accordance with the Act, on which are
found those physical or biological
features
(a) Essential to the conservation of the
species, and
(b) Which may require special
management considerations or
protection; and
(2) Specific areas outside the
geographical area occupied by the
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57229
species at the time it is listed, upon a
determination that such areas are
essential for the conservation of the
species.
Our regulations at 50 CFR 424.02
define the geographical area occupied
by the species as an area that may
generally be delineated around species’
occurrences, as determined by the
Secretary (i.e., range). Such areas may
include those areas used throughout all
or part of the species’ life cycle, even if
not used on a regular basis (e.g.,
migratory corridors, seasonal habitats,
and habitats used periodically, but not
solely by vagrant individuals).
Conservation, as defined under
section 3 of the Act, means to use all
methods and procedures that are
necessary to bring an endangered or
threatened species to the point at which
the measures provided pursuant to the
Act are no longer necessary. Such
methods and procedures include, but
are not limited to, all activities
associated with scientific resource
management such as research, census,
law enforcement, habitat acquisition
and maintenance, propagation, live
trapping, and transplantation, and, in
the extraordinary case where population
pressures within a given ecosystem
cannot be otherwise relieved, may
include regulated taking.
Critical habitat receives protection
under section 7 of the Act through the
requirement that each Federal action
agency ensure, in consultation with the
Service, that any action they authorize,
fund, or carry out is not likely to result
in the destruction or adverse
modification of designated critical
habitat. The designation of critical
habitat does not affect land ownership
or establish a refuge, wilderness,
reserve, preserve, or other conservation
area. Such designation also does not
allow the government or public to
access private lands. Such designation
does not require implementation of
restoration, recovery, or enhancement
measures by non-Federal landowners.
Rather, designation requires that, where
a landowner requests Federal agency
funding or authorization for an action
that may affect an area designated as
critical habitat, the Federal agency
consult with the Service under section
7(a)(2) of the Act. If the action may
affect the listed species itself (such as
for occupied critical habitat), the
Federal action agency would have
already been required to consult with
the Service even absent the critical
habitat designation because of the
requirement to ensure that the action is
not likely to jeopardize the continued
existence of the species. Even if the
Service were to conclude after
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consultation that the proposed activity
is likely to result in destruction or
adverse modification of the critical
habitat, the Federal action agency and
the landowner are not required to
abandon the proposed activity, or to
restore or recover the species; instead,
they must implement ‘‘reasonable and
prudent alternatives’’ to avoid
destruction or adverse modification of
critical habitat.
Under the first prong of the Act’s
definition of critical habitat, areas
within the geographical area occupied
by the species at the time it was listed
are included in a critical habitat
designation if they contain physical or
biological features (1) which are
essential to the conservation of the
species and (2) which may require
special management considerations or
protection. For these areas, critical
habitat designations identify, to the
extent known using the best scientific
and commercial data available, those
physical or biological features that are
essential to the conservation of the
species (such as space, food, cover, and
protected habitat).
Under the second prong of the Act’s
definition of critical habitat, we can
designate critical habitat in areas
outside the geographical area occupied
by the species at the time it is listed,
upon a determination that such areas
are essential for the conservation of the
species.
Section 4 of the Act requires that we
designate critical habitat on the basis of
the best scientific data available.
Further, our Policy on Information
Standards Under the Endangered
Species Act (published in the Federal
Register on July 1, 1994 (59 FR 34271)),
the Information Quality Act (section 515
of the Treasury and General
Government Appropriations Act for
Fiscal Year 2001 (Pub. L. 106–554; H.R.
5658)), and our associated Information
Quality Guidelines provide criteria,
establish procedures, and provide
guidance to ensure that our decisions
are based on the best scientific data
available. They require our biologists, to
the extent consistent with the Act and
with the use of the best scientific data
available, to use primary and original
sources of information as the basis for
recommendations to designate critical
habitat.
When we are determining which areas
should be designated as critical habitat,
our primary source of information is
generally the information from the SSA
report and information developed
during the listing process for the
species. Additional information sources
may include any generalized
conservation strategy, criteria, or outline
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that may have been developed for the
species; the recovery plan for the
species; articles in peer-reviewed
journals; conservation plans developed
by States and counties; scientific status
surveys and studies; biological
assessments; other unpublished
materials; or experts’ opinions or
personal knowledge.
Habitat is dynamic, and species may
move from one area to another over
time. We recognize that critical habitat
designated at a particular point in time
may not include all of the habitat areas
that we may later determine are
necessary for the recovery of the
species. For these reasons, a critical
habitat designation does not signal that
habitat outside the designated area is
unimportant or may not be needed for
recovery of the species. Areas that are
important to the conservation of the
species, both inside and outside the
critical habitat designation, will
continue to be subject to: (1)
Conservation actions implemented
under section 7(a)(1) of the Act; (2)
regulatory protections afforded by the
requirement in section 7(a)(2) of the Act
for Federal agencies to ensure their
actions are not likely to jeopardize the
continued existence of any endangered
or threatened species; and (3) the
prohibitions found in the 4(d) rule.
Federally funded or permitted projects
affecting listed species outside their
designated critical habitat areas may
still result in jeopardy findings in some
cases. These protections and
conservation tools will continue to
contribute to recovery of this species.
Similarly, critical habitat designations
made on the basis of the best available
information at the time of designation
will not control the direction and
substance of future recovery plans,
habitat conservation plans (HCPs), or
other species conservation planning
efforts if new information available at
the time of these planning efforts calls
for a different outcome.
Prudency Determination
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. On
April 5, 2024, we published a final rule
revised our regulations at 50 CFR part
424 to further clarify when designation
of critical habitat may not be prudent
(89 FR 24300). Our regulations (50
CFR424.12(a)(1)) state that designation
of critical habitat may not be prudent in
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circumstances such as, but not limited
to, the following:
(i) 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;
(ii) The present or threatened
destruction, modification, or
curtailment of a species’ habitat or range
is not a threat to the species;
(iii) 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; or
(iv) No areas meet the definition of
critical habitat.
We found that designation of critical
habitat was not prudent for the Pearl
River map turtle in our November 23,
2021, proposed rule (86 FR 66624). We
based this finding on a determination
that the designation of critical habitat
would increase the threat to the Pearl
River map turtle from unauthorized
collection and trade, and may further
facilitate inadvertent or purposeful
disturbance of the turtle’s habitat. We
stated that designation of occupied
critical habitat is likely to confer only an
educational benefit to the species
beyond that provided by listing.
Alternatively, the designation of
unoccupied critical habitat for the Pearl
River map turtle could provide an
educational and at least some regulatory
benefit for the species. However, we
stated that the risk of increasing
significant threats to the species by
publishing more specific location
information in a critical habitat
designation greatly outweighed the
benefits of designating critical habitat.
We received numerous comments
from private and Federal entities stating
that the locations of Pearl River map
turtle are already available in scientific
journals, online databases, and
documents published by the Service,
which led us to reconsider the prudency
determination for these species. Our
original determination rested on the
increased risk of poaching resulting
from publicizing the locations of Pearl
River map turtle populations through
maps of critical habitat in the Federal
Register. In light of the comments we
received during the November 23, 2021,
proposed rule’s comment period, we
now find that designation of critical
habitat is prudent for the Pearl River
map turtle. Our rationale is outlined
below. The principal benefit of
including an area in critical habitat is
the requirement for agencies to ensure
actions they fund, authorize, or carry
out are not likely to result in the
destruction or adverse modification of
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any designated critical habitat, the
regulatory standard of section 7(a)(2) of
the Act under which consultation is
completed. Critical habitat provides
protections only where there is a
Federal nexus, that is, those actions that
come under the purview of section 7 of
the Act. Critical habitat designation has
no application to actions that do not
have a Federal nexus.
Section 7(a)(2) of the Act mandates
that Federal agencies, in consultation
with the Service, evaluate the effects of
their proposed actions on any
designated critical habitat. Similar to
the Act’s requirement that a Federal
agency action not jeopardize the
continued existence of listed species,
Federal agencies have the responsibility
not to implement actions that would
destroy or adversely modify designated
critical habitat. Federal actions affecting
the species even in the absence of
designated critical habitat areas will still
benefit from consultation pursuant to
section 7(a)(2) of the Act and may still
result in jeopardy findings. However,
the analysis of effects of a proposed
project on critical habitat is separate and
distinct from that of the effects of a
proposed project on the species itself.
The jeopardy analysis evaluates the
action’s impact to survival and recovery
of the species, while the destruction or
adverse modification analysis evaluates
the action’s effects to the designated
habitat’s contribution as a whole to
conservation of the species. Therefore,
the difference in outcomes of these two
analyses represents the regulatory
benefit of critical habitat. This would, in
some instances, lead to different results
and different regulatory requirements.
Thus, critical habitat designations may
provide greater benefits to the recovery
of a species than would listing alone.
Map turtles are valuable to collectors
and the threat of poaching remains
imminent (Factor B) for the Pearl River
map turtle. There is evidence that the
designation of critical habitat could
result in an increased threat from taking,
specifically collection, for the species,
through publication of maps and a
narrative description of specific critical
habitat units in the Federal Register.
However, such information on locations
of extant Pearl River map turtle
populations is already widely available
to the public through many outlets, as
noted above. Therefore, identification
and mapping of critical habitat is not
expected to increase the degree of such
threat. In the comments we received on
the November 23, 2021, proposed rule,
we were alerted to the existing public
availability of many, if not all,
populations or locations of the Pearl
River map turtle.
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Critical Habitat Determinability
Having determined that designation is
prudent, under section 4(a)(3) of the Act
we must find whether critical habitat for
the Pearl River map turtle is
determinable. Our regulations at 50 CFR
424.12(a)(2) state that critical habitat is
not determinable when one or both of
the following situations exist:
(i) Data sufficient to perform required
analyses are lacking, or
(ii) The biological needs of the species
are not sufficiently well known to
identify any area that meets the
definition of ‘‘critical habitat.’’
When critical habitat is not
determinable, the Act allows the Service
an additional year to publish a critical
habitat designation (16 U.S.C.
1533(b)(6)(C)(ii)).
For the Pearl River map turtle, the
species’ needs are sufficiently well
known, but a careful assessment of the
economic impacts that may occur due to
a critical habitat designation is ongoing.
Until these efforts are complete,
information sufficient to perform a
required analysis of the impacts of the
designation is lacking; therefore, we
find the designation of critical habitat
for the Pearl River map turtle to be not
determinable at this time. In the future,
we plan to publish a proposed rule to
designate critical habitat for the Pearl
River map turtle concurrent with the
availability of a draft economic analysis
of the proposed designation.
IV. Similarity of Appearance for the
Alabama Map Turtle, Barbour’s Map
Turtle, Escambia Map Turtle, and
Pascagoula Map Turtle
Section 4(e) authorizes the treatment
of a species, subspecies, or population
segment as an endangered or threatened
species if: (a) Such species so closely
resembles in appearance, at the point in
question, a species which has been
listed pursuant to the Act that
enforcement personnel would have
substantial difficulty in attempting to
differentiate between the listed and
unlisted species; (b) the effect of this
substantial difficulty is an additional
threat to an endangered or threatened
species; and (c) such treatment of an
unlisted species will substantially
facilitate the enforcement and further
the policy of the Act (16 U.S.C. 1533(e)).
The treatment of a species as an
endangered or threatened species due to
similarity of appearance under section
4(e) of the Act does not extend other
protections of the Act, such as
consultation requirements for Federal
agencies under section 7 and the
recovery planning provisions under
section 4(f), that apply to species that
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57231
are listed as endangered or threatened
species under section 4(a) of the Act. All
applicable prohibitions and exceptions
for species listed under section 4(e) of
the Act due to similarity of appearance
to an endangered or threatened species
are set forth in a species-specific rule
issued under section 4(d) of the Act.
The Service implements this section
4(e) authority in accordance with the
Act and our regulations at 50 CFR 17.50
through 17.52. Our analysis of the
criteria for the 4(e) rule is described in
the proposed rule (86 FR 66624;
November 23, 2021) for the similarity of
appearance of the Alabama map turtle,
Barbour’s map turtle, Escambia map
turtle, and Pascagoula map turtle in
relation to the threatened Pearl River
map turtle.
Do the Alabama map turtle, Barbour’s
map turtle, Escambia map turtle, and
Pascagoula map turtle so closely
resemble in appearance, at the point in
question, the Pearl River map turtle
such that enforcement personnel would
have substantial difficulty in attempting
to differentiate between the listed and
unlisted species?
Map turtles (genus Graptemys) are
named for the intricate pattern on the
carapace that often resembles a
topographical map. In addition to the
intricate markings, the shape of the
carapace (top half of shell) in map
turtles is very distinctive. The carapace
is keeled, and many species show some
type of knobby projections or spikes
down the vertebral scutes (located down
the midline of the carapace). All five of
these map turtle species are in the
megacephalic (large-headed) clade
where the females have large, broad
heads, and all occur in the southeastern
United States. The ranges of these
species do not geographically overlap,
with the exception of Barbour’s and
Escambia map turtles in some areas of
the Choctawhatchee River drainage in
Alabama and Florida (see figure 2,
below). Additional information
regarding characteristics and
identification of megacephalic map
turtles is described in the SSA report
(Service 2023, pp. 5–8). The lack of
distinctive physical features makes it
difficult to differentiate among these
species, even for law enforcement
officers, especially considering their
similar body form, shell markings, and
head markings (Selman 2021, pers.
comm). The Alabama map turtle,
Barbour’s map turtle, Escambia map
turtle, and Pascagoula map turtle all
closely resemble in appearance, at the
point in question, the Pearl River map
turtle such that enforcement personnel
would have substantial difficulty in
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attempting to differentiate between the
listed and unlisted species.
Is the effect of this substantial difficulty
an additional threat to the Pearl River
map turtle?
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Under 50 CFR 17.50(b)(2), we
considered the possibility that an
additional threat is posed to the Pearl
River map turtle by unauthorized trade
or commerce by persons who
misrepresent Pearl River map turtle
specimens as Alabama map turtle,
Barbour’s map turtle, Escambia map
turtle, or Pascagoula map turtle
specimens, because this might result in
the Pearl River map turtle entering the
global black market via the United
States or contributing to market demand
for the Pearl River map turtle. Collection
is a real threat to many turtle species in
the United States and globally (Stanford
et al. 2020, entire), as turtles are
collected in the wild and sold into the
pet trade. This potential unauthorized
trade or commerce of Pearl River map
turtles is caused by a lack of distinct
physical characteristics and difficulty in
distinguishing individual species of
megacephalic map turtles, posing a
problem for Federal and State law
enforcement agents. The listing of the
Alabama map turtle, Barbour’s map
turtle, Escambia map turtle, and
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Pascagoula map turtle as threatened due
to similarity of appearance minimizes
the possibility that private and
commercial collectors will be able to
misrepresent Pearl River map turtles as
Alabama map turtles, Barbour’s map
turtles, Escambia map turtles, or
Pascagoula map turtles for private or
commercial purposes. Therefore, we
find that the difficulty enforcement
personnel will have in attempting to
differentiate among the megacephalic
map turtle species would pose an
additional threat to the Pearl River map
turtle.
Would treatment of the Alabama map
turtle, Barbour’s map turtle, Escambia
map turtle, and Pascagoula map turtle
as endangered or threatened due to
similarity of appearance substantially
facilitate the enforcement and further
the policy of the Act?
The listing of the Alabama map turtle,
Barbour’s map turtle, Escambia map
turtle, and Pascagoula map turtle due to
similarity of appearance will facilitate
Federal, State, and local law
enforcement agents’ efforts to curtail
unauthorized possession, collection,
and trade in the Pearl River map turtle.
Listing the four similar map turtle
species due to similarity of appearance
under section 4(e) of the Act and
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providing applicable prohibitions and
exceptions in a rule issued under
section 4(d) of the Act will substantially
facilitate the enforcement and further
the policy of the Act for the Pearl River
map turtle. For these reasons, we are
listing the Alabama map turtle
(occurring in Alabama, Georgia,
Mississippi, and Tennessee), Barbour’s
map turtle (occurring in Alabama,
Florida, and Georgia), Escambia map
turtle (occurring in Alabama and
Florida), and Pascagoula map turtle
(occurring in Mississippi) as threatened
due to similarity of appearance to the
Pearl River map turtle pursuant to
section 4(e) of the Act.
With this final rule, we do not
consider the Alabama map turtle,
Barbour’s map turtle, Escambia map
turtle, or Pascagoula map turtle to be
biologically threatened or endangered,
but we have determined that listing the
Alabama map turtle, Barbour’s map
turtle, Escambia map turtle, and
Pascagoula map turtle as threatened
species under the similarity of
appearance provision of section 4(e) of
the Act, coupled with a 4(d) rule as
discussed below, minimizes
misidentification and enforcementrelated issues. This listing will promote
and enhance the conservation of the
Pearl River map turtle.
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Federal Register / Vol. 89, No. 134 / Friday, July 12, 2024 / Rules and Regulations
57233
Tennessee
Mississippi
Alabama
Legend
• Alabama Map Turtle
• Barbour's Map Turtle
~ Escambia Map Turtle
EZ:::J Pascagoula Map Turtle
o
32.5
65 M'I1es
, , •
1
1 inch = 63 miles
l::::ml Pearl River Map Turtle 1 centimeter = 40 kilometers
.
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V. Protective Regulations Issued Under
Section 4(d) of the Act for the Alabama
Map Turtle, Barbour’s Map Turtle,
Escambia Map Turtle, and Pascagoula
Map Turtle
Whenever a species is listed as a
threatened species under the Act, the
Secretary may specify regulations that
she deems necessary and advisable to
provide for the conservation of that
species under the authorization of
section 4(d) of the Act. Because we are
listing the Alabama map turtle
(Graptemys pulchra), Barbour’s map
turtle (Graptemys barbouri), Escambia
map turtle (Graptemys ernsti), and
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17:15 Jul 11, 2024
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Pascagoula map turtle (Graptemys
gibbonsi) as threatened species due to
similarity of appearance to the Pearl
River map turtle (see IV. Similarity of
Appearance for the Alabama Map
Turtle, Barbour’s Map Turtle, Escambia
Map Turtle, and Pascagoula Map Turtle,
above), we are finalizing a 4(d) rule to
minimize misidentification and
enforcement-related issues. This 4(d)
rule will promote and enhance the
conservation of the Pearl River map
turtle.
This 4(d) rule establishes certain
prohibitions on take in the form of
collection, capturing, and trapping of
these four similar-in-appearance species
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of map turtle in order to protect the
Pearl River map turtle from unlawful
take, unlawful possession, and unlawful
trade. In this context, take in the form
of collect, capture, or trap is defined as
any activity where Alabama map turtles,
Barbour’s map turtles, Escambia map
turtles, or Pascagoula map turtles are, or
are attempted to be, collected, captured,
or trapped from wild populations.
Incidental take associated with all
otherwise legal activities involving the
Alabama map turtle, Barbour’s map
turtle, Escambia map turtle, and
Pascagoula map turtle that are
conducted in accordance with
applicable State, Federal, Tribal, and
E:\FR\FM\12JYR2.SGM
12JYR2
ER12JY24.001
Figure 2. River drainages occupied by Alabama map turtle, Barbour's map turtle,
Escambia map turtle, Pascagoula map turtle, and Pearl River map turtle. This map does
not depict the current known range of each species within their respective river drainages.
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local laws and regulations is not
considered prohibited under this 4(d)
rule.
Provisions of the 4(d) Rule for the
Alabama Map Turtle, Barbour’s Map
Turtle, Escambia Map Turtle, and
Pascagoula Map Turtle
The protective regulations for
Alabama map turtle, Barbour’s map
turtle, Escambia map turtle, and
Pascagoula map turtle incorporate
prohibitions from section 9(a)(1) to
address the threats to the Pearl River
map turtle. The prohibitions of section
9(a)(1) of the Act, and implementing
regulations codified at 50 CFR 17.21,
make it illegal for any person subject to
the jurisdiction of the United States to
commit, to attempt to commit, to solicit
another to commit or to cause to be
committed any of the following acts
with regard to any endangered wildlife:
(1) import into, or export from, the
United States; (2) take (which includes
harass, harm, pursue, hunt, shoot,
wound, kill, trap, capture, or collect)
within the United States, within the
territorial sea of the United States, or on
the high seas; (3) possess, sell, deliver,
carry, transport, or ship, by any means
whatsoever, any such wildlife that has
been taken illegally; (4) deliver, receive,
carry, transport, or ship in interstate or
foreign commerce, by any means
whatsoever and in the course of
commercial activity; or (5) sell or offer
for sale in interstate or foreign
commerce. This protective regulation
includes most of these prohibitions
because the Pearl River map turtle is at
risk of extinction in the foreseeable
future and putting these prohibitions in
place for Alabama map turtle, Barbour’s
map turtle, Escambia map turtle, and
Pascagoula map turtle will help to
reduce threats to the Pearl River map
turtle.
Under the Act, ‘‘take’’ means to
harass, harm, pursue, hunt, shoot,
wound, kill, trap, capture, or collect, or
to attempt to engage in any such
conduct. Some of these provisions have
been further defined in regulation at 50
CFR 17.3. Take can result knowingly or
otherwise, by direct and indirect
impacts, intentionally or incidentally.
Regulating take will help address
primary threats to the Pearl River map
turtle. We are only prohibiting
intentional take in the form of collect,
capture, or trap, because the threat of
collectors being able to misrepresent
Pearl River map turtles as Pearl River
map turtles as Alabama map turtles,
Barbour’s map turtles, Escambia map
turtles, or Pascagoula map turtles for
private or commercial purposes. This
potential unauthorized trade or
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commerce of Pearl River map turtles is
caused by a lack of distinct physical
characteristics and difficulty in
distinguishing individual species of
megacephalic map turtles, posing a
problem for Federal and State law
enforcement agents. Exceptions to the
prohibition on take include the general
exceptions to the prohibition on take of
endangered wildlife, as set forth in 50
CFR 17.21 and additional exceptions, as
described below.
Despite these prohibitions regarding
threatened species, we may under
certain circumstances issue permits to
carry out one or more otherwise
prohibited activities, including those
described above in accordance with 50
CFR 17.32. The statute also contains
certain exemptions from the
prohibitions, which are found in
sections 9 and 10 of the Act.
In addition, to further the
conservation of the species, any
employee or agent of the Service, any
other Federal land management agency,
the National Marine Fisheries Service, a
State conservation agency, or a federally
recognized Tribe, who is designated by
their agency or Tribe for such purposes,
may, when acting in the course of their
official duties, take threatened wildlife
without a permit if such action is
necessary to: (i) Aid a sick, injured, or
orphaned specimen; or (ii) Dispose of a
dead specimen; or (iii) Salvage a dead
specimen that may be useful for
scientific study; or (iv) Remove
specimens that constitute a
demonstrable but nonimmediate threat
to human safety, provided that the
taking is done in a humane manner; the
taking may involve killing or injuring
only if it has not been reasonably
possible to eliminate such threat by live
capturing and releasing the specimen
unharmed, in an appropriate area.
Because collection is the only form of
take that is prohibited, this exception
will allow any employee or agent of the
Service, any other Federal land
management agency, the National
Marine Fisheries Service, a State
conservation agency, or a federally
recognized Tribe to collect the Alabama
map turtle, Barbour’s map turtle,
Escambia map turtle, or Pascagoula map
turtle.
We recognize the special and unique
relationship that we have with our State
natural resource agency partners in
contributing to conservation of listed
species. State agencies often possess
scientific data and valuable expertise on
the status and distribution of
endangered, threatened, and candidate
species of wildlife and plants. State
agencies, because of their authorities
and their close working relationships
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with local governments and
landowners, are in a unique position to
assist us in implementing all aspects of
the Act. In this regard, section 6 of the
Act provides that we must cooperate to
the maximum extent practicable with
the States in carrying out programs
authorized by the Act. Therefore, any
qualified employee or agent of a State
conservation agency that is a party to a
cooperative agreement with us in
accordance with section 6(c) of the Act,
who is designated by his or her agency
for such purposes, will be able to
conduct activities that may result in
otherwise prohibited take (in this case,
collection) without additional
authorization.
The 4(d) rule does not prohibit
incidental take of the Alabama map
turtle, Barbour’s map turtle, Escambia
map turtle, and Pascagoula map turtle.
Incidental take is take that results from,
but is not the purpose of, carrying out
an otherwise lawful activity. For
example, construction activities,
application of pesticides and fertilizers,
silviculture and forest management
practices, maintenance dredging
activities that remain in the previously
disturbed portion of a maintained
channel, and any other legally
undertaken actions that result in the
accidental take of an Alabama map
turtle, Barbour’s map turtle, Escambia
map turtle, or Pascagoula map turtle
will not be considered a violation of
section 9 of the Act.
Effects of the Final 4(d) Rule
Listing the Alabama map turtle,
Barbour’s map turtle, Escambia map
turtle, and Pascagoula map turtle as
threatened species under the ‘‘similarity
of appearance’’ provisions of section
4(e) of the Act, and the promulgation of
a rule under section 4(d) of the Act to
extend prohibitions regarding take in
the form of collect, capture, or trap,
import, export, and commerce to these
species, will provide a conservation
benefit to the Pearl River map turtle.
As the Alabama map turtle, Barbour’s
map turtle, Escambia map turtle, and
Pascagoula map turtle can be confused
with the Pearl River map turtle, we
strongly recommend maintaining the
appropriate documentation and
declarations with legal specimens at all
times, especially when importing them
into the United States, and permit
holders must also comply with the
import/export transfer regulations at 50
CFR part 14, where applicable. All
otherwise legal activities that may
involve what we would normally define
as incidental take (take that results from,
but is not the purpose of, carrying out
an otherwise lawful activity) of these
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similar turtles, and which are conducted
in accordance with applicable State,
Federal, Tribal, and local laws and
regulations, are not prohibited under
this 4(d) rule.
We do not find it necessary to apply
incidental take prohibitions for those
otherwise legal activities to these four
similar turtles (Alabama map turtle,
Barbour’s map turtle, Escambia map
turtle, and Pascagoula map turtle), as
these activities will not pose a threat to
the Pearl River map turtle because: (1)
Activities that affect the waters where
the Alabama map turtle, Barbour’s map
turtle, Escambia map turtle, and
Pascagoula map turtle reside will not
affect the Pearl River map turtle; and (2)
the primary threat as it relates to the
Pearl River map turtle comes from
collection and commercial trade of the
similar turtles. Listing the Alabama map
turtle, Barbour’s map turtle, Escambia
map turtle, and Pascagoula map turtle
under the similarity of appearance
provision of section 4(e) of the Act,
coupled with this 4(d) rule, will help
minimize enforcement problems related
to collection and enhance conservation
of the Pearl River map turtle.
Required Determinations
National Environmental Policy Act (42
U.S.C. 4321 et seq.)
Regulations adopted pursuant to
section 4(a) of the Act are exempt from
the National Environmental Policy Act
(NEPA; 42 U.S.C. 4321 et seq.) and do
not require an environmental analysis
under NEPA. We published a notice
outlining our reasons for this
determination in the Federal Register
on October 25, 1983 (48 FR 49244). This
includes listing, delisting, and
reclassification rules, as well as critical
habitat designations and speciesspecific protective regulations
promulgated concurrently with a
decision to list or reclassify a species as
threatened. The courts have upheld this
Common name
position (e.g., Douglas County v.
Babbitt, 48 F.3d 1495 (9th Cir. 1995)
(critical habitat); Center for Biological
Diversity v. U.S. Fish and Wildlife
Service, 2005 WL 2000928 (N.D. Cal.
Aug. 19, 2005) (concurrent 4(d) rule)).
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, May 4,
1994), Executive Order 13175
(Consultation and Coordination with
Indian Tribal Governments), the
President’s memorandum of November
30, 2022 (Uniform Standards for Tribal
Consultation; 87 FR 74479, December 5,
2022), and the Department of the
Interior’s manual at 512 DM 2, we
readily acknowledge our responsibility
to communicate meaningfully with
federally recognized Tribes and Alaska
Native Corporations (ANCs) on a
government-to-government basis. In
accordance with Secretaries’ Order 3206
of June 5, 1997 (American Indian Tribal
Rights, Federal-Tribal Trust
Responsibilities, and the Endangered
Species Act), we readily acknowledge
our responsibilities to work directly
with Tribes in developing programs for
healthy ecosystems, to acknowledge that
Tribal lands are not subject to the same
controls as Federal public lands, to
remain sensitive to Indian culture, and
to make information available to Tribes.
We coordinated with Tribes within the
Pearl River map turtle’s range when we
initiated the SSA process. We also
requested review of the SSA report and
addressed comments accordingly. We
also coordinated with Tribes within the
Alabama, Barbour’s, and Escambia map
turtles’ ranges, requesting information
regarding threats and conservation
actions for those species. There are no
Tribes within the range of the
Pascagoula map turtle.
Scientific name
*
References Cited
*
Where listed
*
A complete list of references cited in
this rulemaking is available on the
internet at https://www.regulations.gov
and upon request from the Mississippi
Ecological Services Field Office (see FOR
FURTHER INFORMATION CONTACT).
Authors
The primary authors of this final rule
are the staff members of the Fish and
Wildlife Service’s Species Assessment
Team and the Mississippi Ecological
Services Field Office.
List of Subjects in 50 CFR Part 17
Endangered and threatened species,
Exports, Imports, Plants, Reporting and
recordkeeping requirements,
Transportation, Wildlife.
Regulation Promulgation
Accordingly, we amend part 17,
subchapter B of chapter I, title 50 of the
Code of Federal Regulations, as set forth
below:
PART 17—ENDANGERED AND
THREATENED WILDLIFE AND PLANTS
1. The authority citation for part 17
continues to read as follows:
■
Authority: 16 U.S.C. 1361–1407; 1531–
1544; and 4201–4245, unless otherwise
noted.
2. In § 17.11, in paragraph (h), amend
the List of Endangered and Threatened
Wildlife by adding entries for ‘‘Turtle,
Alabama map’’, ‘‘Turtle, Barbour’s
map’’, ‘‘Turtle, Escambia map’’, ‘‘Turtle,
Pascagoula map’’, and ‘‘Turtle, Pearl
River map’’ in alphabetical order under
Reptiles to read as follows:
■
§ 17.11 Endangered and threatened
wildlife.
*
*
*
(h) * * *
*
Listing citations and
applicable rules
Status
*
*
*
*
*
lotter on DSK11XQN23PROD with RULES2
REPTILES
*
Turtle, Alabama map .......
*
*
Graptemys pulchra .........
*
Wherever found ..............
T (S/A)
*
Turtle, Barbour’s map .....
*
*
Graptemys barbouri .......
*
Wherever found ..............
T (S/A)
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*
*
*
89 FR [INSERT FEDERAL REGISTER PAGE
WHERE THE DOCUMENT BEGINS], 7/12/
2024; 50 CFR 17.42(n).4d
*
*
*
89 FR [INSERT FEDERAL REGISTER PAGE
WHERE THE DOCUMENT BEGINS], 7/12/
2024; 50 CFR 17.42(n).4d
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Federal Register / Vol. 89, No. 134 / Friday, July 12, 2024 / Rules and Regulations
Common name
Scientific name
Where listed
Status
*
Turtle, Escambia map .....
*
*
Graptemys ernsti ............
*
Wherever found ..............
T (S/A)
*
Turtle, Pascagoula map ..
*
*
Graptemys gibbonsi .......
*
Wherever found ..............
T (S/A)
*
Turtle, Pearl River map ...
*
*
Graptemys pearlensis ....
*
Wherever found ..............
T
*
*
*
3. Amend § 17.42 by adding
paragraphs (m) and (n) to read as
follows:
■
§ 17.42
Species-specific rules—reptiles.
*
*
*
*
(m) Pearl River map turtle (Graptemys
pearlensis).
(1) Prohibitions. The following
prohibitions that apply to endangered
wildlife also apply to the Pearl River
map turtle. Except as provided under
paragraphs (m)(2) and (3) of this section
and §§ 17.4 and 17.5, it is unlawful for
any person subject to the jurisdiction of
the United States to commit, to attempt
to commit, to solicit another to commit,
or cause to be committed, any of the
following acts in regard to this species:
(i) Import or export, as set forth at
§ 17.21(b) for endangered wildlife.
(ii) Take, as set forth at § 17.21(c)(1)
for endangered wildlife.
(iii) Possession and other acts with
unlawfully taken specimens, as set forth
at § 17.21(d)(1) for endangered wildlife.
(iv) Interstate or foreign commerce in
the course of a commercial activity, as
set forth at § 17.21(e) for endangered
wildlife.
(v) Sale or offer for sale, as set forth
at § 17.21(f) for endangered wildlife.
(2) General exceptions from
prohibitions. In regard to this species,
you may:
lotter on DSK11XQN23PROD with RULES2
*
VerDate Sep<11>2014
17:15 Jul 11, 2024
Jkt 262001
*
Listing citations and
applicable rules
*
*
*
89 FR [INSERT FEDERAL REGISTER PAGE
WHERE THE DOCUMENT BEGINS], 7/12/
2024; 50 CFR 17.42(n).4d
*
*
*
89 FR [INSERT FEDERAL REGISTER PAGE
WHERE THE DOCUMENT BEGINS], 7/12/
2024; 50 CFR 17.42(n).4d
*
*
*
89 FR [INSERT FEDERAL REGISTER PAGE
WHERE THE DOCUMENT BEGINS], 7/12/
2024; 50 CFR 17.42(m).4d
*
(i) Conduct activities as authorized by
a permit under § 17.32.
(ii) Take, as set forth at § 17.21(c)(2)
and (4) for endangered wildlife.
(ii) Possess and engage in other acts
with unlawfully taken wildlife, as set
forth at § 17.21(d)(2) for endangered
wildlife.
(iii) Take as set forth at § 17.31(b).
(3) Exceptions from prohibitions for
specific types of incidental take. You
may take this species incidental to an
otherwise lawful activity caused by
silvicultural practices and forest
management activities that use Stateapproved best management practices
designed to protect water quality and
stream and riparian habitat.
(n) Alabama map turtle (Graptemys
pulchra), Barbour’s map turtle
(Graptemys barbouri), Escambia map
turtle (Graptemys ernsti), and
Pascagoula map turtle (Graptemys
gibbonsi).
(1) Prohibitions. The following
prohibitions that apply to endangered
wildlife also apply to the Alabama map
turtle, Barbour’s map turtle, Escambia
map turtle, and Pascagoula map turtle.
Except as provided under paragraph
(n)(2) of this section and §§ 17.4 and
17.5, it is unlawful for any person
subject to the jurisdiction of the United
States to commit, to attempt to commit,
PO 00000
Frm 00032
Fmt 4701
Sfmt 9990
*
*
to solicit another to commit, or cause to
be committed, any of the following acts
in regard to these species:
(i) Import or export, as set forth at
§ 17.21(b) for endangered wildlife.
(ii) Intentional take in the form of
collect, capture, or trap (other than for
scientific purposes).
(iii) Possession and other acts with
unlawfully taken specimens, as set forth
at § 17.21(d)(1) for endangered wildlife.
(iv) Interstate or foreign commerce in
the course of a commercial activity, as
set forth at § 17.21(e) for endangered
wildlife.
(v) Sale or offer for sale, as set forth
at § 17.21(f) for endangered wildlife.
(2) General exceptions from
prohibitions. In regard to these species,
you may:
(i) Conduct activities as authorized by
a permit under § 17.32.
(ii) Take as set forth at § 17.31(b).
(iii) Possess and engage in other acts
with unlawfully taken wildlife, as set
forth at § 17.21(d)(2) for endangered
wildlife.
Martha Williams,
Director, U.S. Fish and Wildlife Service.
[FR Doc. 2024–15176 Filed 7–9–24; 4:15 pm]
BILLING CODE 4333–15–P
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Agencies
[Federal Register Volume 89, Number 134 (Friday, July 12, 2024)]
[Rules and Regulations]
[Pages 57206-57236]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2024-15176]
[[Page 57205]]
Vol. 89
Friday,
No. 134
July 12, 2024
Part II
Department of the Interior
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Fish and Wildlife Service
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50 CFR Part 17
Endangered and Threatened Wildlife and Plants; Threatened Species
Status for Pearl River Map Turtle With Section 4(d) Rule; and
Threatened Species Status for Alabama Map Turtle, Barbour's Map Turtle,
Escambia Map Turtle, and Pascagoula Map Turtle Due to Similarity of
Appearance With Section 4(d) Rule; Final Rule
Federal Register / Vol. 89, No. 134 / Friday, July 12, 2024 / Rules
and Regulations
[[Page 57206]]
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DEPARTMENT OF THE INTERIOR
Fish and Wildlife Service
50 CFR Part 17
[Docket No. FWS-R4-ES-2021-0097; FXES1111090FEDR-245-FF09E21000]
RIN 1018-BF42
Endangered and Threatened Wildlife and Plants; Threatened Species
Status for Pearl River Map Turtle With Section 4(d) Rule; and
Threatened Species Status for Alabama Map Turtle, Barbour's Map Turtle,
Escambia Map Turtle, and Pascagoula Map Turtle Due to Similarity of
Appearance With Section 4(d) Rule
AGENCY: Fish and Wildlife Service, Interior.
ACTION: Final rule.
-----------------------------------------------------------------------
SUMMARY: We, the U.S. Fish and Wildlife Service (Service), list the
Pearl River map turtle (Graptemys pearlensis), a freshwater turtle
species from the Pearl River drainage in Mississippi and Louisiana as a
threatened species with 4(d) protective regulations under the
Endangered Species Act of 1973 (Act), as amended. Due to similarity of
appearance, we also list the Alabama map turtle (Graptemys pulchra),
Barbour's map turtle (Graptemys barbouri), Escambia map turtle
(Graptemys ernsti), and Pascagoula map turtle (Graptemys gibbonsi) as
threatened species with 4(d) protective regulations under the Act. This
rule adds these species to the List of Endangered and Threatened
Wildlife.
DATES: This rule is effective August 12, 2024.
ADDRESSES: This final rule is available on the internet at https://www.regulations.gov under Docket No. FWS-R4-ES-2021-0097 and at the
Service's Environmental Conservation Online System (ECOS) species page
at https://ecos.fws.gov/ecp/species/10895. Comments and materials we
received, as well as supporting documentation we used in preparing this
rule (such as the species status assessment report), are available for
public inspection at https://www.regulations.gov at Docket No. FWS-R4-
ES-2021-0097.
FOR FURTHER INFORMATION CONTACT: James Austin, Field Supervisor, U.S.
Fish and Wildlife Service, Mississippi Ecological Services Field
Office, 6578 Dogwood View Parkway, Suite A, Jackson, MS 39213;
telephone 601-321-1129. Individuals in the United States who are deaf,
deafblind, hard of hearing, or have a speech disability may dial 711
(TTY, TDD, or TeleBraille) to access telecommunications relay services.
Individuals outside the United States should use the relay services
offered within their country to make international calls to the point-
of-contact in the United States.
SUPPLEMENTARY INFORMATION:
Executive Summary
Why we need to publish a rule. Under the Act (16 U.S.C. 1531 et
seq.), a species warrants listing if it meets the definition of an
endangered species (in danger of extinction throughout all or a
significant portion of its range) or a threatened species (likely to
become an endangered species within the foreseeable future throughout
all or a significant portion of its range). If we determine that a
species warrants listing, we must list the species promptly and
designate the species' critical habitat to the maximum extent prudent
and determinable. We have determined that the Pearl River map turtle
meets the Act's definition of a threatened species; therefore, we are
listing it as such. In addition, due to similarity of appearance, we
have determined threatened species status for the Alabama map turtle,
Barbour's map turtle, Escambia map turtle, and Pascagoula map turtle.
Listing a species as an endangered or threatened species can be
completed only by issuing a rule through the Administrative Procedure
Act rulemaking process (5 U.S.C. 551 et seq.).
What this document does. This rule lists the Pearl River map turtle
as a threatened species with a rule issued under section 4(d) of the
Act (a ``4(d) rule''). It also lists the Alabama map turtle, Barbour's
map turtle, Escambia map turtle, and Pascagoula map turtle as
threatened species based on their similarity of appearance to the Pearl
River map turtle under section 4(e) of the Act with a 4(d) rule for
these species.
In our November 23, 2021, proposed rule, we found critical habitat
to be not prudent for the Pearl River map turtle because of the
potential for an increase in poaching. However, we have reevaluated the
prudency determination based on public comment and the already
available information in the public domain that indicates where the
species can be found. Consequently, we have determined that critical
habitat is prudent but not determinable at this time for the species.
We intend to publish a proposed rule designating critical habitat for
the Pearl River map turtle in the near future.
The basis for our action. Under the Act, we may determine that a
species is an endangered or threatened species because of 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 Pearl
River map turtle include habitat degradation or loss (degraded water
quality, channel and hydrologic modifications/impoundments,
agricultural runoff, mining, and development--Factor A), collection
(Factor B), and effects of climate change (increasing temperatures,
drought, sea-level rise (SLR), hurricane regime changes, and increased
seasonal precipitation--Factor E).
Section 4(a)(3) of the Act requires the Secretary of the Interior
(Secretary), to the maximum extent prudent and determinable,
concurrently with listing designate critical habitat for the species.
We have not yet been able to obtain the necessary economic information
needed to develop a proposed critical habitat designation for the Pearl
River map turtle, although we are in the process of obtaining this
information. At this time, we find that designation of critical habitat
for the Pearl River map turtle is not determinable. When critical
habitat is not determinable, the Act allows the Service an additional
year to publish a critical habitat designation (16 U.S.C.
1533(b)(6)(C)(ii)).
Previous Federal Actions
Please refer to the proposed listing rule (86 FR 66624; November
23, 2021) for a detailed description of previous Federal actions
concerning the Pearl River map turtle, Alabama map turtle, Barbour's
map turtle, Escambia map turtle, and Pascagoula map turtle.
Peer Review
A species status assessment (SSA) team prepared an SSA report for
the Pearl River map turtle (Service 2023, entire). The SSA team was
composed of Service biologists, in consultation with other species
experts. The SSA report represents a compilation of the best scientific
and commercial data available concerning the status of the species,
including the impacts of past, present, and future factors (both
negative and beneficial) affecting the species.
In accordance with our joint policy on peer review published in the
Federal Register on July 1, 1994 (59 FR 34270), and our August 22,
2016, memorandum updating and clarifying the role of peer review in
listing actions under the Act,
[[Page 57207]]
we solicited independent scientific review of the information contained
in the Pearl River map turtle SSA report, version 1.1 (Service 2021,
entire). We sent the SSA report to five independent peer reviewers and
received responses from all five reviewers; three substantive comments
were provided by two peer reviewers. We notified Tribal nations early
in the SSA process for the Pearl River map turtle. We sent the draft
SSA report for review to the Mississippi Band of Choctaw Indians and
received comments that were addressed in the SSA report. The peer
reviews can be found at https://www.regulations.gov at Docket No. FWS-
R4-ES-2021-0097 and at our Mississippi Ecological Services Field Office
(see FOR FURTHER INFORMATION CONTACT). In preparing the proposed rule,
we incorporated the results of these reviews, as appropriate, into the
SSA report, which was the foundation for the proposed rule and this
final rule. A summary of the peer review comments and our responses can
be found in the Summary of Comments and Recommendations, below.
Summary of Changes From the Proposed Rule
After consideration of the comments we received during the November
23, 2021, proposed rule's comment period (refer to Summary of Comments
and Recommendations, below), and new information published or obtained
since the proposed rule was published, we updated the SSA report to
include new information. The revised SSA report is available as version
1.2 (Service 2023, entire). In addition, in this final rule, we add
information to the listing determination for the Pearl River map turtle
and the associated 4(d) rule's exceptions to prohibitions. Many small,
nonsubstantive changes and corrections, which do not affect the
determination (e.g., minor clarifications, correcting grammatical
errors, etc.), are made throughout this document. Below is a summary of
changes we make in this final rule.
(1) We update the citation for one literature source reporting on
the status of the Pearl River and Pascagoula map turtles (Lindeman et
al. 2020, entire) to reflect its recent publication in a peer-reviewed
journal.
(2) We incorporate an additional citation (Refsnider et al. 2016,
entire) to discuss how the potential for climate change-induced impacts
to turtle hatchling sex ratios, a result of these turtles exhibiting
temperature-dependent sex determination (TSD), may be mitigated by
plasticity of TSD thermal sensitivity and the mother turtle's ability
for nest-site selection.
(3) For the Pearl River map turtle's 4(d) rule, we do not include
an exception from the incidental take prohibition resulting from
construction, operation, and maintenance activities that occur near and
in a stream. We determined that this exception is too vague and could
have caused confusion regarding whether State or Federal regulatory
processes apply to these activities. Many activities occurring near or
in a stream require permits or project review by Federal or State
agencies, and including this exception could have been interpreted as
removing these requirements, which was not our intention. Therefore, we
find that finalizing a 4(d) rule that included this exception to
incidental take is not necessary and advisable for the conservation of
the species.
(4) For the Pearl River map turtle's 4(d) rule, we do not include
an exception from the incidental take prohibition resulting from
maintenance dredging activities that remain in the previously disturbed
portion of a maintained channel. We determined that this exception is
too vague and could have caused confusion regarding whether State or
Federal regulatory processes apply to these activities. In addition,
dredging activities to promote river traffic can cause temporary
turbidity, leading to smothering of prey species (e.g., aquatic
invertebrates) and decreased ability of the Pearl River map turtle to
forage on these species; the removal of underwater snags, which could
further reduce prey availability by eliminating areas where prey is
found; and the removal of sheltering and basking locations for the
turtle. All in-water work, including dredging in a previously dredged
area, requires appropriate State and Federal permits, so including this
exception could have been interpreted as removing this requirement,
which was not our intention. Therefore, we find that finalizing a 4(d)
rule that included this exception to incidental take is not necessary
and advisable for the conservation of the species.
(5) For the Pearl River map turtle's 4(d) rule, we do not include
an exception to the incidental take prohibitions resulting from
herbicide/pesticide use in this final rule. We do not have enough
information about the types or amounts of pesticides that may be
applied in areas where Pearl River map turtle occurs to be able assess
the future impacts to the species. The additional materials provided
during the public comment period indicate impacts to other turtle
species from pesticide use occurs (de Solla et al. 2014, entire; Douros
et al. 2015, pp.113-114 ; Kittle et al. 2018, entire; Smith et al.
2020, entire; EPA 2021a, at Ch. 4, Appendix 4-1; EPA 2021d, at Ch. 2;
EPA 2021e, at Ch. 2, EPA2021e, at Ch. 4, Appendix 4-1). Further, we
note that the Environmental Protection Agency (EPA) has not consulted
on most pesticide registrations to date, so excepting take solely based
on user compliance with label directions and State and local
regulations EPA has not consulted on most pesticide registrations to
date and is not appropriate in this situation. Retaining this exception
in the absence of consultation on a specific pesticide registration may
create confusion regarding the consideration of these impacts and
whether Federal regulatory processes apply to these activities. It was
not our intent to supersede the consultation on the pesticide
registration nor other Federal activities. Therefore, we find that
finalizing a 4(d) rule that included this exception to incidental take
is not necessary and advisable for the conservation of the species.
(6) For the Pearl River map turtle 4(d) rule and Alabama map
turtle, Barbour's map turtle, Escambia map turtle, and Pascagoula map
turtle 4(d) rule, we make minor revisions to the preamble's description
of the prohibitions and exceptions in our rule issued under section
4(d) of the Act (``4(d) rule'') in the preamble of this final rule to
be consistent with the regulatory text that sets forth the 4(d) rule.
While we have refined the text, the substance of the prohibitions and
exceptions has not changed, except as outlined above.
In addition, we inadvertently left off from the proposed 4(d) rule
for the Alabama map turtle, Barbour's map turtle, Escambia map turtle,
and Pascagoula map turtle the 17.21(d)(2) provision regarding
possession and engaging in other acts with unlawfully endangered
wildlife by Federal and State law enforcement, and we have added this
to final rule itself.
(7) We update the information on the Convention on International
Trade in Endangered Species of Wild Fauna and Flora (CITES; 27 U.S.T.
1087, TIAS 8249) to reflect that the Pearl River map turtle (Graptemys
pearlensis), Alabama map turtle (Graptemys pulchra), Barbour's map
turtle (Graptemys barbouri), Escambia map turtle (Graptemys ernsti),
and Pascagoula map turtle (Graptemys gibbonsi) were transferred from
Appendix III of CITES to Appendix II (CITES 2023, p. 46).
(8) We reevaluated the critical habitat prudency determination for
the Pearl River map turtle and now find that critical habitat is
prudent but not
[[Page 57208]]
determinable at this time for the species. We intend to publish a
proposed rule designating critical habitat for the Pearl River map
turtle in the near future.
Summary of Comments and Recommendations
In our November 23, 2021, proposed rule (86 FR 66624), we requested
that all interested parties submit written comments on the proposal by
January 24, 2022. We also contacted appropriate Federal and State
agencies, scientific experts and organizations, and other interested
parties and invited them to comment on the proposal. Newspaper notices
inviting general public comment were published in USA Today on December
8, 2021. We did not receive any requests for a public hearing. All
substantive information provided to us during the comment period has
been incorporated directly into this final rule or is addressed below.
Peer Reviewer Comments
As discussed in Peer Review, above, we received comments from five
peer reviewers on the draft SSA report. We reviewed all comments we
received from the peer reviewers for substantive issues and new
information regarding the contents of the SSA report. Most comments
received were grammatical and improved accuracy and readability of the
SSA. The three substantive comments from peer reviewers are addressed
in the following summary. As discussed above, because we conducted this
peer review prior to the publication of our November 23, 2021, proposed
rule (86 FR 66624), we had already incorporated all applicable peer
review comments into version 1.2 of the SSA report (Service 2023,
entire), which is the foundation for the proposed rule and this final
rule.
The peer reviewers generally concurred with our methods and
conclusions and provided additional information and suggestions for
clarifying and improving the accuracy of the updated version of the SSA
report. Three substantive comments from peer reviewers are addressed in
the following summary and were incorporated into the SSA report,
version 1.2 (Service 2023, entire), as appropriate.
Peer Reviewer Comments
(1) Comment: One peer reviewer questioned how the assessment of
future condition of the Pearl River map turtle could be conducted
without knowing population trends through time compared to historical
baseline data or through the use of demographic or viability models.
Our Response: Limited historical data exist for the Pearl River map
turtle to provide a sufficient baseline to determine current or future
population trends or densities. In addition, the limited amount of
historical data prohibited the Service from modeling population
viability or demographics. The best available science was used to
assess future condition based on projected increases in potential
threats, which resulted in the Service concluding that the Pearl River
map turtle meets the Act's definition of a threatened species. We have
added a statement in the SSA report to clarify the lack of research on
population trends and demographics through time.
(2) Comment: One peer reviewer questioned if locations that were
deemed high density for the population estimates are actually
comparable to historical high density or are just populations that are
slowly declining towards extirpation.
Our Response: Since historical densities are unknown, it was not
feasible to determine if locations recently classified as high density
are comparable to historical high-density locations. Density
classifications were based on recent basking density surveys (Lindeman
et al. 2020, entire) representing the current status of the Pearl River
map turtle.
(3) Comment: One peer reviewer mentioned water quality issues
associated with large-scale chicken operations on the Strong River.
Our Response: To determine how this additional water quality
information would impact the overall composite score, we decreased the
water quality score for the Pearl River-Strong and Pearl River-Silver
resilience units from moderate to low; however, the overall composite
score for both resilience units is still classified as moderate even
with a low water quality classification. Thus, the overall composite
score for the resilience units did not change, and we retain the
original scoring classifications. We appreciate the additional
reference material, and these water quality issues were updated in the
SSA report, version 1.2 (Service 2023, pp. 25-27, 65).
Comments From States
The Georgia Department of Natural Resources (GaDNR) Wildlife
Resources Division provided a comment letter in support of listing the
Barbour's map turtle and Escambia map turtle as threatened due to
similarity of appearance. The Mississippi Department of Wildlife,
Fisheries, and Parks (MDWFP) provided a comment letter in support of
listing the Pearl River map turtle as threatened and listing the
Pascagoula map turtle, Alabama map turtle, Escambia map turtle, and
Barbour's map turtle as threatened due to similarity of appearance. The
Florida Fish and Wildlife Conservation Commission (FWC) submitted a
letter in opposition to listing the Escambia map turtle and Barbour's
map turtle as threatened due to similarity of appearance because of
potential conflicting regulations and expected regulatory confusion
within the State. Federal listing would shift permitting for take from
FWC to the Service, potentially causing regulatory confusion among
stakeholders about: (1) the legality of possession of these species in
Florida, and (2) whether or not a State permit for incidental take of
these species is required. The Service is actively working with FWC to
rectify conflicts between State regulations and those Federal
regulations that provide protection under the Act.
Public Comments
(4) Comment: One commenter questioned the not-warranted finding for
the Pascagoula map turtle due to the lower population abundances when
compared with other federally threatened map turtles such as the ringed
map turtle (Graptemys oculifera) and yellow-blotched map turtle (G.
flavimaculata).
Our Response: Listing of a species is not dependent upon the
population abundances of previously listed species. The Pascagoula map
turtle does not meet the Act's definition of either an endangered
species or a threatened species based on the analysis of its current
and future conditions using the best available science. The 12-month
finding and all other supporting information can be found on the
internet at https://www.regulations.gov under Docket No. FWS-R4-ES-
2021-0097.
However, in this rule, we are listing the Pascagoula map turtle
along with Alabama map turtle (Graptemys pulchra), Barbour's map turtle
(Graptemys barbouri), and Escambia map turtle (Graptemys ernsti) as
threatened species due to similarity of appearance to the Pearl River
map turtle.
(5) Comment: One commenter stated that the Pearl River map turtle
is not a separate species based on a publication by Praschag et al.
(2017).
Our Response: The Pearl River map turtle was initially described as
a new species based on mitochondrial DNA (mtDNA) sequences, significant
carapace pattern variation, morphological differentiation, and
[[Page 57209]]
allopatric distributions between the Pearl River map turtle and the
Pascagoula map turtle (Ennen et al. 2010, entire). For example, mtDNA
sequences showed greater genetic differentiation between the Pearl
River map turtle in the Pearl River and the Pascagoula map turtle in
the Pascagoula River than mtDNA sequence differences between two other
recognized, and reciprocally sympatric, species: ringed map turtle in
the Pearl River and yellow-blotched map turtle in the Pascagoula River
(Ennen et al. 2010, entire). However, a 2017 study, using mtDNA and 12
nuclear loci, determined that the Pearl River map turtle is not a
separate species from the Pascagoula map turtle, and that the genus
Graptemys is taxonomically over split (Praschag et al. 2017, entire).
We considered this information and disregarded it due to the captive
origin of the sampled turtles used (Praschag et al. 2017, p. 677), as
well as the genetic analyses that were called into question (Thomson et
al. 2018, p. 68). The most recent comprehensive genetic analysis (18
nuclear genes and 2 mtDNA sequences) that assessed wild Graptemys
determined that the Pearl River map turtle is a valid species (Thomson
et al. 2018, entire). Additionally, several other recent publications
recognize the Pearl River map turtle as a separate species from the
Pascagoula map turtle (Lindeman et al. 2020, entire; Selman and
Lindeman 2020, entire; Vu[ccaron]enovi[cacute] and Lindeman 2021,
entire; Selman 2020b, entire; Smith et al. 2020, entire).
(6) Comment: One commenter stated that, due to the difficulty of
identifying the Pearl River map turtle, research conducted by college
and graduate students on this species is not reliable and cannot be
used to determine populations.
Our Response: A species expert stated that only 5 to 10
professionals can distinguish the difference among the megacephalic map
turtles: Pearl River map turtle, Pascagoula map turtle, Alabama map
turtle, Escambia map turtle, and Barbour's map turtle (Selman 2021,
pers. comm.). There are only two native map turtle species within the
Pearl River drainage: the megacephalic Pearl River map turtle and the
microcephalic ringed map turtle. Unlike distinguishing among
megacephalic map turtle species, these two species can be readily
identified from one another by trained students utilizing morphological
characteristics including proportional head size, head and carapace
coloration and patterning, and the distinct rings found on the carapace
of the ringed map turtle. Information used within the SSA was gathered
by professionals from academia and State and Federal agencies, as well
as from graduate students at local universities.
(7) Comment: One commenter raised concerns about the reliability of
using data from a different species as a surrogate for Pearl River map
turtle population estimates. Additionally, the commenter stated that
differences in survey techniques for the Pearl River map turtle may
have led to inaccurate population estimates.
Our Response: As population data were not available for the Pearl
River map turtle, population abundance was estimated using a correction
factor (based on previous mark-resight studies of the Pascagoula map
turtle) to estimate the population abundance of the Pearl River map
turtle from basking density surveys conducted within the Pearl River
drainage (Lindeman et al. 2020, entire). The Service considers this to
be the best available science as the Pascagoula map turtle is the
sister species of the Pearl River map turtle (Thomson et al. 2018,
entire; Ennen et al. 2010, entire) and both fill a similar role within
their respective river drainages. Although survey techniques may have
differed among the surveys conducted on the Pearl River map turtle, we
used the best available science to assess population status (Lindeman
et al. 2020, entire).
(8) Comment: One commenter noted the relatively recent discovery of
tributary populations that consist of approximately one-third of the
total Pearl River map turtle abundance in the river system. The
commenter noted that the Service may not have taken potentially unknown
tributary populations into consideration during the proposed listing,
and that more Pearl River map turtles may reside within these
tributaries than was assessed in the SSA.
Our Response: The most recently published range map provides the
known range of the Pearl River map turtle within the Pearl River and
its major tributaries and is based on thorough surveys of the river
system (Lindeman et al. 2020, p. 176). This 2020 publication lists the
tributaries throughout the drainage that have been surveyed, as well as
those tributaries where no Pearl River map turtles were observed
(Lindeman et al. 2020, Supplemental Material 2). This information
represents the best available science and was incorporated into the
SSA, version 1.2 (Service 2023, pp. 45-48).
(9) Comment: One commenter stated that the performed models provide
insufficient information compared to actual water quality data and that
research to determine water quality within the Pearl River would be key
to developing a recovery plan. Additionally, the commenter stated that
there is speculation regarding how land use factors into the proxy
approach.
Our Response: Because no long-term (pre-Ross Barnett Reservoir)
water quality data exist for the watershed, we used the best available
science related to land use as a proxy for water quality. The 2016
National Land Cover Dataset (NLCD) includes different categorizations
of agricultural use, urbanization, and forest cover. As stated in the
SSA report, version 1.2 (Service 2023, p. 62), urbanization and
agricultural land uses were considered as threats impacting water
quality, and a land cover percentage was calculated for these threats
by using the total land cover (including all NLCD land cover
categories) within the buffer around each occupied stream.
(10) Comment: One commenter noted that the use of any sea-level
rise (SLR) predictions as a threat to future conditions is
questionable, as turtles will move in response to inundation, and that
the Service needs to gather actual data in order to learn what is
important to the survivability of the turtles.
Our Response: Sea-level rise is expected to impact one location
inhabited by Pearl River map turtles within the West Pearl River and up
to 10.8 river miles (rmi) (17.4 river kilometers (rkm)) of occupied
habitat within the East Pearl River under the ``extreme'' SLR scenario
(Service 2023 p. 87). These turtles may move upstream; however, SLR
eliminates suitable habitat for the species in the Pearl River and
lower sections of the Bogue Chitto River due to increased salinity. A
2009 study provides additional evidence that increased salinity can
cause population declines in Graptemys, as seen by a 50 percent decline
in population density of yellow-blotched map turtles (G. flavimaculata)
within the lower Pascagoula River attributed to Hurricane Katrina storm
surge (Selman et al. 2009, entire). We used the best available
scientific data to inform how SLR would impact the Pearl River map
turtle in the future.
(11) Comment: One commenter stated that the Service did not use the
best available science related to predation and illegal collection of
the Pearl River map turtle due to limited information known about these
two potential threats. Additionally, the commenter stated that using
the Pascagoula map turtle as a surrogate for the Pearl River
[[Page 57210]]
map turtle was not appropriate given their differing diets.
Our Response: We used the best available scientific and commercial
data on predation, diet, and illegal collection of the Pearl River map
turtle in the SSA report to inform the proposed, and this final,
threatened species status determination for the Pearl River map turtle.
Regarding predation of the Pearl River map turtle, we address the
information in the SSA report, version 1.2 (Service 2023, pp. 28-29),
as no other studies are available and no additional information
regarding predation was provided during the November 23, 2021, proposed
rule's comment period.
Regarding information about diet, some variation exists between the
Pearl River map turtle and the Pascagoula map turtle's food preferences
(McCoy et al. 2020, entire; Vu[ccaron]enovi[cacute] et al. 2021,
entire); however, both species rely predominantly on aquatic
invertebrates, which are affected similarly by water quality (Jones et
al. 2021, p. 14; Lydeard et al. 2004, entire).
Although little information exists on the current collection and/or
trade of the Pearl River map turtle, exploitation of the megacephalic
map turtles (Graptemys spp.) for the pet trade has been documented
(Lindeman 1998, p. 137; Cheung and Dudgeon 2006, p. 756; Service 2006,
p. 2; Selman and Qualls 2007, pp. 32-34; Ennen et al. 2016, p. 094.6).
Additionally, rare species are more sought after for the pet trade
(Sung and Fong 2018, p. 221), potentially leading to higher
exploitation of the species.
(12) Comment: One commenter stated that listing the Pascagoula map
turtle, Alabama map turtle, Escambia map turtle, and Barbour's map
turtle as threatened due to similarity of appearance does not create
any additional protection or remove any additional threats to the Pearl
River map turtle as it is the only one of the above-mentioned turtle
species that occur in the Pearl River drainage.
Our Response: As stated in the proposed rule (86 FR 66624 at 66655;
November 23, 2021), the slight morphological and color pattern
differences within the megacephalic map turtle clade makes
identification of species difficult when collection location is unknown
(Selman 2019, pers. comm.). This difficulty can lead to an additional
threat for Pearl River map turtles, with collected individuals being
misrepresented as other members of the megacephalic map turtle clade
(Pascagoula map turtle, Alabama map turtle, Escambia map turtle, or
Barbour's map turtle) within the pet trade. Difficulty in
identification and the additional threat of misrepresenting the Pearl
River map turtle as another species meets the definition of similarity
of appearance set forth in section 4(e) of the Act (16 U.S.C. 1533(e))
and explained in the proposed rule (86 FR 66624 at 66655; November 23,
2021) and this final rule.
(13) Comment: Six commenters expressed concern that the Service's
description of the 4(d) rule's incidental take exception for
construction, operation, and maintenance activities occurring near- and
in-stream is too broad and should be more narrowly defined or removed.
Our Response: We agree that it is difficult to understand and
identify specific situations for which the proposed exception for
incidental take resulting from construction, operation, and maintenance
activities would apply. Accordingly, as stated above under Summary of
Changes from the Proposed Rule, we are not including this as an
exception to the incidental take prohibitions in the 4(d) rule for the
Pearl River map turtle because it is too vague and would have caused
confusion with respect to requirements that must be met when
undertaking these activities. Many activities occurring near or in a
stream require permits or project review by Federal or State agencies.
Therefore, we find that finalizing a 4(d) rule that included this
exception to incidental take is not necessary and advisable for the
conservation of the species.
(14) Comment: One commenter questioned how the Service will monitor
maintenance dredging activities in order to ensure that these
activities will not encroach upon suitable turtle habitat outside of
the maintained waterway and how the Service will enforce any
violations.
Our Response: Accordingly, for the reasons stated above under
Summary of Changes from the Proposed Rule, we are not including the
proposed exception for incidental take resulting from maintenance
dredging activities from the 4(d) rule for the Pearl River map turtle.
The proposed exception is too vague and would have caused confusion
with respect to requirements that must be met when undertaking these
activities. Many activities occurring near or in a stream require
permits or project review by Federal or State agencies. Therefore, we
find that finalizing a 4(d) rule that included this exception to
incidental take is not necessary and advisable for the conservation of
the species.
In terms of monitoring these types of activities, through section 7
consultation, maintenance dredging activities will be monitored so that
these activities do not encroach upon suitable turtle habitat outside
of the maintained waterway.
(15) Comment: Seven commenters expressed concern about adopting an
incidental take exception for pesticide and herbicide use that follows
chemical label and appropriate application rates. One commenter stated
that exposure to pesticides and herbicides is harmful to turtle species
and provided several citations to support the comment (such as, de
Solla et al. 2014, entire; Kittle et al. 2018, entire).
Our Response: After review of the comments to the proposed rule and
revisiting the best available scientific and commercial information, we
are not including the pesticide and herbicide use exception from the
incidental take prohibitions in the final 4(d) rule. In the proposed
and this final rule, we describe the primary threats to the Pearl River
map turtle as habitat degradation and loss, collection, and effects of
climate change. In the preamble of our proposed 4(d) rule, we proposed
an exception to incidental take prohibitions resulting from invasive
species removal activities using pesticides and herbicides as these
types of activities could be considered beneficial to the native
ecosystem and are likely to improve habitat conditions for the species.
However, as described in our SSA (Service 2023, pp. 22-42), invasive
species were found to have minimal effects to the species. In addition,
we do not have enough information about the types or amounts of
pesticides that may be applied in areas where Pearl River map turtle
occurs to be able assess the future impacts to the species.
The additional materials provided during the public comment period
do not indicate Pearl River map turtle is impacted greatly from
pesticides used to reduce impacts from nonnative, invasive species;
however, the information provided does indicate impacts to other turtle
species from pesticide use (de Solla et al. 2014, entire; Kittle et al.
2018, entire). As documented in other turtle species from the
literature provided by the commenter, we assessed that there is the
potential of indirect effects from pesticides on the Pearl River map
turtle.
Further, we note that the Environmental Protection Agency (EPA) has
not consulted on most pesticide registrations to date, so excepting
take solely based on users complying with labels is not appropriate in
this situation. Therefore, we find that finalizing a 4(d) rule that
included this
[[Page 57211]]
exception to incidental take is not necessary and advisable for the
conservation of the species.
(16) Comment: Two commenters stated that recreational and
commercial fishing gears are a potential threat to the Pearl River map
turtle and should not be excepted from incidental take. Additionally,
the commenters stated that the Service should incorporate fisheries
bycatch data into the SSA report.
Our Response: Few data are available to determine the extent that
recreational and commercial fishing have on the Pearl River map turtle.
Two recent studies determined that catch per unit effort (CPUE) in hoop
nets set in preferred Pearl River map turtle habitat was very low, with
1 Pearl River map turtle captured every 59 to 72 trap nights,
respectively (Pearson et al. 2020, pp. 55, 60; Haralson 2021, p. 65).
These numbers suggest that commercial and/or recreational fishing may
be a low risk to the Pearl River map turtle.
Recreational and commercial fishing activities are regulated by
State natural resource and fish and game agencies, and these agencies
issue permits for these activities in accordance with their
regulations. The Service will coordinate with State agencies to better
understand the impacts of permitted recreational and commercial fishing
on Pearl River map turtles and may develop a coordinated plan based on
the best available science to reduce fishing impacts through research
and development on innovative fishing technologies and methodologies to
reduce the risk of bycatch. Additionally, we will continue coordinating
with State agencies on the development of public awareness programs
regarding identification and conservation of the Pearl River map
turtle.
(17) Comment: Nine commenters claimed that the Service lacks
sufficient support for the not prudent finding for critical habitat
regarding the increased threat of illegal collection by identifying
areas where the turtles may be found. These comments also indicated
that the species' location data and maps are already available to the
public in published reports.
Our Response: In our November 23, 2021, proposed rule (86 FR
66624), we determined that designating critical habitat was not prudent
for the Pearl River map turtle. Many species of turtles are affected by
poaching worldwide because of the large demand from collectors.
Although limited, poaching has been documented for map turtles. Reports
and notes included with surveys going back several decades identify
poaching as a threat. We based our determination on our finding that
poaching may increase because the listing of the species would draw
attention to their existence and rarity, possibly creating a greater
demand among collectors. We postulated that the publication of maps in
the Federal Register could facilitate poaching of the species by making
it easier to find exact locations where the species is found.
After a thorough reevaluation of the publicly available information
regarding the locations of Pearl River map turtles, we have determined
that the current locations are currently available in sources readily
accessed by the public. These include online conservation databases,
scientific journals, and documents found on agency websites. We now
acknowledge that publishing critical habitat maps would not provide
many, if any, additional details helpful to locate the species, beyond
what is already publicly available. In addition, because locations are
largely available, the increased threat comes more from the attention
drawn by listing the species, rather than the publication of maps
depicting critical habitat. For this reason, we have reassessed our
prudency determination that designating critical habitat would likely
increase the threat of poaching. Consequently, we have determined that
the designation of critical habitat is prudent for the Pearl River map
turtle. We will publish a proposed rule to designate critical habitat
for the Pearl River map turtle in the near future.
I. Final Listing Determination for the Pearl River Map Turtle
Background
The Pearl River map turtle (Graptemys pearlensis) is a freshwater
turtle species belonging to the Emydidae family that includes
terrapins, pond turtles, and marsh turtles. Turtles in the genus
Graptemys are also known as map turtles for the intricate pattern on
the carapace that often resembles a topographical map. The Pearl River
map turtle is in the megacephalic (large-headed) clade as females grow
proportionally larger heads and jaws than males as they age; the
carapace length of adult females is over two times the length of adult
males on average (Gibbons and Lovich 1990, pp. 2-3). The life history
of the Pearl River map turtle can be described as the stages of egg,
hatchling, juvenile, and adult. Typically, male map turtles mature in 2
to 3 years, while females mature much later, around 9 years of age
(Lindeman 2013, p. 109; Vogt et al. 2019, pp. 557-558).
The species inhabits rivers and large creeks with sand and gravel
bottoms in the Pearl River drainage from central Mississippi to the
border of southern Mississippi and Louisiana. For the Pearl River map
turtle to survive and reproduce, individuals need suitable habitat that
supports essential life functions at all life stages. Several elements
appear to be essential to the survival and reproduction of individuals:
mainstem and tributary reaches within the Pearl River system that have
sandbars, adequate flow, an adequate supply of invertebrate prey items
including insects and mollusks (particularly freshwater mussels), and
an abundance of emergent and floating basking structures of various
sizes. The diet of the Pearl River map turtle varies between females
and males. Mature females consume mostly Asian clams (Corbicula
fluminea), while males and juveniles eat insects, with mature males
specializing in caddisfly larvae and consuming more mollusks than
juveniles (Vu[ccaron]enovi[cacute] and Lindeman 2021, entire; Service
2023, p. 11).
Pearl River map turtles are found in rivers and creeks with sand
and gravel bottoms and dense accumulations of deadwood; this species
has not been documented in oxbow lakes or other floodplain habitats.
They are notably absent from lakes where their sympatric microcephalic
species, the ringed map turtle (Graptemys oculifera), is present, but
do occur at very low densities at the upstream reach of Ross Barnett
Reservoir, an impoundment of the Pearl River (Lindeman 2013, p. 298;
Selman and Jones 2017, entire). All life stages require adequate water
quality within flowing river systems and are largely intolerant of
brackish and saltwater environments (Selman and Qualls 2008, pp. 228-
229; Lindeman 2013, pp. 396-397). The species requires semi-exposed
structure for basking, such as emergent deadwood, which serves as
thermoregulatory structure, as foraging structure for males and
juveniles (Selman and Lindeman 2015, pp. 794-795), and as an overnight
resting place for males and juveniles (Cagle 1952, p. 227).
The species also requires terrestrial nesting habitat where the
females excavate nests and lay their eggs on sandbars, and occasionally
steep cut-banks, along riverbanks during the late spring and early
summer months. Hatchlings typically emerge from the nest at night and
after an average of 69 days; the hatchling and small juvenile life
stages depend on adequate abundance of invertebrate prey and emergent
branches near the riverbank. A more thorough review of the taxonomy,
[[Page 57212]]
life history, and ecology of the Pearl River map turtle is presented in
detail in the SSA report (Service 2023, pp. 5-19).
Regulatory and Analytical Framework
Regulatory Framework
Section 4 of the Act (16 U.S.C. 1533) and the implementing
regulations in title 50 of the Code of Federal Regulations set forth
the procedures for determining whether a species is an endangered
species or a threatened species, issuing protective regulations for
threatened species, and designating critical habitat for endangered and
threatened species. On April 5, 2024, jointly with the National Marine
Fisheries Service, the Service issued a final rule that revised the
regulations in 50 CFR 424 regarding how we add, remove, and reclassify
endangered and threatened species and what criteria we apply when
designating listed species' critical habitat (89 FR 24300). On the same
day, the Service published a final rule revising our protections for
endangered species and threatened species at 50 CFR 17 (89 FR 23919).
These final rules are now in effect and are incorporated into the
current regulations. Our analysis for this final decision applied our
current regulations. Given that we proposed listing for the Pearl River
map turtle under our prior regulations (revised in 2019), we have also
undertaken an analysis of whether our decision would be different if we
had continued to apply the 2019 regulations; we concluded that the
decision would be the same. The analyses under both the regulations
currently in effect and the 2019 regulations are available on https://www.regulations.gov. 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 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 species' expected response 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, 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.
The Act does not define the term ``foreseeable future,'' which
appears in the statutory definition of ``threatened species.'' Our
implementing regulations at 50 CFR 424.11(d) set forth a framework for
evaluating the foreseeable future on a case-by-case basis, which is
further described in the 2009 Memorandum Opinion on the foreseeable
future from the Department of the Interior, Office of the Solicitor (M-
37021, January 16, 2009; ``M-Opinion,'' available online at https://www.doi.gov/sites/doi.opengov.ibmcloud.com/files/uploads/M-37021.pdf).
The foreseeable future extends as far into the future as the U.S. Fish
and Wildlife Service and National Marine Fisheries Service (hereafter,
the Services) can make reasonably reliable predictions about the
threats to the species and the species' responses to those threats. We
need not identify the foreseeable future in terms of a specific period
of time. We will describe the foreseeable future on a case-by-case
basis, using the best available data and taking into account
considerations such as the species' life-history characteristics,
threat-projection timeframes, and environmental variability. In other
words, the foreseeable future is the period of time over which we can
make reasonably reliable predictions. ``Reliable'' does not mean
``certain''; it means sufficient to provide a reasonable degree of
confidence in the prediction, in light of the conservation purposes of
the Act.
Analytical Framework
The SSA report documents the results of our comprehensive
biological review of the best scientific and commercial data regarding
the status of the species, including an assessment of the potential
threats to the species. The SSA report does not represent our decision
on whether the species should be listed as an endangered or threatened
species under the Act. However, it does provide the scientific basis
that informs our regulatory decisions, which involve the further
application of standards within the Act and its implementing
regulations and policies.
To assess Pearl River map turtle viability, we used the three
conservation biology principles of resiliency, redundancy, and
representation (Shaffer and Stein 2000, pp. 306-310). Briefly,
resiliency is the ability of the species to withstand environmental and
demographic stochasticity (for example, wet or dry, warm or cold
years), redundancy is the ability of the species to withstand
catastrophic events (for example, droughts, large pollution events),
and representation is the ability of the species to adapt to both near-
term and long-term changes in its physical and biological environment
(for example, climate conditions, pathogens). In general, species
viability will increase with increases in resiliency, redundancy, and
representation (Smith et al. 2018, p. 306). Using these principles, we
identified the species' ecological requirements for survival and
reproduction at the individual, population, and species levels, and
[[Page 57213]]
described the beneficial and risk factors influencing the species'
viability.
The SSA process can be categorized into three sequential stages.
During the first stage, we evaluated the individual species' life-
history needs. The next stage involved an assessment of the historical
and current condition of the species' demographics and habitat
characteristics, including an explanation of how the species arrived at
its current condition. The final stage of the SSA involved making
predictions about the species' responses to positive and negative
environmental and anthropogenic influences. Throughout these stages, we
used the best available information to characterize viability as the
ability of a species to sustain populations in the wild over time. We
use this information to inform our regulatory decision.
The following is a summary of the key results and conclusions from
the SSA report; the full SSA report can be found at Docket FWS-R4-ES-
2021-0097 on https://www.regulations.gov.
Summary of Biological Status and Threats
In this discussion, we review the biological condition of the
species and its resources, and the threats that influence the species'
current and future condition, in order to assess the species' overall
viability and the risks to that viability. Additional details about the
species' biology and threats can be found in the SSA report, version
1.2 (Service 2023, entire) and the proposed listing rule (86 FR 66624;
November 23, 2021).
Species Needs
We assessed the best available information to identify the physical
and biological needs to support individual fitness at all life stages
for the Pearl River map turtle. Full descriptions of all needs are
available in chapter 3 of the SSA report (Service 2023, pp. 20-21),
which can be found in Docket No. FWS-R4-ES-2021-0097 on https://www.regulations.gov. Based upon the best available scientific and
commercial information, and acknowledging existing ecological
uncertainties, the resource and demographic needs for breeding,
feeding, sheltering, and dispersal of the Pearl River map turtle are
characterized as:
For successful reproduction, the species requires patches
of fine sand with sparse vegetation (typically sandbars, occasionally
cutbanks) adjacent to adult habitat, adequate sand incubation
temperatures to yield an appropriate hatchling sex ratio, and natural
hydrologic regimes to prevent nest mortality due to out-of-season
flooding.
Hatchlings require an adequate abundance of invertebrate
prey and of emergent branches and tangles near the riverbank for
shelter and basking.
Adult males require an adequate abundance of insect prey
and emergent logs, branches, and tangles near the bank for basking and
foraging.
Adult females require an adequate abundance of native
mussels or Asian clams; deeper, sand or gravel-bottomed stretches for
foraging; and emergent logs and branches for basking.
Population needs include the same requirements as individuals
(sandbars; natural hydrologic regimes; and an adequate supply of
invertebrate prey items, basking structures, and sand, gravel, or rocky
substrates) but must be met at a larger scale. Connectivity that
facilitates genetic exchange and maintains high genetic diversity is
needed; tributary and mainstem reaches with suitable habitat
uninterrupted by impoundments must be sufficient in size to support a
large enough population of individuals to avoid issues associated with
small populations, such as inbreeding depression.
Threats
The following discussions include evaluations of three threats and
associated factors that are affecting the Pearl River map turtle and
its habitat: (1) habitat degradation or loss, (2) collection, and (3)
climate change (Service 2023, chapter 4, pp. 22-42). In addition,
potential impacts from disease and invasive species were evaluated but
were found to have minimal effects on viability of the species based on
current knowledge (Service 2023, pp. 22-42).
Habitat Degradation or Loss
Water Quality--Degradation of stream and wetland systems through
reduced water quality and increased concentrations of contaminants can
affect the occurrence and abundance of freshwater turtles (DeCatanzaro
and Chow-Fraser 2010, p. 360). Infrastructure development increases the
percentage of impervious surfaces, reducing and degrading terrestrial
and aquatic habitats. Increased water volume and land-based
contaminants (e.g., heavy metals, pesticides, oils) flow into aquatic
systems, modifying hydrologic and sediment regimes of rivers and
wetlands (Walsh et al. 2005, entire). Contaminants in the aquatic
environment can have both immediate and long-term negative impacts on
species and ecosystems by degrading the water quality and causing
direct and indirect effects to the species or its required resources
(Service 2023, pp. 25-27).
Freshwater mussels and snails are important food sources for the
Pearl River map turtle, and sedimentation and pollution can have
adverse impacts on mollusk populations (Box and Mossa 1999, entire).
Point source pollution can be generated from inadequately treated
effluent from industrial plants, sanitary landfills, sewage treatment
plants, active surface mining, drain fields from individual private
homes, and others (Service 2000, pp. 14-15). Nonpoint source pollution
may originate from agricultural activities, poultry and cattle
feedlots, abandoned mine runoff, construction, silviculture, failing
septic tanks, and contaminated runoff from urban areas (Deutsch et al.
1990, entire; Service 2000, pp. 14-15). These sources may contribute
pollution to streams via sediments, heavy metals, fertilizers,
herbicides, pesticides, animal wastes, septic tank and gray water
leakage, and oils and greases. The contaminants likely have direct
(e.g., decreased survival or reproduction or both) and indirect (e.g.,
loss, degradation, and fragmentation of habitat) effects. Additionally,
water quality for the Pearl River map turtle is impacted by activities
associated with four processes: channel and hydrology modifications and
impoundments, agriculture, development (urbanization), and mining.
These processes are discussed in more detail in the proposed listing
rule (86 FR 66624 at 66632-66634; November 23, 2021).
Channel and Hydrological Modifications and Impoundments
Dredging and channelization have led to loss of aquatic habitat in
the Southeast (Warren Jr. et al. 1997, unpaginated). Dredging and
channelization projects are extensive throughout the region for flood
control, navigation, sand and gravel mining, and conversion of wetlands
into croplands (Neves et al. 1997, unpaginated; Herrig and Shute 2002,
pp. 542-543). Many rivers are continually dredged to maintain a channel
for shipping traffic. Dredging and channelization modify and destroy
habitat for aquatic species by destabilizing the substrate, increasing
erosion and siltation, removing woody debris, decreasing habitat
heterogeneity, and stirring up contaminants, which settle onto the
substrate (Williams et al. 1993, pp. 7-8; Buckner et al. 2002, entire;
Bennett et al. 2008, pp. 467-468). Channelization can also lead to
headcutting, which causes further erosion and sedimentation (Hartfield
1993, pp. 131-141). Dredging removes
[[Page 57214]]
woody debris, which provides cover and nest locations for many aquatic
species (Bennett et al. 2008, pp. 467-468). Snags and logs are removed
from some sites to facilitate boat navigation (Dundee and Rossman 1989,
p. 187). Experiments with manual deposition of deadwood in stretches
with less riparian forest have been suggested as potential habitat
restoration measures (Lindeman 2019, p. 33).
Stream channelization, point-bar mining, and impoundments were
identified as potential threats in a report issued prior to the
Pascagoula map turtle and Pearl River map turtle being recognized as
taxonomically distinct (Service 2006, p. 2). Channel modification is
recognized as a cause of decline in the ringed map turtle, a sympatric
endangered species (Lindeman 1998, p. 137). Considerably low densities
of Pearl River map turtles were observed in the lower reaches of the
Pearl River, where much channelization and flow diversion has occurred
(Lindeman et al. 2020, pp. 178, 181).
Impoundment of rivers is a primary threat to aquatic species in the
Southeast (Benz and Collins 1997, unpaginated; Buckner et al. 2002,
entire). Dams modify habitat conditions and aquatic communities both
upstream and downstream of an impoundment (Winston et al. 1991, pp.
103-104; Mulholland and Lenat 1992, pp. 193-231; Soballe et al. 1992,
pp. 421-474). Upstream of dams, habitat is flooded, and in-channel
conditions change from flowing to still water, with increased depth,
decreased levels of dissolved oxygen, and increased sedimentation.
Sedimentation alters substrate conditions by filling in interstitial
spaces between rocks that provide habitat for many species (Neves et
al. 1997, unpaginated). Downstream of dams, flow regime fluctuates with
resulting fluctuations in water temperature and dissolved oxygen
levels, the substrate is scoured, and downstream tributaries are eroded
(Schuster 1997, unpaginated; Buckner et al. 2002, unpaginated).
Negative ``tailwater'' effects on habitat can extend many kilometers
downstream (Neves et al. 1997, unpaginated). Dams fragment habitat for
aquatic species by blocking corridors for migration and dispersal,
resulting in population geographic and genetic isolation and heightened
susceptibility to extinction (Neves et al. 1997, unpaginated). Dams
also preclude the ability of aquatic organisms to escape from polluted
waters and accidental spills (Buckner et al. 2002, unpaginated).
Damming of streams and springs is extensive throughout the
Southeast (Etnier 1997, unpaginated; Morse et al. 1997, unpaginated;
Shute et al. 1997, unpaginated). Most Southeastern streams are impacted
by impoundment (Shute et al. 1997, p. 458). Many streams have both
small ponds in their headwaters and large reservoirs in their lower
reaches. Small streams on private lands are regularly dammed to create
ponds for cattle, irrigation, recreation, and fishing, with significant
ecological effects due to the sheer abundance of these structures
(Morse et al. 1997, unpaginated). Small headwater streams are
increasingly being dammed in the Southeast to supply water for
municipalities (Buckner et al. 2002, unpaginated), and many
Southeastern springs have also been impounded (Etnier 1997,
unpaginated). Dams are known to have caused the extirpation and
extinction of many Southeastern species, and existing and proposed dams
pose an ongoing threat to many aquatic species (Folkerts 1997,
unpaginated; Neves et al. 1997, unpaginated; Service 2000, p. 15;
Buckner et al. 2002, unpaginated).
On the Pearl River, Ross Barnett Reservoir was constructed between
1960 and 1963 and provides a water supply for the City of Jackson,
Mississippi, and the associated area, as well as recreational
opportunities on the 33,000-acre (ac) (13,355 hectares (ha)) lake and
the 17,000 ac (6,880 ha) surrounding it (Pearl River Valley Water
Management District 2020, entire). A total of 20.9 rmi (33.6 rkm) of
the Pearl River that was previously suitable habitat is now submerged
beneath the Ross Barnett Reservoir (Lindeman et al. 2020, p. 173). The
Ross Barnett Reservoir has greatly reduced habitat suitability of five
percent of the mainstem Pearl River by altering the lotic (flowing
water) habitat preferred by Pearl River map turtles to lentic (lake)
habitat and fragmented the contiguous habitat for the species. Low
population densities of Pearl River map turtles have been observed
upstream of the Ross Barnett Reservoir, possibly due to recreational
boating and extended recreational foot traffic or camping on sandbars
by reservoir visitors (Selman and Jones 2017, pp. 32-34). Between the
late 1980s and early 2010s, notable population declines also have been
observed in the stretch of the Pearl River downstream of the Ross
Barnett Reservoir (north of Lakeland Drive), but the exact reason for
the decline is unknown (Selman 2020b, p. 194). Additionally, plans for
new reservoirs on the Pearl River both upstream and downstream of
Jackson have been or are being considered (Lindeman 2013, pp. 202-203).
Up to 170 individual Pearl River map turtles could be impacted by the
construction of the One Lake Project, one of several proposed
impoundments (Selman 2020b, entire).
Agriculture--Agricultural land uses occur across the Pearl River
basin (Service 2023, pp. 52-57). Some agricultural practices degrade
habitat by eroding stream banks, resulting in alterations to stream
hydrology and geomorphology. Nutrients, bacteria, pesticides, and other
organic compounds are generally found in higher concentrations in areas
affected by agriculture than in forested areas. Contaminants associated
with agriculture (e.g., fertilizers, pesticides, herbicides, and animal
waste) can cause degradation of water quality and habitats through
instream oxygen deficiencies, excess nutrification, and excessive algal
growths. These, in turn, alter the aquatic community composition,
shifting food webs and stream productivity, forcing altered behaviors,
and even having sublethal effects or outright killing individual
aquatic organisms (Petersen et al. 1999, p. 6). These alterations
likely have direct (e.g., decreased survival or reproduction or both)
and indirect (e.g., loss, degradation, and fragmentation of habitat)
effects on the Pearl River map turtle or its habitat.
Land conversion from agricultural development may also reduce the
amount of adjacent riparian forest available to produce deadwood; in
another megacephalic map turtle species (Barbour's map turtle), turtle
abundance decreased in areas where adjacent riparian corridors had been
disturbed by agriculture, while the abundance of the red-eared slider
(Trachemys scripta), a cosmopolitan species, increased (Sterrett et al.
2011, entire).
Pesticide application and use of animal waste for soil amendment
are becoming common in many regions and pose a threat to biotic
diversity in freshwater systems. Over the past two decades, these
practices have corresponded with marked declines in populations of fish
and mussel species in the Upper Conasauga River watershed in Georgia
and Tennessee (Freeman et al. 2017, p. 419) that are prey sources for
the megacephalic Alabama map turtle. Nutrient enrichment of streams was
widespread, with nitrate and phosphorus exceeding levels associated
with eutrophication, and hormone concentrations in sediments were often
above those shown to cause endocrine disruption in
[[Page 57215]]
fish, possibly reflecting widespread application of poultry litter and
manure (Lasier et al. 2016, entire). Researchers postulate that species
declines observed in the Conasauga watershed may be at least partially
due to hormones, as well as excess nutrients and herbicide surfactants
(Freeman et al. 2017, p. 429). Similar effects may be associated with
these practices in the Pearl River watershed.
Development--The Pearl River map turtle's range includes areas of
the Pearl River that are adjacent to several urban areas, including the
Jackson, Mississippi, metropolitan area where urbanization is expected
to increase, as well as other areas within the Pearl River basin that
are expected to grow in the future, including the cities of Monticello
and Columbia, Mississippi. Urbanization is a significant source of
water quality degradation that can reduce the survival of aquatic
organisms. Urban development can stress aquatic systems and affect the
availability of prey items and suitable habitat for aquatic turtles. In
addition, sources and risks of an acute or catastrophic contamination
event, such as a leak from an underground storage tank or a hazardous
materials spill on a highway or by train, increase as urbanization
increases.
Mining--The rapid rise in urbanization and construction of
large[hyphen]scale infrastructure projects are driving increasing
demands for construction materials such as sand and gravel. Rivers are
a major source of sand and gravel because transport costs are low;
river energy produces the gravel and sand, thus eliminating the cost of
mining, grinding, and sorting rocks; and the material produced by
rivers tends to consist of resilient minerals of angular shape that are
preferred for construction (Koehnken et al. 2020, p. 363). Impacts of
sand and gravel mining can be direct or indirect. Direct impacts
include physical changes to the river system and the removal of gravel
and floodplain habitats from the system. Indirect impacts include
shifting of habitat types due to channel and sedimentation changes;
changes in water quality, which alter the chemical and physical
conditions of the system; and hydraulic changes that can impact
movement of species and habitat availability, which is vital for
supporting turtle nesting and basking activities.
Gravel mining is a major industry in southeastern Louisiana,
particularly along the Bogue Chitto River, within the range of the
Pearl River map turtle (Selman 2020a, p. 20). Instream and unpermitted
point-bar mining was observed in the late 1990s and was the biggest
concern for Graptemys species in the Bogue Chitto River (Shively 1999,
pp. 10-11). Gravel mining is perhaps still the greatest threat to the
Pearl River system in southeastern Louisiana, particularly in the Bogue
Chitto floodplain where run-off and effluents would affect river
stretches downstream of these point sources (Selman 2020a, p. 20).
Gravel mining can degrade water quality, increase erosion, and
ultimately impact movement and habitat quality for aquatic species such
as the Pearl River map turtle (Koehnken et al. 2020, p. 363). A recent
comparison of aerial imagery from the mid-1980s and late 1990s with
images from 2019 revealed increases in the distribution and magnitude
of gravel mines in the Bogue Chitto River system, and recent surveys
have reported several areas where mining appears to have degraded water
quality significantly (Selman 2020a, pp. 20-21, 40). Although Louisiana
and Mississippi have reduced the number of gravel mining permits issued
in those States, mining in the floodplain continues to be a significant
threat to the Pearl River map turtle.
Collection
According to a species expert, collection of wild turtles in the
Pearl River system is probably occurring, and similar to what has been
observed in other States, these turtles are likely destined for the
high-end turtle pet trade in China and possibly other Southeast Asian
countries (Selman 2020a, p. 23). Information has been documented from
three different local individuals, at three different locations,
concerning turtle bycatch or harvest in local Louisiana waterways
occupied by Pearl River map turtles (Selman 2020a, pp. 22-23). The
specific species captured were not documented; however, it is likely
that at least some of these turtles were Pearl River map turtles.
The Service manages information related to species exports in the
Law Enforcement Management Information System (LEMIS). According to a
LEMIS report from 2005 to 2022, more than 1.5 million turtles
identified as Graptemys spp. or their parts were exported from the
United States to 29 countries (Service 2023, appendix B). Collection is
allowed in Mississippi with an appropriate license through the State; a
person may possess and harvest from the wild no more than 10 non-game
turtles per license year. No more than four can be of the same species
or subspecies. It is illegal to harvest turtles between April 1 and
June 30 (see title 40 of the Mississippi Administrative Code at part 5,
rule 2.3 (``Regulations Regarding Non-game Wildlife in Need of
Management'')). In Louisiana, a recreational basic fishing license is
required but allows unlimited take of most turtle species, including
the Pearl River map turtle; exceptions are that no turtle eggs or
nesting turtles may be taken (Louisiana Department of Wildlife and
Fisheries (LDWF) 2020a, pp. 50-51). A recreational gear license is also
required for operating specified trap types; for example, a
recreational gear license is required when operating five or fewer hoop
nets, but operating more than five hoop nets requires a commercial
fisherman license (see Louisiana Revised Statutes, title 56, chapter 1,
parts VI and VII, for details on licensing requirements, trap types).
Climate Change
In the southeastern United States, climate change is expected to
result in a high degree of variability in climate conditions with more
frequent drought, more extreme heat (resulting in increases in air and
water temperatures), increased heavy precipitation events (resulting in
increased flooding), more intense storms (e.g., increased frequency of
major hurricanes), and rising sea level and accompanying storm surge
(Intergovernmental Panel on Climate Change (IPCC) 2023, entire).
Warming in the Southeast is expected to be greatest in the summer,
which is predicted to increase drought frequency, while annual mean
precipitation is expected to increase slightly, leading to increased
flooding events (IPCC 2023, entire; Alder and Hostetler 2013,
unpaginated).
The dual stressors of climate change and direct human impact have
the potential to impact aquatic ecosystems by altering stream flows and
nutrient cycles, eliminating habitats, and changing community structure
(Moore et al. 1997, p. 942). Increased water temperatures and
alterations in stream flow are the most likely climate change effects
that will impact stream communities (Poff 1992, entire), and each of
these variables is strongly influenced by land use patterns. Increased
urbanization may lead to more impervious surfaces, increasing runoff
and flashiness of stream flows (Nelson et al. 2009, pp. 156-159).
Increasing Temperatures--Climate change may affect the viability of
the Pearl River map turtle through temperature-dependent sex
determination (TSD) during embryo development within buried nests. In
turtle species that exhibit TSD, increasing seasonal temperatures may
result in skewed sex ratios among hatchlings. This could be an
important factor as climate change drives
[[Page 57216]]
increasing temperatures. Since male map turtles develop at lower
temperatures than females, rising temperatures during developmental
periods may result in sex ratios that are increasingly female-biased;
however, microevolution of TSD thermal sensitivity and the mother's
ability for nest-site selection may partially mitigate the impact of
increasing temperatures on sex determination of hatchlings (Refsnider
et al. 2016, entire). There are approximately eight more nights per
year with a temperature above 70 degrees Fahrenheit (21.1 degrees
Celsius) in the southeastern United States, with an additional 30 days
per year over 95 degrees Fahrenheit (37.8 degrees Celsius) projected
into the future with an additional 3.6-degree Fahrenheit (2 degree
Celsius) warming (Marvel et al. 2023, pp. 2-18, 2-24).
Drought--The Pearl River map turtle and its predominant prey
species are riverine obligates that require adequate flow to complete
their life cycles. Based on down-scaled climate models for the
southeastern United States, the frequency, duration, and intensity of
droughts are likely to increase in the future (Keellings and Engstrom
2019, pp. 4-6), limiting flow in the rivers and streams occupied by the
species and its prey. Stream flow is strongly correlated with important
physical and chemical parameters that limit the distribution and
abundance of riverine species (Power et al. 1995, entire; Resh et al.
1988, pp. 438-439); as such, the invertebrate prey of the Pearl River
map turtle may experience declines associated with the effects of
droughts (Haag and Warren 2008, entire; Aspin et al. 2019, entire).
Additionally, turtles may experience changes in sex ratio of offspring,
growth, and behavior because of extreme or prolonged drought (Powell et
al. 2023, entire).
Sea-level Rise--The rate of global SLR is accelerating and is
currently estimated to be about 0.14 inches (in) (3.6 millimeters (mm))
per year (National Oceanic and Atmospheric Administration (NOAA) 2022,
unpaginated). It is estimated that sea levels will rise at least 1 foot
(ft) (0.3 meters (m)) above year 2000 levels by the century's end (NOAA
2022, unpaginated). However, some research suggests the magnitude may
be far greater than previously predicted due to recent rapid ice loss
from Greenland and Antarctica (Rignot and Kanagaratnam 2006, pp. 989-
990). Accounting for this accelerated melting, sea level could rise
upwards of 12 ft (3.7 m) higher in 2150 than it was in 2000 (NOAA 2022,
unpaginated).
SLR is likely to impact downstream Pearl River map turtle
populations directly by reducing the quality and quantity of available
habitat through increased salinity of the freshwater system upstream
from the Gulf of Mexico (Service 2023, pp. 86-90). SLR may also affect
the salt marsh wetlands at the mouth of the Pearl River, deteriorating
the protective effect of the marsh in reducing saltwater intrusion.
Barrier islands off the coast may also be submerged, resulting in loss
of the protections provided by the small land masses that buffer the
effects of hurricanes and storms. Although some species of Graptemys
appear to handle some salinity increases, there is evidence that the
group is largely intolerant of brackish and saltwater environments
(Selman and Qualls 2008, pp. 228-229; Selman et al. 2013, p. 1201;
Lindeman 2013, pp. 396-397).
Hurricane Regime Changes; Increased Intensity and Frequency--Since
1996, the frequency of hurricane landfalls in the southeastern United
States has increased, and that trend is predicted to continue for some
years into the future (Goldenberg et al. 2001, p. 475; Emanuel 2005,
entire; Webster et al. 2005, p. 1845). Increasing frequency of storms
and subsequent storm surges, compounded with SLR, will likely
exacerbate saltwater intrusion into the coastal river systems.
Conditions that result from storm surge that correspond with high tides
are amplified and change the salinity of waters ever farther upstream,
negatively affecting freshwater species that are not tolerant of saline
conditions, including map turtles.
Hurricane Regime Changes; Increased Precipitation and Flooding--
While river flooding under natural hydrologic conditions is important
for sandbar construction and deposition of basking structure (Dieter et
al. 2014, pp. 112-117), an increase in hurricane frequency and
stochastic catastrophic floods could cause an increase in nest
mortality. Climate change will continue affecting the species into the
future, with chronic and acute exposure to the resulting changes in its
aquatic and terrestrial habitats over time.
Additional Stressors
Additional stressors that affect the Pearl River map turtle that
are not well studied or considered major threats to the species'
viability include disease, contaminants, and persecution by humans.
Some of the contaminants include pesticides (e.g., herbicides and
insecticides) and heavy metals. The culmination of stress due to
disease and chronic exposure to contaminants may exacerbate the effects
of the other threats on individuals. Wanton shooting of turtles has
been documented for Graptemys species and may impact populations
(Lindeman 1998, p. 137; Service 2006, p. 2); however, this action often
goes unreported and is thus difficult to study and/or quantify.
Conservation Efforts and Regulatory Mechanisms
Existing regulatory mechanisms that protect the Pearl River map
turtle include Federal and State protections of the species and its
habitat.
Federal
The Clean Water Act of 1972 (33 U.S.C. 1251 et seq.) regulates
dredge and fill activities that would adversely affect wetlands. Such
activities are commonly associated with dry land projects for
development, flood control, and land clearing, as well as for water-
dependent projects such as docks/marinas and maintenance of
navigational channels. The U.S. Army Corps of Engineers (Corps) and the
Environmental Protection Agency (EPA) share the responsibility for
implementing the permitting program under section 404 of the Clean
Water Act. Permit review and issuance follows a process that encourages
avoidance, minimizing and requiring mitigation for unavoidable impacts
to the aquatic environment and habitats. This includes protecting the
riverine habitat occupied by the Pearl River map turtle. This law has
resulted in some enhancement of water quality and habitat for aquatic
life, particularly by reducing point-source pollutants. The EPA's
regulatory mechanisms have improved water quality within the Pearl
River drainage, as evidenced by a resurgence of intolerant fishes
(Wagner et al. 2018, p. 13). Because the Pearl River map turtle has a
greater tolerance for variances in water quality compared to intolerant
fishes, these regulatory mechanisms provide protection for the species
and its habitat from the threat of water quality degradation; however,
there are instances where sources exceed EPA thresholds and degrade
water quality (Mississippi Department of Environmental Quality 2019,
entire).
Additionally, Federal agencies are required to evaluate the effects
of their discretionary actions on federally listed species and must
consult with the Service if a project may affect a species listed under
the Endangered Species Act. Such discretionary Federal actions within
the Pearl River map turtle's habitat that may affect other listed
species include: maintenance dredging for navigation in the lower Pearl
River by the Corps and their issuance of
[[Page 57217]]
section 404 Clean Water Act permits; construction and maintenance of
gas and oil pipelines and power line rights-of-way by the Federal
Energy Regulatory Commission; EPA pesticide registration; construction
and maintenance of roads or highways by the Federal Highway
Administration; and funding of various projects administered by the
U.S. Department of Agriculture's Natural Resources Conservation Service
and the Federal Emergency Management Agency. Section 7 consultations on
other federally listed aquatic species are known to frequently require
and recommend Federal agencies implement conservation measures, best
management practices, and other actions that may also minimize or
eliminate potential harmful effects on the Pearl River map turtle and
encourage best management practices for all aquatic species.
Accordingly, requirements under section 7 of the Act may provide some
protections indirectly to the Pearl River map turtle and its habitat.
National Wildlife Refuges
The National Wildlife Refuge System Administration Act (NWRAA; 16
U.S.C. 668dd et seq.) represents organic legislation that set up the
administration of a national network of lands and water for the
conservation, management, and restoration of fish, wildlife, and plant
resources and their habitats for the benefit of the American people
that is managed by the Service. Conservation-minded management of
public lands allows for: (1) natural processes to operate freely, and
thus changes to habitat occur due to current and future environmental
conditions; (2) managing the use of resources and activities, which
minimizes impacts; (3) preservation and restoration to maintain
habitats; and (4) reduction of the adverse physical impacts from human
use. Amendment of the NWRAA in 1997 (Pub. L. 105-57) required the
refuge system to ensure that the biological integrity, diversity, and
environmental health of refuges be maintained.
The Pearl River map turtle occurs on the Bogue Chitto National
Wildlife Refuge within Pearl River County, Mississippi, and St. Tammany
and Washington Parishes, Louisiana. A comprehensive conservation plan
(CCP) has been developed to provide the framework of fish and wildlife
management on the refuge (Service 2011, entire). Within the CCP,
specific actions are described to protect the ringed map turtle that
will also benefit the Pearl River map turtle. Actions include ongoing
habitat management to provide downed woody debris for basking turtles
and to maintain 330-ft (100.6-m) buffers along all named streams during
forest habitat improvement and harvest to protect water quality in
streams (Service 2011, pp. 21, 73, 89, 179).
National Forests
The National Forest Management Act of 1976 (16 U.S.C. 1600 et seq.)
provides standards for National Forest management and planning to
protect the designated forest lands while maintaining viable
populations of existing native and desired nonnative vertebrate
species. The 2012 Planning Rule (77 FR 21162; April 9, 2012) requires
that the U.S. Forest Service develop land management plans for all
units within the National Forest system. The National Forests in
Mississippi have adopted, and in most cases exceeded, the best
management practices (BMPs) established by the State of Mississippi
(U.S. Forest Service 2014, p. 66) (see discussion below of State BMPs).
These measures include practices such as establishing streamside buffer
zones, restricting vegetation management in riparian zones, and
employing erosion control measures. The Bienville National Forest has
no known records for the Pearl River map turtle but contains
tributaries that flow into the Pearl and Strong Rivers; thus, these
practices may provide some protective measures for habitat occupied by
the species downstream. The regulations and practices applied across
the National Forests upstream from Pearl River map turtle habitat
provide protections for the species' aquatic habitat and contribute to
the conservation of the species.
Department of Defense Integrated Natural Resources Management Plans
The Sikes Act Improvement Act of 1997 (Pub. L. 105-85) led to
Department of Defense guidance regarding development of integrated
natural resources management plans (INRMPs) for promoting environmental
conservation on military installations. The U.S. Navy operates the
Stennis Western Maneuver Area located along the western edge of the
National Aeronautics Space Administration Stennis Space Center and
incorporated into the Stennis Space Center Buffer Zone. The Stennis
Western Maneuver Area encompasses a 4-mi reach of the East Pearl River
and a smaller eastern tributary named Mikes River in Hancock and Pearl
River Counties, Mississippi (Buhlman 2014, p. 4). These river reaches
are used by the U.S. Navy's Construction Battalion Center for riverboat
warfare training. The western bank of the East Pearl River denotes the
boundary of the U.S. Navy property and is managed as the Pearl River
Wildlife Management Area by the State of Louisiana (see discussion
below under State Protections, ``Louisiana''). Based on known records
of the Pearl River map turtle, the U.S. Navy has developed an INRMP for
the Stennis Western Maneuver Area (Buhlman 2014, pp. 11-12, 31-32; U.S.
Navy 2011, entire). Measures within the INRMP are expected to protect
listed species and the Pearl River map turtle, and include erosion and
storm water control, floodplain management, invasive plant species
management, and the use of an ecosystem approach to general fish and
wildlife management (U.S. Navy 2011, pp. 4-4-4-20).
International Protections
Convention on International Trade in Endangered Species of Wild Fauna
and Flora, Appendix III
All species of Graptemys were included on the Convention on
International Trade in Endangered Species of Wild Fauna and Flora's
(CITES) Appendix III in 2005 (CITES 2019, p. 43; 70 FR 74700, December
16, 2005). In 2023, all megacephalic map turtles, including the Pearl
River map turtle, were upgraded to CITES Appendix II (CITES 2023, p.
46). Appendix II includes species that, although not necessarily now
threatened with extinction, may become so unless trade in them is
strictly controlled. Appendix II also includes species that must be
subject to regulation in order that trade in other CITES-listed species
may be brought under effective control. Such ``look alike'' inclusions
usually are necessary because of the difficulty inspectors have at
ports of entry or exit in distinguishing one species from other
species.
State Protections
Louisiana
The species has no State status under Louisiana regulations or law
(LDWF 2021, entire). In Louisiana, a recreational basic fishing license
is required but allows unlimited take of most species of turtles,
including the Pearl River map turtle; exceptions are that no turtle
eggs or nesting turtles may be taken (LDWF 2020, pp. 50-51). A
recreational gear license is also required for operating specified trap
types; for example, a recreational gear license is required when
operating five or fewer hoop nets, but operating more than five hoop
nets requires a commercial fisherman license (see Louisiana
[[Page 57218]]
Revised Statutes, title 56, chapter 1, parts VI and VII, for details on
licensing requirements, trap types).
The Louisiana Scenic Rivers Act (1988; see Louisiana Revised
Statutes, title 56, chapter 8, part II) was established as a regulatory
program administered by the Louisiana Department of Wildlife and
Fisheries (LDWF) through a system of regulations and permits. Rivers
with the natural and scenic river designation that are occupied by the
Pearl River map turtle include the Bogue Chitto River, Holmes Bayou,
and West Pearl River in St. Tammany Parish and Pushepatapa Creek in
Washington Parish (Louisiana Department of Agriculture and Forestry
(LDAF) undated, p. 48). Certain actions that may negatively affect the
Pearl River map turtle are either prohibited or require a permit on
rivers included on the State's natural and scenic river list.
Prohibited actions include channelization, channel realignment,
clearing and snagging, impoundments, and commercial clearcutting within
100 ft (30.5 m) of the river low water mark (LDAF undated, p. 45).
Permits are required for river crossing structures, bulkheads, land
development adjacent to the river, and water withdrawals (LDAF undated,
p. 45).
Additional protected areas of Pearl River map turtle habitat in
Louisiana include the Pearl River Wildlife Management Area located in
St. Tammany Parish and Bogue Chitto State Park located on the Bogue
Chitto River in Washington Parish. A master plan for management of
Wildlife Management Areas and State Refuges has been developed for
Louisiana, which describes the role of these lands in improving
wildlife populations and their habitats, including identifying and
prioritizing issues threatening wildlife resources (LDWF and The
Conservation Fund 2014, entire). Bogue Chitto State Park is managed by
the Louisiana Department of Culture, Recreation, and Tourism for public
use.
The Louisiana State Comprehensive Wildlife Action Plan was
developed as a roadmap for nongame conservation in Louisiana (Holcomb
et al. 2015, entire). The primary focus of the plan is the recovery of
``species of greatest conservation need'' (SGCN), those wildlife
species in need of conservation action within Louisiana, which includes
the Pearl River map turtle. Specific actions identified for the Pearl
River map turtle include conducting ecological studies of the turtle's
reproduction, nest success, and recruitment, as well as developing
general population estimates via mark and recapture studies (Holcomb et
al. 2015, p. 69). Recent Pearl River map turtle survey work in
Louisiana was conducted using funding from the State Wildlife Grants
(SWG) program (Selman 2020a, entire).
Gravel mining activities that occur within Louisiana require review
and permits by Louisiana Department of Environmental Quality.
Additional permits are required by LDWF for any mining activities that
occur within designated scenic streams in Louisiana. The permit
requirements ensure all projects are reviewed and approved by the
State, thus ensuring oversight by the State and application of State
laws.
Mississippi
The Pearl River map turtle is ranked as S2 (imperiled because of
rarity or because of some factor making it very vulnerable to
extinction) in Mississippi (Mississippi Museum of Natural Science
(MMNS) 2015, p. 38) but is not listed on the Mississippi State list of
protected species (Mississippi Natural Heritage Program 2015, entire).
Protections under State law are limited to licensing restrictions for
take for personal use of nongame species in need of management (which
includes native species of turtles). A Mississippi resident is required
to obtain one of three licenses for capture and possession of Pearl
River map turtles (Mississippi Commission on Wildlife, Fisheries, and
Parks, Mississippi Department of Wildlife, Fisheries, and Parks (MDWFP)
2016, pp. 3-5). The three licenses available for this purpose are a
Sportsman License, an All-Game Hunting/Freshwater Fishing License, and
a Small Game Hunting/Freshwater Fishing License. A nonresident would
require a Nonresident All Game Hunting License. Restrictions on take
for personal use include that no more than four turtles of any species
or subspecies may be possessed or taken within a single year and that
no turtles may be taken between April 1 and June 30 except by permit
from the MDWFP (Mississippi Commission on Wildlife, Fisheries, and
Parks, MDWFP 2016, pp. 3-5; see also title 40 of the Mississippi
Administrative Code at part 5, rule 2.3 (``Regulations Regarding Non-
game Wildlife in Need of Management'')). Additional restrictions apply
to this species if removed from the wild; non-game wildlife or their
parts taken from wild Mississippi populations may not be bought,
possessed, transported, exported, sold, offered for sale, shipped,
bartered, or exhibited for commercial purposes.
The Mississippi Comprehensive Wildlife Action Plan (MMNS 2015,
entire) was developed to provide a guide for effective and efficient
long-term conservation of biodiversity in Mississippi. As in Louisiana,
the primary focus of the plan is on the recovery of species designated
as SGCN, which includes the Pearl River map turtle. Specific actions
identified for the Pearl River map turtle in Mississippi include
planning and conducting status surveys for the species (MMNS 2015, p.
686).
Lands managed for wildlife by the State of Mississippi, which may
provide habitat protections for the Pearl River map turtle, include the
Old River Wildlife Management Area in Pearl River County and the Pearl
River Wildlife Management Area in Madison County. In addition, a ringed
map turtle sanctuary was designated in 1990 by the Pearl River Valley
Water Supply District (District), north of the Ross Barnett Reservoir,
Madison County, which also provides habitat for the Pearl River map
turtle. One of the goals of management on Wildlife Management Areas in
Mississippi is to improve wildlife populations and their habitats
(MDWFP 2020, entire). The District sanctuary is approximately 12 river
miles (rmi) (19.3 river kilometer (rkm)) north from Ratliff Ferry to
Lowhead Dam on the Pearl River (Service 2010, p. 4). Within the
sanctuary, the District maintains informational signs to facilitate
public awareness of the sanctuary and of the importance of the area to
the species and conducts channel maintenance by methods that do not
hinder the propagation of the species. The District has recorded a
notation on the deed of the property comprising the sanctuary area that
will in perpetuity notify transferees that the sanctuary must be
maintained in accordance with the stated provisions (Service 2010, p.
4).
Additionally, gravel mining activities that occur within
Mississippi require review and permits by Mississippi Department of
Environmental Quality. The permit requirements ensure all projects are
reviewed and approved by the State, thus ensuring oversight by the
State and application of State laws.
U.S. Fish and Wildlife State Wildlife Grants
In 2000, the State Wildlife Grants (SWG) Program was created
through the Fiscal Year 2001 Interior Appropriations Act (Pub. L. 106-
291) and provided funding to States for the development and
implementation of programs for the benefit of wildlife and their
habitat, including species that are not hunted or fished. The SWG
Program is administered by the Service and allocates Federal funding
for proactive nongame conservation measures
[[Page 57219]]
nationwide. Congress stipulated that each State fish and wildlife
agency that wished to participate in the SWG program develop a Wildlife
Action Plan to guide the use of SWG funds (see discussion above
regarding the plans developed by the States of Louisiana and
Mississippi). This program funds studies that assist conservation by
providing needed information regarding the species or its habitat and
has contributed to the conservation of the species by assessing the
current status and range of the Pearl River map turtle.
Additional Conservation Measures--Forest Management Best Management
Practices
Most of the land adjacent to the Pearl River and Bogue Chitto River
in Louisiana and Mississippi is privately owned and much of it is
managed for timber. Both States have developed voluntary best
management practices (BMPs) for forestry activities conducted in their
respective States with the intent to protect water quality and minimize
the impacts to plants and wildlife. In addition, the forest industry
has several forest certification programs, such as the Sustainable
Forestry Initiative, which require participating landowners to meet or
exceed State forestry BMPs. Silvicultural practices implemented with
State-approved BMPs can reduce negative impacts to aquatic species,
including turtles, through reductions in nonpoint source pollution,
such as sedimentation. Although nonpoint source pollution is a
localized threat to the Pearl River map turtle, it is less prevalent in
areas where State-approved BMPs are used (Service 2023, pp. 41-42).
In Louisiana, BMPs include streamside management zones (SMZ) of 50
ft (15.24 m), measured from the top of the streambank, for streams less
than 20 ft (6.1 m) wide during estimated normal flow, to a width of 100
ft (30.5 m) for streams more than 20 ft (6.1 m) wide (LDAF undated, p.
15). Guidance includes maintaining adequate forest canopy cover for
normal water and shade conditions as well as an appropriate amount of
residual cover to minimize soil erosion (LDAF undated, p. 14). An
overall rate of 97.4 percent of 204 forestry operations surveyed by the
LDAF in 2018 complied with the State's voluntary guidelines; compliance
with guidelines in SMZs was 98.6 percent (LDAF 2018, entire).
The State of Mississippi has voluntary BMPs developed by the
Mississippi Forestry Commission (MFC) (MFC 2008, entire). These BMPs
include SMZs with the purpose of maintaining bank stability and
enhancing wildlife habitat by leaving 50 percent crown cover during
timber cuts (MFC 2008, p. 6). The width of SMZs is based on slope, with
a minimum SMZ width of 30 ft (9.14 m) extending to 60 ft (18.3 m) at
sites with more than 40 percent slope (MFC 2008, p. 6). The most recent
monitoring survey of 174 Mississippi forestry sites indicated that 95
percent of applicable sites were implemented in accordance with the
2008 guidelines (MFC 2019, p. 6).
Overall, voluntary BMPs related to forest management activities
conducted on private lands throughout the riparian corridor of the
Pearl River drainage have provided a significant foothold for Pearl
River map turtle conservation. As a result of high BMP compliance in
these specific areas, nonpoint source pollution associated with forest
management practices is not a major contributor to impacts on the
species.
Cumulative/Synergistic Effects
The Pearl River map turtle uses both aquatic and terrestrial
habitats that may be affected by activities along the Pearl River
drainage. Ongoing and future stressors that may contribute to
cumulative effects include habitat fragmentation, genetic isolation,
invasive species, disease, climate change, and impacts from increased
human interactions due to human population increases. When considering
the compounding and synergistic effects acting on the species, the
resiliency of the analysis units will be further reduced in the future.
We note that, by using the SSA framework to guide our analysis of
the scientific information documented in the SSA report, we have
analyzed the cumulative effects of identified threats and conservation
actions on the species. To assess the current and future condition of
the species, we evaluate the effects of all the relevant factors that
may be influencing the species, including threats and conservation
efforts. Because the SSA framework considers not just the presence of
the factors, but to what degree they collectively influence risk to the
entire species, our assessment integrates the cumulative effects of the
factors and replaces a standalone cumulative-effects analysis.
Current Condition
The current condition of the Pearl River map turtle is described in
terms of population resiliency, redundancy, and representation across
the species. The analysis of these conservation principles to
understand the species' current viability is described in more detail
in the Pearl River map turtle SSA report (Service 2023, pp. 43-69) and
in the proposed listing rule (86 FR 66624; November 23, 2021).
Resiliency
In order to analyze the species' resiliency, we delineated the
species into five resiliency units that represent groups of
interbreeding individuals: Upper Pearl, Middle Pearl-Silver, Middle
Pearl-Strong, Bogue Chitto, and Lower Pearl (figure 1, below).
Historically, the majority of the species' range was likely a single,
connected biological population prior to the fragmentation due to the
construction of the Ross Barnett Reservoir; however, we delineated five
different units to more accurately describe trends in resiliency,
forecast future resiliency, and capture differences in stressors
between the units.
[[Page 57220]]
[GRAPHIC] [TIFF OMITTED] TR12JY24.000
The factors used to assess current resiliency of Pearl River map
turtle resilience units include two population factors and four habitat
factors. The population factors we assessed were (1) occupancy in
mainstems and tributaries and (2) density and abundance. The habitat
factors we assessed were (a) water quality, (b) forested riparian
cover, (c) protected land, and (d) presence of channelization/
reservoirs/gravel mining. These population and habitat factors are
collectively described as resiliency factors.
For a given population to be resilient, the species must be present
in the mainstem and a high proportion of tributaries within a unit, as
well as having moderate to high population densities. Furthermore,
although relative abundance of the Pearl River map turtle is typically
much higher within mainstem reaches, presence of the species within
tributary systems can contribute to resiliency by increasing the number
of occupied miles of stream within a given unit, and also by providing
refugia from catastrophic events, such as chemical spills or flooding.
In order to assess occupied tributaries, we used survey data collected
from 2005-2020. These data were collected by several different
observers through a variety of survey types, including bridge surveys,
basking surveys, and live trapping.
The influence of stochastic variation in demographic (reproductive
and mortality) rates is much higher for small populations than large
ones. For small populations, this stochastic variation in demographic
rates can lead to a greater probability that fluctuations will lead to
extinction. There are also genetic
[[Page 57221]]
concerns with small populations, including reduced availability of
compatible mates, genetic drift, and low genetic diversity or
inbreeding depression. Small populations of Pearl River map turtles
inherently have low resilience, leaving them particularly vulnerable to
stochastic events. In 2020, the global population was estimated to be
21,841 individuals, with 61 percent occurring on mainstem reaches, 34
percent occurring in 4 large tributaries, and the remaining 5 percent
spread amongst other smaller tributaries (Lindeman et al. 2020, p.
174). Based on basking density surveys and on results of point counts,
each river drainage was divided into river reaches that were
categorized as high, moderate, low, and very low density (Service 2023,
p. 50).
After determining the occupied status of mainstem reaches and
tributaries, and the density classes of the mainstem reaches and
tributaries, the population factor score for each resilience unit
resulted in three moderate (Bogue Chitto, Middle Pearl-Strong, and
Upper Pearl) and two low (Lower Pearl and Middle-Pearl Silver)
conditions. The overall habitat factor score for each resiliency unit
resulted in low condition for two units (Bogue Chitto and Lower Pearl)
and moderate condition for three units (Middle Pearl-Silver, Middle
Pearl-Strong, and Upper Pearl). Additional details and methodologies
for determining each habitat condition score are described in the SSA
report (Service 2023, pp. 51-64).
After evaluating the population and habitat factors together, we
determined the overall current resiliency of each unit: two units have
low resiliency (Middle Pearl-Silver and Lower Pearl), and three units
have moderate resiliency (Bogue Chitto, Middle Pearl-Strong, and Upper
Pearl) (table 1, below). The Lower Pearl unit seems particularly
vulnerable, as both the population and habitat composite scores were
low. The Lower Pearl has significant channelization issues, low amounts
of protected land, and a low density of individual turtles, all of
which are driving the low resilience of this unit. Although the Middle
Pearl-Silver unit scored moderate for overall habitat score, the low
population score (mainly a function of the lack of occupied
tributaries) is driving the low resilience of this unit. Additional
details and methodologies for determining the overall current
resiliency of each unit are described in the SSA report (Service 2023,
pp. 45-66).
When looking at the three units with moderate resiliency, the
Middle Pearl-Strong and Bogue Chitto units appear to be vulnerable to
further decreases in resiliency. For the Bogue Chitto unit, moderate
densities of Pearl River map turtle populations are present within 40
percent of surveyed (occupied) tributaries, although low amounts of
protected land and substantial gravel mining activity make this unit
vulnerable. For the Middle Pearl-Strong, moderate population densities
are present within 50 percent of surveyed tributaries, but development
in the Jackson area and the presence of the Ross Barnett Reservoir make
this unit vulnerable. If development increases substantially in this
unit, or if proposed reservoir projects (One Lake) move forward, it is
likely there would be population-level impacts that would drop the
resiliency to low in the future conditions.
Table 1--Current Resiliency of Pearl River Map Turtle Units Based on Composite Habitat and Population Factors
----------------------------------------------------------------------------------------------------------------
Composite population
Resiliency unit Composite habitat score score Current resilience
----------------------------------------------------------------------------------------------------------------
Bogue Chitto......................... Low.................... Moderate............... Moderate.
Lower Pearl.......................... Low.................... Low.................... Low.
Middle Pearl-Silver.................. Moderate............... Low.................... Low.
Middle Pearl-Strong.................. Moderate............... Moderate............... Moderate.
Upper Pearl.......................... Moderate............... Moderate............... Moderate.
----------------------------------------------------------------------------------------------------------------
Redundancy
Redundancy refers to the ability of a species to withstand
catastrophic events and is measured by the amount and distribution of
sufficiently resilient populations across the species' range.
Catastrophic events that could severely impact or extirpate entire
Pearl River map turtle units include chemical spills, changes in
upstream land use that alter stream characteristics and water quality
downstream, dam construction with a reservoir drowning lotic river
habitat and further fragmenting contiguous aquatic habitat, and
potential effects of climate change such as rising temperatures and
SLR.
The Middle Pearl-Silver unit is the most vulnerable to a
catastrophic land-based spill due to transportation via train or
automobile, and there are no known occupied tributaries at this time.
However, across the range of the Pearl River map turtle, extant units
of the species are distributed relatively widely, and several of those
units have moderate resilience; thus, it is highly unlikely that a
catastrophic event would impact the entire species' range. As the
species occurs in multiple tributaries and all units, the Pearl River
map turtle has a high potential of withstanding catastrophic events;
therefore, the species exhibits a moderate-high degree of redundancy.
Representation
Representation refers to the breadth of genetic and environmental
diversity within and among populations that allows for adaptive
capacity of the species; this influences the ability of a species to
adapt to changing environmental conditions over time. Differences in
life-history traits, habitat features, and/or genetics across a
species' range often aid in the delineation of representative units,
which are used to assess species representation. The species is
described as consisting of a single representative unit due to the lack
of genetic structuring across the range; the limited genetic diversity
may reduce the ability of the species to adapt to changing conditions
(Pearson et al. 2020, entire). However, there are habitat differences
for the Strong River and we recognize the potential importance of that
system to the adaptive capacity of the species.
In summary, the current condition of the Pearl River map turtle is
described using resiliency, redundancy, and representation. We assessed
current resiliency as a function of two population factors (occupied
tributaries and density) and four habitat factors (water quality,
protected areas, deadwood abundance, and reservoirs/channelization) for
each resiliency unit. Based on these factors, there are two units with
low resiliency (Lower Pearl and Middle Pearl-Silver) and three units
with moderate resiliency (Upper Pearl, Middle Pearl-Strong, and Bogue
Chitto); no units were assessed as highly resilient. Because three of
the five units are classified as moderately resilient,
[[Page 57222]]
and those units are distributed relatively widely, the Pearl River map
turtle exhibits a moderate-high degree of redundancy (i.e., it has a
high potential of withstanding catastrophic events). Even with the
unique habitat in the Strong River, we recognize only a single
representative unit based on low genetic variation. The wide
distribution within the five resilience units across the range provides
sufficient adaptive capacity to adapt to changing environmental
conditions.
Future Conditions
The viability of the Pearl River map turtle in the future is based
on the threats that are acting on the species and the species' response
to those threats in light of conservation efforts or other actions that
may benefit the species or its habitat. We consider plausible scenarios
using the best available scientific and commercial data for developing
each scenario. We describe the future conditions of the species by
forecasting the species' response to plausible future scenarios of
varying environmental conditions and ameliorating conservation efforts,
and then considered the impact these influences could have on the
viability of the Pearl River map turtle. The scenarios described in the
SSA report represent six plausible future conditions for the species
(Service 2023, pp. 74-76). The scenarios include land use changes and
SLR in a matrix to determine the effects of both factors to each unit.
We then considered future water engineering projects for each matrix
and determined the resiliency of each unit based on whether the project
is installed or not. All six scenarios were projected out to two
different time steps: 2040 (~20 years) and 2070 (~50 years). These
timeframes are based on input from species experts, generation time for
the species, and the confidence in predicting patterns of urbanization
and agriculture. Confidence in how these land uses will interact with
the species and its habitat diminishes beyond 50 years. The scenarios
only considered threats for which there were available data. We assume
that other threats will continue, such as collection from the wild and
impacts from climate change.
We continue to apply the concepts of resiliency, redundancy, and
representation to the future scenarios to describe possible future
conditions of the Pearl River map turtle and understand the overall
future viability of the species. When assessing the future, viability
is not a specific state, but rather a continuous measure of the
likelihood that the species will sustain populations in the wild over
time.
Using the best available information regarding the factors
influencing the species' viability in the future, we considered the
following factors to inform the future resiliency of the five units:
(1) changes in land use/water quality, (2) SLR, and (3) future water
engineering projects.
We considered projected land-use changes related to agricultural
and developed land in assessing future resilience of each unit for the
Pearl River map turtle. We consider these land use classes as
surrogates for potential changes in water quality, a primary risk
factor for the species. We used data available at the resiliency unit
scale from the U.S. Geological Survey (USGS) Forecasting Scenarios of
Land-use Change (FORE-SCE) modelling framework (USGS 2017, unpaginated)
to characterize nonpoint source pollution (i.e., from development and
agriculture). The FORE-SCE model provides spatially explicit
historical, current, and future projections of land use and land cover.
Four scenarios were modeled, corresponding to four major scenario
storylines from the Intergovernmental Panel on Climate Change (IPCC)
Special Report on Emissions Scenarios (SRES) (IPCC 2000, pp. 4-5). The
global IPCC SRES (A1B, A2, B1, and B2 scenarios) were downscaled to
ecoregions in the conterminous United States with the USGS FORE-SCE
model used to produce landscape projections consistent with the IPCC
SRES. The land-use scenarios focused on socioeconomic impacts on
anthropogenic land use (e.g., demographics, energy use, agricultural
economics, and other socioeconomic considerations). For the A1B, A2,
B1, and B2 scenarios, we used two time steps (2040 and 2070), with the
A2-Extreme-One Lake project scenarios representing the highest threat
scenario, the B1-Intermediate High-No One Lake project scenario the
lowest threat scenario, and the other four scenarios representing
moderate threat scenarios.
Sea-level rise impacts the future resiliency of Pearl River map
turtles directly through loss/degradation of habitat. To estimate
habitat loss/degradation due to inundation from SLR, we used National
Oceanic and Atmospheric Administration (NOAA) shapefiles available at
their online SLR viewer (NOAA 2020, unpaginated). We used projections
corresponding to the representative concentration pathways (RCP) of
RCP6 (intermediate-high) and RCP8.5 (extreme). We found the average SLR
estimate for the intermediate-high and extreme NOAA scenarios to
project estimated habitat loss at years 2040 and 2070. If SLR estimates
overlap with known occupied portions of the river system, we assume
that area is no longer suitable or occupiable; thus, resiliency would
decrease.
SLR is occurring, but the rate at which it continues is dependent
on the different atmospheric emissions scenarios. In the next 20 years,
sea levels are estimated to rise 1 ft (0.30 m) to 2 ft (0.61 m), and by
2070, a 3-ft (0.91-m) to 5-ft (1.52-m) rise in sea levels is projected
for the lower and higher emissions scenarios. The effects of SLR and
saltwater intrusion are exacerbated with storm surge and high tides.
Pulses of saltwater from increased storm frequency and intensity,
coupled with SLR, can have direct effects on freshwater habitats and
species that are not salt-tolerant.
As noted above, water engineering projects that convert free-
flowing rivers to lentic habitats negatively affect the species. The
proposed One Lake project proposes a new dam and commercial development
area 9 miles (mi) (14.5 kilometer (km)) south of the current Ross
Barnett Reservoir Dam near Interstate 20. However, the One Lake project
is still being debated, and there is uncertainty as to whether the
project will proceed. Because of this uncertainty, we have created two
scenarios based around the proposed One Lake project: One in which the
project occurs, and one in which it does not, within the next 50 years.
Because of the potential for negative impacts on Pearl River map
turtles from the proposed One Lake project, we assume a decrease in
resiliency of the Middle Pearl-Strong unit if the project moves
forward.
We do not assess population factors (occupancy of tributaries and
density) in our future conditions analysis because the data are not
comparable through time or space; the baseline data come from recent
surveys, and no historical data are available to allow for analyses of
trends or comparisons over time. Additionally, we assume the amount of
protected land within each unit stays the same within our projection
timeframes, although it is possible that additional land could be
converted to a protected status or lands could degrade over time.
Rather than attempting to categorize future resiliency as was done in
the current condition analysis, we indicate a magnitude and direction
of anticipated change in resiliency of Pearl River map turtle units.
Scenario Descriptions
Scenarios were built around three factors: land use, SLR, and water
[[Page 57223]]
engineering projects. To present plausible future conditions for the
species and to assess the viability for the Pearl River map turtle in
response to those conditions, we projected two land use and two SLR
scenarios out to the years 2040 (~20 years) and 2070 (~50 years).
Additional details regarding the scenario descriptions can be found in
the SSA report (Service 2023, pp. 73-75) and the proposed listing rule
(86 FR 66624; November 23, 2021).
Future Resiliency
Bogue Chitto--Under all scenarios, development remains low across
the Bogue Chitto unit. Agriculture is high across the entire unit in
all scenarios, except for the B1 scenario in the year 2070, where
agriculture is moderate. Forested cover is relatively high across the
unit under all scenarios; thus, deadwood does not appear to be a
limiting factor. There are no predicted SLR impacts or water
engineering projects directly affecting this unit. There is uncertainty
regarding future impacts related to mining activity, which has the
potential to further reduce resiliency. However, the effects of past
and current mining activities have already altered the Bogue Chitto by
degrading both habitat and water quality (Service 2023, p. 31). It is
likely that this unit maintains a moderate resilience over the next 50
years according to all future scenarios.
Lower Pearl--SLR impacts this unit under all scenarios, although
the impacts of inundation are localized to the southern portion of the
unit, mainly in the East Pearl River. Under the A2 scenarios, a few
streams are impacted by high levels of development, although most of
the unit has low levels of development; under the B1 scenarios,
development is low across the entire unit. Agriculture is predicted to
be high across the unit under the A2 scenarios, and moderate across the
unit under the B1 scenarios. There are no predicted water engineering
projects, and forested cover is anticipated to remain relatively high.
Current resiliency for this unit is low, and resiliency is anticipated
to decline across all scenarios, with the A2 scenarios with extreme SLR
associated with the most substantial decreases.
Middle Pearl-Silver--Development remains low across the unit under
all scenarios at both time steps. Agriculture increases to high under
the A2 scenarios and stays moderate under the B1 scenarios. There are
no predicted SLR effects or water engineering project impacts on this
unit. Forested cover is relatively high across the unit under all
scenarios and is predicted to increase under the B1 scenarios; thus,
deadwood does not appear to be a limiting factor. Current resilience
for this unit is low, and based on the factors assessed, it is likely
there will not be a decline in resilience in the future (Service 2023,
p. 93).
Middle Pearl-Strong--Development is substantial in a few areas
within this unit, particularly around Jackson, Mississippi. The current
resiliency for this unit is moderate, and the future resiliency is
likely to decline due to increased agriculture and decreased forest
cover within the unit (without One Lake). Agriculture is predicted to
be high across the unit under all scenarios. If the One Lake project
moves forward, there is a substantial decrease in resiliency predicted
within and adjacent to the project area, as several streams are
predicted to lose a substantial amount of forested cover. However,
these impacts from the One Lake project will not extend to the Strong
River as this tributary connects with the Pearl River downstream of the
proposed project area. No SLR impacts are predicted in this unit. The
Middle Pearl-Strong unit is perhaps the most vulnerable unit, as
development, agriculture, and water engineering projects are projected
to impact this unit and lead to future declines in resiliency.
Upper Pearl--The habitat associated with this unit provides
conditions to potentially support a stronghold for the species because
it has the largest total area of protected lands compared to the other
four units (Service 2023, p. 61). Development remains low across the
entire unit under all scenarios. Agriculture is high across the entire
unit in all scenarios, except for the B1 scenario in the year 2070,
where agriculture is moderate. Forested cover is relatively high across
the unit under all scenarios; thus, deadwood does not appear to be a
limiting factor. There are no predicted SLR or water engineering
project impacts in this unit. The Upper Pearl unit will remain in the
moderate category over the next 50 years, based on the factors
assessed; however, this population may experience genetic drift over
time due to isolation caused by habitat fragmentation from the existing
(Ross Barnett) and planned (One Lake) reservoirs in the adjacent
(downstream) unit. This will likely result in a decline in resiliency
due to a loss of connectivity with the rest of the turtle's range.
Future Redundancy
Although the scenarios do not project extirpation in any of the
units, we do anticipate resiliency to decline in four units; however,
only the Middle Pearl-Strong unit will be downgraded from moderate to
low resiliency under all scenarios in which the One Lake project is
built. All other units will stay within the same (i.e., current)
resiliency category but will decline in resiliency within their
respective categories. For example, the Lower Pearl unit will be
impacted by SLR under all scenarios, and this is compounded by
projected increases in both development and agriculture, but resiliency
is expected to remain low. Only the Middle Pearl-Silver unit will not
show any decline in resiliency into the future. Because extant units of
the species are predicted to be distributed relatively widely, it is
highly unlikely that a catastrophic event would impact the entire
species' range; thus, the Pearl River map turtle is predicted to
exhibit a moderate degree of redundancy in the future under all
scenarios.
Future Representation
As described above under the current conditions, the species is a
single representative unit regarding genetic variation. Relatively
unique habitat conditions in the Strong River may influence the
species' adaptive capacity and its overall representation. When looking
at projections of threats within the Strong River, development is
projected to remain low. In the A2 climate scenarios, agriculture
increases from moderate to high; in the B1 climate scenarios,
agriculture stays moderate. Also, forested cover within the riparian
zone of the Strong River remains relatively high (68-83 percent),
although it does drop across all climate scenarios from the current
condition (92 percent). SLR does not impact this river in any of our
scenarios, as the Strong River is far enough inland to avoid the
effects of inundation. Finally, the One Lake project is not anticipated
to directly impact the Strong River due to the location of the project
(i.e., mainstem Pearl River). Given this information, although the
resiliency of the Strong River might decrease slightly due to land use
projections, it is likely the Strong River will support a moderate
density of individual turtles, and thus contribute to representation
through maintenance of potential genetic diversity based on unique
habitat features.
It is noteworthy that a recent genetics study has revealed that
genetic diversity is lower in Pearl River map turtles compared to the
closely related congener, Pascagoula map turtles (Pearson et al. 2020,
pp. 11-12). Declining populations generally have reduced genetic
diversity, which can potentially elevate the risk of extinction by
reducing a species' ability and
[[Page 57224]]
potential to adapt to environmental changes (Spielman et al. 2004,
entire). Genetic bottlenecks and low overall genetic diversity are more
of a concern for populations that become geographically isolated by
physical barriers that inhibit connectivity. Although no documented
genetic differentiation has occurred, limited gene flow and genetic
isolation of Pearl River map turtle populations upstream and downstream
of the Ross Barnett Reservoir is expected to occur over future
generations.
Determination of Pearl River Map Turtle's Status
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 an endangered species or a
threatened species. The Act defines an ``endangered species'' as a
species in danger of extinction throughout all or a significant portion
of its range, and a ``threatened species'' as a species 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
After evaluating threats to the species and assessing the
cumulative effect of the threats under the Act's section 4(a)(1)
factors, we determined that the species currently has sufficient
resiliency, redundancy, and representation contributing to its overall
viability across its range. Even though the species is described as a
single population, we assessed its viability by evaluating the
condition of the Pearl River map turtle in five different resiliency
units. This assessment indicated that the current condition of all
units is below optimal or high resiliency, with three units having
moderate resiliency and the remaining two units having low resiliency.
There are no units within the range that demonstrate high resiliency.
Despite the moderate and low conditions of all units, the species still
occupies all five units. Current threats to the species include habitat
degradation or loss (degraded water quality, channel and hydrologic
modifications/impoundments, agricultural runoff, mining, and
development), collection for the pet trade, and effects of climate
change (increasing temperatures, drought, sea-level rise, hurricane
regime changes, and increased seasonal precipitation).
The Ross Barnett Reservoir was completed in 1963 and has reduced
the amount of available habitat for the species and fragmented
contiguous suitable habitat. Pearl River map turtles prefer flowing
water in rivers and creeks. Indirect effects from the reservoir are
associated with recreational use from boat traffic and foot traffic
from day visitors and campers. Declines in Pearl River map turtles have
been documented both upstream (lower density) and downstream
(population declines) from the reservoir (Selman and Jones 2017, pp.
32-34). A total of 20.9 rmi (33.6 rkm) of the Pearl River is submerged
beneath the Ross Barnett Reservoir and is no longer suitable for the
Pearl River map turtle. This reservoir is currently affecting the
Middle Pearl-Strong unit and the Upper Pearl unit, reducing the
suitable habitat of 5 percent of the mainstem Pearl River by altering
the lotic (flowing water) habitat preferred by Pearl River map turtles
to lentic (lake) habitat. The reservoir reduces the resiliency and
overall condition of these affected units.
Despite the effects of the existing reservoir on the Upper Pearl
and Middle Pearl-Strong resilience units, sufficient habitat remains to
provide adequate resiliency of these units to contribute to the
viability of the species. The effects from the reservoir may continue
affecting the species in the future as the turtles in the Upper Pearl
unit (above the reservoir) become more isolated over time; however,
there is currently adequate resiliency.
In terms of redundancy and the ability of the species to respond to
catastrophic events, the species currently has enough redundancy across
the five resilience units to protect it from a catastrophe such as a
large hurricane or oil spill. The Middle Pearl-Silver and Middle Pearl-
Strong units are particularly vulnerable to a potential spill from
railways and transportation corridors that are near or adjacent to
habitat occupied by Pearl River map turtles. The Lower Pearl unit is
vulnerable to the effects from hurricanes as it is in close proximity
to the Gulf of Mexico. However, because the species is a single
population distributed across five resilience units encompassing 795.1
rmi (1279.6 rkm), it is buffered against catastrophic events such as
these. The overall current condition of the species exhibits moderate-
high redundancy, as the species is still widespread across its range in
all resilience units across the single representative unit. Thus, after
assessing the best available information, we conclude that the Pearl
River map turtle is not currently in danger of extinction throughout
all of its range.
A threatened species, as defined by the Act, is any species which
is likely to become an endangered species within the foreseeable future
throughout all or a significant portion of its range. Because the
species is not currently in danger of extinction (i.e., endangered)
throughout its entire range, we evaluated the viability of the species
over the foreseeable future considering the condition of the species in
relation to its resiliency, redundancy, and representation. We analyzed
future conditions (2040 and 2070) based on input from species experts,
generation time for the species, and the confidence in predicting
patterns of urbanization and agriculture, enabling us to make
reasonably reliable predictions about the threats and the species'
response to these threats over time.
The threats included in the future scenarios are projected to
negatively affect the Pearl River map turtle and result in a decline of
resiliency throughout four (Bogue Chitto, Lower Pearl, Middle Pearl-
Strong, and Upper Pearl) of the five resilience units (Service 2023,
pp. 70-105). While the Middle Pearl-Silver unit is not expected to see
major declines in resiliency, its current resiliency is low and is
anticipated to remain low in the future projections. None of the
resilience units will improve from current conditions to provide high
resiliency; three units are currently in moderate condition, but
resiliency within these conditions decline in the future scenarios.
Three resilience units may have additional stressors including
isolation for the Upper Pearl, compounded by the addition of another
planned reservoir for the Middle Pearl-Strong unit, and gravel mining
for the Bogue Chitto unit. These threats will likely cause a decline in
the amount of available suitable habitat, thereby affecting the future
resiliency; however, the development of the reservoir and future sand
and gravel mining activities are uncertain. Two of the resilience units
are in low condition and are expected to remain in low condition in the
future (Lower Pearl and Middle Pearl-Silver), with the southernmost
unit (Lower Pearl) facing threats from SLR. The low genetic variability
of Pearl River map turtles
[[Page 57225]]
may result in low adaptive capacity (the potential to adapt) to
environmental or habitat changes within the units. More than half of
the population inhabits the main stem river, which is subject to more
catastrophic events (e.g., an oil spill). These point source pollutants
would flow downstream below the point of contamination, with greater
impacts occurring in closer proximity to the spill. However, the
mainstems of large, occupied tributaries (Bogue Chitto, Strong,
Yockanookany) contain moderate densities of the Pearl River map turtle
(34 percent of total population), which would allow for some rescue
potential from tributaries to areas impacted by future catastrophic
events.
In terms of resiliency, the future condition is expected to decline
for all but one resilience unit. The future scenarios project out to
the year 2070 to capture the species' response to threats and changing
landscape conditions. The impacts from the existing Ross Barnett
Reservoir will continue affecting the species, and resilience of the
Middle Pearl-Strong unit will decline, and the turtle populations in
the northernmost unit (Upper Pearl) will become even more spatially and
genetically isolated over time. An additional planned development
project (the One Lake project) downstream of the existing reservoir
could affect up to 170 turtles directly and 360 turtles indirectly in
the Middle Pearl-Strong unit (Selman 2020b, pp. 192-193). If this
impoundment project moves forward, the species' viability will continue
to decline in the foreseeable future as resiliency declines through
loss of suitable habitat and further isolation of turtles above the
reservoirs. The turtles in the Upper Pearl unit are subject to genetic
isolation and potentially the effects of small population size as the
species in this unit will not be connected to the rest of the
contiguous habitat south of the reservoir.
Another future threat to the species is SLR, which will cause a
contraction in the Lower Pearl unit as saline waters encroach upstream
from the Gulf of Mexico, and the effects will be magnified with
hurricane-related storm surge pulsing saline water upstream into the
freshwater system. The amount of habitat affected over time depends on
the rate of SLR and other factors that influence surge, such as
increased hurricane or storm frequency and severity.
An additional threat that is expected to impact the species within
the foreseeable future includes the continued collection from wild
populations for the domestic and international pet trade. Map turtles
are desired by collectors for their intricate shell patterns. Despite
the less distinctive shell patterns and markings of adult Pearl River
map turtles, the species remains a target for some herptile enthusiasts
and personal collections. The demand for turtles globally is
increasing, which results in more intense pressures on wild
populations. The threat of illegal collection is expected to continue
into the foreseeable future.
The overall future condition of the species is expected to continue
a declining trajectory resulting in compromised viability as described
in the future scenarios out to year 2070. Thus, after assessing the
best available information, we conclude that the Pearl River map turtle
is not currently in danger of extinction but is likely to become in
danger of extinction within the foreseeable future throughout all of
its range.
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
within the foreseeable future throughout all or a significant portion
of its range. The court in Center for Biological Diversity v. Everson,
435 F. Supp. 3d 69 (D.D.C. 2020) (Everson), vacated the provision of
the Final Policy on Interpretation of the Phrase ``Significant Portion
of Its Range'' in the Endangered Species Act's Definitions of
``Endangered Species'' and ``Threatened Species'' (Final Policy; 79 FR
37578, July 1, 2014) that provided if the Service determines that a
species is threatened throughout all of its range, the Service will not
analyze whether the species is endangered in a significant portion of
its range.
Therefore, we proceed to evaluating whether the species is
endangered in a significant portion of its range--that is, whether
there is any portion of the species' range for which both (1) the
portion is significant; and (2) the species is in danger of extinction
in that portion. Depending on the case, it might be more efficient for
us to address the ``significance'' question or the ``status'' question
first. We can choose to address either question first. Regardless of
which question we address first, if we reach a negative answer with
respect to the first question that we address, we do not need to
evaluate the other question for that portion of the species' range.
Following the court's holding in Everson, we now consider whether
the species is in danger of extinction in a significant portion of its
range. In undertaking this analysis for the Pearl River map turtle, we
choose to address the status question first--we consider information
pertaining to the geographic distribution of both the species and the
threats that the species faces to identify any portions of the range
where the species may be endangered.
We evaluated the range of the Pearl River map turtle to determine
if the species is in danger of extinction now in any portion of its
range. The range of a species can theoretically be divided into
portions in an infinite number of ways. We focused our analysis on
portions of the species' range that may meet the definition of an
endangered species. For Pearl River map turtle, we considered whether
the threats or their effects on the species are greater in any
biologically meaningful portion of the species' range than in other
portions such that the species is in danger of extinction now in that
portion.
The statutory difference between an endangered species and a
threatened species is the time frame in which the species becomes in
danger of extinction; an endangered species is in danger of extinction
now while a threatened species is not in danger of extinction now but
is likely to become so within the foreseeable future. Thus, we reviewed
the best scientific and commercial data available regarding the time
horizon for the threats that are driving the Pearl River map turtle to
warrant listing as a threatened species throughout all of its range. We
then considered whether these threats or their effects are occurring
(or may imminently occur) in any portion of the species' range with
sufficient magnitude such that the species is in danger of extinction
now in that portion of its range. We examined the following threats:
effects of climate change (including SLR), habitat loss and
degradation, and illegal collection. We also considered whether
cumulative effects contributed to a concentration of threats across the
species' range.
Overall, we found that the threat of SLR and habitat loss is likely
acting disproportionately to particular areas within the species'
range. The threat of SLR is concentrated in the Lower Pearl, which is
the southernmost resilience unit that connects to the Gulf of Mexico.
However, the salinity influx into the species' habitat due to SLR is
not currently affecting this area but will affect the species' habitat
within the foreseeable future. Thus, we have determined that SLR is not
currently affecting this portion of the range to the extent that
endangered status is warranted.
[[Page 57226]]
The threat of habitat loss and degradation is concentrated on the
Middle Pearl-Strong and Upper Pearl units due to an existing reservoir
and a planned project that disjoins the connectivity of turtles above
and below the reservoir. The impacts due to habitat degradation and
loss because of the existing reservoir are acting on the species'
current condition and possibly future condition if the One Lake project
is constructed as planned. The impacts from the One Lake project are in
the future and are not currently affecting the species; therefore, we
will only consider the existing reservoir for the analysis to determine
if the species is endangered in a significant portion of its range.
After identifying areas where the concentration of threats of
habitat degradation and loss affects the species or its habitat and the
time horizon of these threats, we evaluated whether the species is
endangered in the affected portion of the range. The area that
currently contains a concentration of threats includes a portion of the
Middle Pearl-Strong and Upper Pearl units. Habitat loss and degradation
from an existing reservoir has reduced the amount and quality of
existing habitat for the species in these units. The Ross Barnett
Reservoir, constructed between 1960 and 1963 near Jackson, Mississippi,
changed the natural hydrology of the Pearl River and resulted in 20.9
rmi (33.6 rkm) of river submerged and made unsuitable for the Pearl
River map turtle (Lindeman et al. 2020, p. 173). Low population
densities of turtles have been observed upstream from the reservoir
(Selman and Jones 2017, pp. 32-34). Notable population declines also
have been observed in the stretch of the Pearl River downstream of the
Ross Barnett Reservoir (north of Lakeland Drive), but the exact reason
for the decline is unknown (Selman 2020b, p. 194). However, despite
these declines, the species can be found throughout the Pearl River
downstream of the reservoir, and all size classes and moderate
population densities have been observed in the mainstem and tributaries
upstream of the reservoir. As a result, the Pearl River map turtle is
not currently in danger of extinction in the portion of the range
affected by the Barnett Ross Reservoir. We found no biologically
meaningful portion of the Pearl River map turtle's range where threats
are impacting individuals differently from how they are affecting the
species elsewhere in its range, or where the biological condition of
the species differs from its condition elsewhere in its range such that
the status of the species in that portion differs from any other
portion of the species' range. Therefore, no portion of the species'
range provides a basis for determining that the species is in danger of
extinction in a significant portion of its range, and we determine that
the Pearl River map turtle is likely to become in danger of extinction
within the foreseeable future throughout all of its range. This does
not conflict with the courts' holdings in Desert Survivors v. U.S.
Department of the Interior, 321 F. Supp. 3d 1011, 1070-74 (N.D. Cal.
2018) and Center for Biological Diversity v. Jewell, 248 F. Supp. 3d
946, 959 (D. Ariz. 2017) because, in reaching this conclusion, we did
not apply the aspects of the Final Policy, including the definition of
``significant'' that those court decisions held to be invalid.
Determination of Pearl River Map Turtle's Status
Our review of the best scientific and commercial data available
indicates that the Pearl River map turtle meets the Act's definition of
a threatened species. Therefore, we are listing the Pearl River map
turtle 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 as a listed
species, planning and implementation of 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,
including the Service, 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. Section 4(f) of the Act calls for the Service to develop and
implement recovery plans for the conservation of endangered and
threatened species. 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.
The recovery planning process begins with development of a recovery
outline made available to the public soon after a final listing
determination. The recovery outline guides the immediate implementation
of urgent recovery actions while a recovery plan is being developed.
Recovery teams (composed of species experts, Federal and State
agencies, nongovernmental organizations, and stakeholders) may be
established to develop and implement recovery plans. The recovery
planning process involves the identification of actions that are
necessary to halt and reverse the species' decline by addressing the
threats to its survival and recovery. The recovery plan identifies
recovery criteria for review of when a species may be ready for
reclassification from endangered to threatened (``downlisting'') or
removal from protected status (``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. Revisions of the plan may
be done to address continuing or new threats to the species, as new
substantive information becomes available. The recovery outline, draft
recovery plan, final recovery plan, and any revisions will be available
on our website as they are completed (https://www.fws.gov/program/endangered-species), or from our Mississippi Ecological Services Field
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 (e.g., 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.
Once the Pearl River map turtle is listed (see DATES, above),
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 Louisiana and Mississippi will be eligible for
Federal
[[Page 57227]]
funds to implement management actions that promote the protection or
recovery of the Pearl River map turtle. Information on our grant
programs that are available to aid species recovery can be found at:
https://www.fws.gov/service/financial-assistance.
Please let us know if you are interested in participating in
recovery efforts for the Pearl River map turtle. 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 of the Act is titled, ``Interagency Cooperation'' and
mandates all Federal agencies to use their existing authorities to
further the conservation purposes of the Act and to ensure that their
actions are not likely to jeopardize the continued existence of listed
species or adversely modify critical habitat. Regulations implementing
section 7 are codified at 50 CFR part 402.
Section 7(a)(2) states that each Federal action agency shall, in
consultation with the Secretary, ensure that any action they authorize,
fund, or carry out is not likely to jeopardize the continued existence
of a listed species or result in the destruction or adverse
modification of designated critical habitat. Each Federal agency shall
review its action at the earliest possible time to determine whether it
may affect listed species or critical habitat. If a determination is
made that the action may affect listed species or critical habitat,
formal consultation is required (50 CFR 402.14(a)), unless the Service
concurs in writing that the action is not likely to adversely affect
listed species or critical habitat. At the end of a formal
consultation, the Service issues a biological opinion, containing its
determination of whether the Federal action is likely to result in
jeopardy or adverse modification.
Examples of discretionary actions for the Pearl River map turtle
that may be subject to consultation procedures under section 7 are land
management or other landscape-altering activities on Federal lands
administered by the Service (Refuges) and Department of Defense
(Stennis Western Maneuver Area) as well as actions on State, Tribal,
local, or private lands that require a Federal permit (such as a permit
from the U.S. Army Corps of Engineers under section 404 of the Clean
Water Act (33 U.S.C. 1251 et seq.) or a permit from the Service under
section 10 of the Act) or that involve some other Federal action (such
as funding from the Federal Highway Administration, Federal Aviation
Administration, or the Federal Emergency Management Agency). Federal
actions not affecting listed species or critical habitat--and actions
on State, Tribal, local, or private lands that are not federally
funded, authorized, or carried out by a Federal agency--do not require
section 7 consultation. Federal agencies should coordinate with the
Field Supervisor of the Service's Mississippi Ecological Services Field
Office (see FOR FURTHER INFORMATION CONTACT) with any specific
questions on section 7 consultation and conference requirements.
It is the policy of the Services, as published in the Federal
Register on July 1, 1994 (59 FR 34272), to identify to the extent known
at the time a species is listed, specific activities that will not be
considered likely to result in violation of section 9 of the Act. To
the extent possible, activities that will be considered likely to
result in violation will also be identified in as specific a manner as
possible. The intent of this policy is to increase public awareness of
the effect of a listing on proposed and ongoing activities within the
range of the species. Although most of the prohibitions in section 9 of
the Act apply to endangered species, sections 9(a)(1)(G) and 9(a)(2)(E)
of the Act (16 U.S.C. 1538(a)(1)(G) and (a)(2)(E)) prohibit the
violation of any regulation under section 4(d) pertaining to any
threatened species of fish or wildlife, or threatened species of plant,
respectively. Section 4(d) of the Act (16 U.S.C. 1533(d)) directs the
Secretary to promulgate protective regulations that are necessary and
advisable for the conservation of threatened species. As a result, we
interpret our policy to mean that, when we list a species as a
threatened species, to the extent possible, we identify activities that
will or will not be considered likely to result in violation of the
protective regulations under section 4(d) of the Act for that species.
At this time, we are unable to identify specific activities that
will or will not be considered likely to result in violation of section
9 of the Act beyond what is already clear from the descriptions of
prohibitions and exceptions established by protective regulation under
section 4(d) of the Act.
Questions regarding whether specific activities would constitute
violation of section 9 of the Act should be directed to the Field
Supervisor of the Service's Mississippi Ecological Services Field
Office (see FOR FURTHER INFORMATION CONTACT).
II. Protective Regulations Under Section 4(d) of the Act for the Pearl
River Map Turtle
Background
Section 4(d) of the Act contains two sentences. The first sentence
states that the Secretary shall issue such regulations as she deems
necessary and advisable to provide for the conservation of species
listed as threatened. Conservation is defined in the Act to mean the
use of all methods and procedures which are necessary to bring any
endangered species or threatened species to the point at which the
measures provided pursuant to the Act are no longer necessary.
Additionally, the second sentence of section 4(d) of the Act states
that the Secretary may by regulation prohibit with respect to any
threatened species any act prohibited under section 9(a)(1), in the
case of fish or wildlife, or section 9(a)(2), in the case of plants.
With these two sentences in section 4(d), Congress delegated broad
authority to the Secretary to determine what protections would be
necessary and advisable to provide for the conservation of threatened
species, and even broader authority to put in place any of the section
9 prohibitions, for a given species.
The courts have recognized the extent of the Secretary's discretion
under this standard to develop rules that are appropriate for the
conservation of a species. For example, courts have upheld, as a valid
exercise of agency authority, rules developed under section 4(d) that
included limited prohibitions against takings (see Alsea Valley
Alliance v. Lautenbacher, 2007 WL 2344927 (D. Or. 2007); Washington
Environmental Council v. National Marine Fisheries Service, 2002 WL
511479 (W.D. Wash. 2002)). Courts have also upheld 4(d) rules that do
not address all of the threats a species faces (see State of Louisiana
v. Verity, 853 F.2d 322 (5th Cir. 1988)). As noted in the legislative
history 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 [her] with regard to the permitted activities for those
species. [She] may, for example, permit taking, but not importation of
such species, or [she] may choose to forbid both taking and importation
but allow the transportation of such species'' (H.R. Rep. No. 412, 93rd
Cong., 1st Sess. 1973).
The provisions of this species' protective regulations under
section 4(d) of the Act are one of many tools that we will use to
promote the conservation of
[[Page 57228]]
the Pearl River map turtle. Nothing in 4(d) rules change in any way the
recovery planning provisions of section 4(f) of the Act, the
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 Pearl River map turtle. As mentioned previously in
Available Conservation Measures, Section 7(a)(2) of the Act requires
Federal agencies, including the Service, to ensure that any action they
authorize, fund, or carry out is not likely to jeopardize the continued
existence of any endangered species or threatened species or result in
the destruction or adverse modification of designated critical habitat
of such species. These requirements are the same for a threatened
species regardless of what is included in its 4(d) rule.
Section 7 consultation is required for Federal actions that ``may
affect'' a listed species regardless of whether take caused by the
activity is prohibited or excepted by a 4(d) rule (``blanket rule'' or
species-specific 4(d) rule). A 4(d) rule does not change the process
and criteria for informal or formal consultations and does not alter
the analytical process used for biological opinions or concurrence
letters. For example, as with an endangered species, if a Federal
agency determines that an action is ``not likely to adversely affect''
a threatened species, this will require the Service's written
concurrence (50 CFR 402.13(c)). Similarly, if a Federal agency
determines that an action is ``likely to adversely affect'' a
threatened species, the action will require formal consultation and the
formulation of a biological opinion (50 CFR 402.14(a)).
Provisions of the 4(d) Protective Regulations for the Pearl River Map
Turtle
Exercising the Secretary's authority under section 4(d) of the Act,
we have developed a rule that is designed to address the Pearl River
map turtle's conservation needs. As discussed previously under Summary
of Biological Status and Threats, we have concluded that the Pearl
River map turtle is likely to become in danger of extinction within the
foreseeable future primarily due to habitat degradation and loss caused
by degraded water quality, channel or hydrological modifications and
impoundments, agricultural runoff, development, mining; collection; and
climate change. Additional stressors acting on the species include
disease and contaminants (pesticides and heavy metals). Drowning and/or
capture due to bycatch associated with recreational and commercial
fishing of some species of freshwater fish may also affect the Pearl
River map turtle but are of unknown frequency or severity.
Section 4(d) requires the Secretary to issue such regulations as
she deems necessary and advisable to provide for the conservation of
each threatened species and authorizes the Secretary to include among
those protective regulations any of the prohibitions that section
9(a)(1) of the Act prescribes for endangered species. We are not
required to make a ``necessary and advisable'' determination when we
apply or do not apply specific section 9 prohibitions to a threatened
species (In re: Polar Bear Endangered Species Act Listing and 4(d) Rule
Litigation, 818 F. Supp. 2d 214, 228 (D.D.C. 2011) (citing Sweet Home
Chapter of Cmtys. for a Great Or. v. Babbitt, 1 F.3d 1, 8 (D.C. Cir.
1993), rev'd on other grounds, 515 U.S. 687 (1995))). Nevertheless,
even though we are not required to make such a determination, we have
chosen to be as transparent as possible and explain below why we find
that the protections, prohibitions, and exceptions in this rule as a
whole satisfy the requirement in section 4(d) of the Act to issue
regulations deemed necessary and advisable to provide for the
conservation of the Pearl River map turtle.
The protective regulations for Pearl River map turtle incorporate
prohibitions from section 9(a)(1) of the Act to address the threats to
the species. The prohibitions of section 9(a)(1) of the Act, and
implementing regulations codified at 50 CFR 17.21, make it illegal for
any person subject to the jurisdiction of the United States to commit,
to attempt to commit, to solicit another to commit or to cause to be
committed any of the following acts with regard to any endangered
wildlife: (1) import into, or export from, the United States; (2) take
(which includes harass, harm, pursue, hunt, shoot, wound, kill, trap,
capture, or collect) within the United States, within the territorial
sea of the United States, or on the high seas; (3) possess, sell,
deliver, carry, transport, or ship, by any means whatsoever, any such
wildlife that has been taken illegally; (4) deliver, receive, carry,
transport, or ship in interstate or foreign commerce, by any means
whatsoever and in the course of commercial activity; or (5) sell or
offer for sale in interstate or foreign commerce. This protective
regulation includes all of these prohibitions because the Pearl River
map turtle is at risk of extinction in the foreseeable future and
putting these prohibitions in place will help to better preserve the
condition of the species' resilience units, slow its rate of decline,
and decrease synergistic, negative effects from other ongoing or future
threats.
In particular, this 4(d) rule will provide for the conservation of
the Pearl River map turtle by prohibiting the following activities,
unless they fall within specific exceptions or are otherwise authorized
or permitted: importing or exporting; take; possession and other acts
with unlawfully taken specimens; delivering, receiving, carrying,
transporting, or shipping in interstate or foreign commerce in the
course of commercial activity; or selling or offering for sale in
interstate or foreign commerce.
Under the Act, ``take'' means to harass, harm, pursue, hunt, shoot,
wound, kill, trap, capture, or collect, or to attempt to engage in any
such conduct. Some of these provisions have been further defined in
regulation at 50 CFR 17.3. Take can result knowingly or otherwise, by
direct and indirect impacts, intentionally or incidentally. Regulating
take will help preserve the species' remaining populations, slow their
rate of decline, and decrease cumulative effects from other ongoing or
future threats. Therefore, we are prohibiting take of the Pearl River
map turtle, except for take resulting from those actions and activities
specifically excepted by the 4(d) rule. Exceptions to the prohibition
on take include the general exceptions to the prohibition on take of
endangered wildlife, as set forth in 50 CFR 17.21 and additional
exceptions, as described below.
Despite these prohibitions regarding threatened species, we may
under certain circumstances issue permits to carry out one or more
otherwise prohibited activities, including those described above. The
regulations that govern permits for threatened wildlife state that the
Director may issue a permit authorizing any activity otherwise
prohibited with regard to threatened species. These include permits
issued for the following purposes: for scientific purposes, to enhance
propagation or survival, for economic hardship, for zoological
exhibition, for educational purposes, for incidental taking, or for
special purposes consistent with the purposes of the Act (50 CFR
17.32). The statute also contains certain exemptions from the
prohibitions, which are found in sections 9 and 10 of the Act.
In addition, to further the conservation of the species, any
employee or agent of the Service, any other Federal land management
agency, the National Marine Fisheries Service, a State conservation
agency, or a federally recognized Tribe, who is designated by their
agency or Tribe for such purposes,
[[Page 57229]]
may, when acting in the course of their official duties, take
threatened wildlife without a permit if such action is necessary to:
(i) Aid a sick, injured, or orphaned specimen; or (ii) Dispose of a
dead specimen; or (iii) Salvage a dead specimen that may be useful for
scientific study; or (iv) Remove specimens that constitute a
demonstrable but nonimmediate threat to human safety, provided that the
taking is done in a humane manner; the taking may involve killing or
injuring only if it has not been reasonably possible to eliminate such
threat by live capturing and releasing the specimen unharmed, in an
appropriate area.
We recognize the special and unique relationship that we have with
our State natural resource agency partners in contributing to
conservation of listed species. State agencies often possess scientific
data and valuable expertise on the status and distribution of
endangered, threatened, and candidate species of wildlife and plants.
State agencies, because of their authorities and their close working
relationships with local governments and landowners, are in a unique
position to assist us in implementing all aspects of the Act. In this
regard, section 6 of the Act provides that we must cooperate to the
maximum extent practicable with the States in carrying out programs
authorized by the Act. Therefore, any qualified employee or agent of a
State conservation agency that is a party to a cooperative agreement
with us in accordance with section 6(c) of the Act, who is designated
by his or her agency for such purposes, will be able to conduct
activities designed to conserve the Pearl River map turtle that may
result in otherwise prohibited take without additional authorization.
The 4(d) rule will also provide for the conservation of the species
by allowing exceptions that incentivize conservation actions or that,
while they may have some minimal level of take of the Pearl River map
turtle, are not expected to rise to the level that would have a
negative impact (i.e., would have only de minimis impacts) on the
species' conservation. The exceptions to these prohibitions include
take resulting from forest management practices that use State-approved
best management practices (described below) that are expected to have
negligible impacts to the Pearl River map turtle and its habitat.
Silvicultural Practices and Forest Management Activities that Use
State Forestry Best Management Practices--Forest management practices
that implement State-approved BMPs designed to protect water quality
and stream and riparian habitat will avoid or minimize the effects of
habitat alterations in areas that support Pearl River map turtles. We
consider that certain activities associated with silvicultural
practices and forest management activities may remove riparian cover or
forested habitat, change land use within the riparian zone, or increase
stream bank erosion and/or siltation. We recognize that forest
management practices are widely implemented in accordance with State-
approved BMPs (as reviewed by Cristan et al. 2018, entire), and the
adherence to these BMPs broadly protects water quality, particularly
related to sedimentation (as reviewed by Cristan et al. 2016, entire;
Warrington et al. 2017, entire; and Schilling et al. 2021, entire), to
an extent that does not impair the species' conservation. Forest
landowners who properly implement those BMPs are helping conserve the
Pearl River map turtle, and this 4(d) rule is an incentive for all
landowners to properly implement applicable State-approved BMPs to
avoid any take implications. Further, those forest landowners who are
third-party-certified (attesting to the sustainable management of a
working forest) to a credible forest management standard are providing
audited certainty that BMP implementation is taking place across the
landscape.
Summary of Species-specific Incidental Take Exceptions in the 4(d)
Rule--Under this final 4(d) rule, incidental take associated
silviculture practices and forest management activities that use State-
approved BMPs designed to protect water quality and stream and riparian
habitat with the following activities is excepted from the
prohibitions.
III. Critical Habitat for the Pearl River Map Turtle
Background
Section 4(a)(3) of the Act requires that, to the maximum extent
prudent and determinable, we designate a species' critical habitat
concurrently with listing the species. Critical habitat is defined in
section 3 of the Act as:
(1) The specific areas within the geographical area occupied by the
species, at the time it is listed in accordance with the Act, on which
are found those physical or biological features
(a) Essential to the conservation of the species, and
(b) Which may require special management considerations or
protection; and
(2) Specific areas outside the geographical area occupied by the
species at the time it is listed, upon a determination that such areas
are essential for the conservation of the species.
Our regulations at 50 CFR 424.02 define the geographical area
occupied by the species as an area that may generally be delineated
around species' occurrences, as determined by the Secretary (i.e.,
range). Such areas may include those areas used throughout all or part
of the species' life cycle, even if not used on a regular basis (e.g.,
migratory corridors, seasonal habitats, and habitats used periodically,
but not solely by vagrant individuals).
Conservation, as defined under section 3 of the Act, means to use
all methods and procedures that are necessary to bring an endangered or
threatened species to the point at which the measures provided pursuant
to the Act are no longer necessary. Such methods and procedures
include, but are not limited to, all activities associated with
scientific resource management such as research, census, law
enforcement, habitat acquisition and maintenance, propagation, live
trapping, and transplantation, and, in the extraordinary case where
population pressures within a given ecosystem cannot be otherwise
relieved, may include regulated taking.
Critical habitat receives protection under section 7 of the Act
through the requirement that each Federal action agency ensure, in
consultation with the Service, that any action they authorize, fund, or
carry out is not likely to result in the destruction or adverse
modification of designated critical habitat. The designation of
critical habitat does not affect land ownership or establish a refuge,
wilderness, reserve, preserve, or other conservation area. Such
designation also does not allow the government or public to access
private lands. Such designation does not require implementation of
restoration, recovery, or enhancement measures by non-Federal
landowners. Rather, designation requires that, where a landowner
requests Federal agency funding or authorization for an action that may
affect an area designated as critical habitat, the Federal agency
consult with the Service under section 7(a)(2) of the Act. If the
action may affect the listed species itself (such as for occupied
critical habitat), the Federal action agency would have already been
required to consult with the Service even absent the critical habitat
designation because of the requirement to ensure that the action is not
likely to jeopardize the continued existence of the species. Even if
the Service were to conclude after
[[Page 57230]]
consultation that the proposed activity is likely to result in
destruction or adverse modification of the critical habitat, the
Federal action agency and the landowner are not required to abandon the
proposed activity, or to restore or recover the species; instead, they
must implement ``reasonable and prudent alternatives'' to avoid
destruction or adverse modification of critical habitat.
Under the first prong of the Act's definition of critical habitat,
areas within the geographical area occupied by the species at the time
it was listed are included in a critical habitat designation if they
contain physical or biological features (1) which are essential to the
conservation of the species and (2) which may require special
management considerations or protection. For these areas, critical
habitat designations identify, to the extent known using the best
scientific and commercial data available, those physical or biological
features that are essential to the conservation of the species (such as
space, food, cover, and protected habitat).
Under the second prong of the Act's definition of critical habitat,
we can designate critical habitat in areas outside the geographical
area occupied by the species at the time it is listed, upon a
determination that such areas are essential for the conservation of the
species.
Section 4 of the Act requires that we designate critical habitat on
the basis of the best scientific data available. Further, our Policy on
Information Standards Under the Endangered Species Act (published in
the Federal Register on July 1, 1994 (59 FR 34271)), the Information
Quality Act (section 515 of the Treasury and General Government
Appropriations Act for Fiscal Year 2001 (Pub. L. 106-554; H.R. 5658)),
and our associated Information Quality Guidelines provide criteria,
establish procedures, and provide guidance to ensure that our decisions
are based on the best scientific data available. They require our
biologists, to the extent consistent with the Act and with the use of
the best scientific data available, to use primary and original sources
of information as the basis for recommendations to designate critical
habitat.
When we are determining which areas should be designated as
critical habitat, our primary source of information is generally the
information from the SSA report and information developed during the
listing process for the species. Additional information sources may
include any generalized conservation strategy, criteria, or outline
that may have been developed for the species; the recovery plan for the
species; articles in peer-reviewed journals; conservation plans
developed by States and counties; scientific status surveys and
studies; biological assessments; other unpublished materials; or
experts' opinions or personal knowledge.
Habitat is dynamic, and species may move from one area to another
over time. We recognize that critical habitat designated at a
particular point in time may not include all of the habitat areas that
we may later determine are necessary for the recovery of the species.
For these reasons, a critical habitat designation does not signal that
habitat outside the designated area is unimportant or may not be needed
for recovery of the species. Areas that are important to the
conservation of the species, both inside and outside the critical
habitat designation, will continue to be subject to: (1) Conservation
actions implemented under section 7(a)(1) of the Act; (2) regulatory
protections afforded by the requirement in section 7(a)(2) of the Act
for Federal agencies to ensure their actions are not likely to
jeopardize the continued existence of any endangered or threatened
species; and (3) the prohibitions found in the 4(d) rule. Federally
funded or permitted projects affecting listed species outside their
designated critical habitat areas may still result in jeopardy findings
in some cases. These protections and conservation tools will continue
to contribute to recovery of this species. Similarly, critical habitat
designations made on the basis of the best available information at the
time of designation will not control the direction and substance of
future recovery plans, habitat conservation plans (HCPs), or other
species conservation planning efforts if new information available at
the time of these planning efforts calls for a different outcome.
Prudency Determination
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. On April 5, 2024, we published a final rule revised our
regulations at 50 CFR part 424 to further clarify when designation of
critical habitat may not be prudent (89 FR 24300). Our regulations (50
CFR424.12(a)(1)) state that designation of critical habitat may not be
prudent in circumstances such as, but not limited to, the following:
(i) 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;
(ii) The present or threatened destruction, modification, or
curtailment of a species' habitat or range is not a threat to the
species;
(iii) 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; or
(iv) No areas meet the definition of critical habitat.
We found that designation of critical habitat was not prudent for
the Pearl River map turtle in our November 23, 2021, proposed rule (86
FR 66624). We based this finding on a determination that the
designation of critical habitat would increase the threat to the Pearl
River map turtle from unauthorized collection and trade, and may
further facilitate inadvertent or purposeful disturbance of the
turtle's habitat. We stated that designation of occupied critical
habitat is likely to confer only an educational benefit to the species
beyond that provided by listing. Alternatively, the designation of
unoccupied critical habitat for the Pearl River map turtle could
provide an educational and at least some regulatory benefit for the
species. However, we stated that the risk of increasing significant
threats to the species by publishing more specific location information
in a critical habitat designation greatly outweighed the benefits of
designating critical habitat.
We received numerous comments from private and Federal entities
stating that the locations of Pearl River map turtle are already
available in scientific journals, online databases, and documents
published by the Service, which led us to reconsider the prudency
determination for these species. Our original determination rested on
the increased risk of poaching resulting from publicizing the locations
of Pearl River map turtle populations through maps of critical habitat
in the Federal Register. In light of the comments we received during
the November 23, 2021, proposed rule's comment period, we now find that
designation of critical habitat is prudent for the Pearl River map
turtle. Our rationale is outlined below. The principal benefit of
including an area in critical habitat is the requirement for agencies
to ensure actions they fund, authorize, or carry out are not likely to
result in the destruction or adverse modification of
[[Page 57231]]
any designated critical habitat, the regulatory standard of section
7(a)(2) of the Act under which consultation is completed. Critical
habitat provides protections only where there is a Federal nexus, that
is, those actions that come under the purview of section 7 of the Act.
Critical habitat designation has no application to actions that do not
have a Federal nexus.
Section 7(a)(2) of the Act mandates that Federal agencies, in
consultation with the Service, evaluate the effects of their proposed
actions on any designated critical habitat. Similar to the Act's
requirement that a Federal agency action not jeopardize the continued
existence of listed species, Federal agencies have the responsibility
not to implement actions that would destroy or adversely modify
designated critical habitat. Federal actions affecting the species even
in the absence of designated critical habitat areas will still benefit
from consultation pursuant to section 7(a)(2) of the Act and may still
result in jeopardy findings. However, the analysis of effects of a
proposed project on critical habitat is separate and distinct from that
of the effects of a proposed project on the species itself. The
jeopardy analysis evaluates the action's impact to survival and
recovery of the species, while the destruction or adverse modification
analysis evaluates the action's effects to the designated habitat's
contribution as a whole to conservation of the species. Therefore, the
difference in outcomes of these two analyses represents the regulatory
benefit of critical habitat. This would, in some instances, lead to
different results and different regulatory requirements. Thus, critical
habitat designations may provide greater benefits to the recovery of a
species than would listing alone.
Map turtles are valuable to collectors and the threat of poaching
remains imminent (Factor B) for the Pearl River map turtle. There is
evidence that the designation of critical habitat could result in an
increased threat from taking, specifically collection, for the species,
through publication of maps and a narrative description of specific
critical habitat units in the Federal Register. However, such
information on locations of extant Pearl River map turtle populations
is already widely available to the public through many outlets, as
noted above. Therefore, identification and mapping of critical habitat
is not expected to increase the degree of such threat. In the comments
we received on the November 23, 2021, proposed rule, we were alerted to
the existing public availability of many, if not all, populations or
locations of the Pearl River map turtle.
Critical Habitat Determinability
Having determined that designation is prudent, under section
4(a)(3) of the Act we must find whether critical habitat for the Pearl
River map turtle is determinable. Our regulations at 50 CFR
424.12(a)(2) state that critical habitat is not determinable when one
or both of the following situations exist:
(i) Data sufficient to perform required analyses are lacking, or
(ii) The biological needs of the species are not sufficiently well
known to identify any area that meets the definition of ``critical
habitat.''
When critical habitat is not determinable, the Act allows the
Service an additional year to publish a critical habitat designation
(16 U.S.C. 1533(b)(6)(C)(ii)).
For the Pearl River map turtle, the species' needs are sufficiently
well known, but a careful assessment of the economic impacts that may
occur due to a critical habitat designation is ongoing. Until these
efforts are complete, information sufficient to perform a required
analysis of the impacts of the designation is lacking; therefore, we
find the designation of critical habitat for the Pearl River map turtle
to be not determinable at this time. In the future, we plan to publish
a proposed rule to designate critical habitat for the Pearl River map
turtle concurrent with the availability of a draft economic analysis of
the proposed designation.
IV. Similarity of Appearance for the Alabama Map Turtle, Barbour's Map
Turtle, Escambia Map Turtle, and Pascagoula Map Turtle
Section 4(e) authorizes the treatment of a species, subspecies, or
population segment as an endangered or threatened species if: (a) Such
species so closely resembles in appearance, at the point in question, a
species which has been listed pursuant to the Act that enforcement
personnel would have substantial difficulty in attempting to
differentiate between the listed and unlisted species; (b) the effect
of this substantial difficulty is an additional threat to an endangered
or threatened species; and (c) such treatment of an unlisted species
will substantially facilitate the enforcement and further the policy of
the Act (16 U.S.C. 1533(e)).
The treatment of a species as an endangered or threatened species
due to similarity of appearance under section 4(e) of the Act does not
extend other protections of the Act, such as consultation requirements
for Federal agencies under section 7 and the recovery planning
provisions under section 4(f), that apply to species that are listed as
endangered or threatened species under section 4(a) of the Act. All
applicable prohibitions and exceptions for species listed under section
4(e) of the Act due to similarity of appearance to an endangered or
threatened species are set forth in a species-specific rule issued
under section 4(d) of the Act. The Service implements this section 4(e)
authority in accordance with the Act and our regulations at 50 CFR
17.50 through 17.52. Our analysis of the criteria for the 4(e) rule is
described in the proposed rule (86 FR 66624; November 23, 2021) for the
similarity of appearance of the Alabama map turtle, Barbour's map
turtle, Escambia map turtle, and Pascagoula map turtle in relation to
the threatened Pearl River map turtle.
Do the Alabama map turtle, Barbour's map turtle, Escambia map turtle,
and Pascagoula map turtle so closely resemble in appearance, at the
point in question, the Pearl River map turtle such that enforcement
personnel would have substantial difficulty in attempting to
differentiate between the listed and unlisted species?
Map turtles (genus Graptemys) are named for the intricate pattern
on the carapace that often resembles a topographical map. In addition
to the intricate markings, the shape of the carapace (top half of
shell) in map turtles is very distinctive. The carapace is keeled, and
many species show some type of knobby projections or spikes down the
vertebral scutes (located down the midline of the carapace). All five
of these map turtle species are in the megacephalic (large-headed)
clade where the females have large, broad heads, and all occur in the
southeastern United States. The ranges of these species do not
geographically overlap, with the exception of Barbour's and Escambia
map turtles in some areas of the Choctawhatchee River drainage in
Alabama and Florida (see figure 2, below). Additional information
regarding characteristics and identification of megacephalic map
turtles is described in the SSA report (Service 2023, pp. 5-8). The
lack of distinctive physical features makes it difficult to
differentiate among these species, even for law enforcement officers,
especially considering their similar body form, shell markings, and
head markings (Selman 2021, pers. comm). The Alabama map turtle,
Barbour's map turtle, Escambia map turtle, and Pascagoula map turtle
all closely resemble in appearance, at the point in question, the Pearl
River map turtle such that enforcement personnel would have substantial
difficulty in
[[Page 57232]]
attempting to differentiate between the listed and unlisted species.
Is the effect of this substantial difficulty an additional threat to
the Pearl River map turtle?
Under 50 CFR 17.50(b)(2), we considered the possibility that an
additional threat is posed to the Pearl River map turtle by
unauthorized trade or commerce by persons who misrepresent Pearl River
map turtle specimens as Alabama map turtle, Barbour's map turtle,
Escambia map turtle, or Pascagoula map turtle specimens, because this
might result in the Pearl River map turtle entering the global black
market via the United States or contributing to market demand for the
Pearl River map turtle. Collection is a real threat to many turtle
species in the United States and globally (Stanford et al. 2020,
entire), as turtles are collected in the wild and sold into the pet
trade. This potential unauthorized trade or commerce of Pearl River map
turtles is caused by a lack of distinct physical characteristics and
difficulty in distinguishing individual species of megacephalic map
turtles, posing a problem for Federal and State law enforcement agents.
The listing of the Alabama map turtle, Barbour's map turtle, Escambia
map turtle, and Pascagoula map turtle as threatened due to similarity
of appearance minimizes the possibility that private and commercial
collectors will be able to misrepresent Pearl River map turtles as
Alabama map turtles, Barbour's map turtles, Escambia map turtles, or
Pascagoula map turtles for private or commercial purposes. Therefore,
we find that the difficulty enforcement personnel will have in
attempting to differentiate among the megacephalic map turtle species
would pose an additional threat to the Pearl River map turtle.
Would treatment of the Alabama map turtle, Barbour's map turtle,
Escambia map turtle, and Pascagoula map turtle as endangered or
threatened due to similarity of appearance substantially facilitate the
enforcement and further the policy of the Act?
The listing of the Alabama map turtle, Barbour's map turtle,
Escambia map turtle, and Pascagoula map turtle due to similarity of
appearance will facilitate Federal, State, and local law enforcement
agents' efforts to curtail unauthorized possession, collection, and
trade in the Pearl River map turtle. Listing the four similar map
turtle species due to similarity of appearance under section 4(e) of
the Act and providing applicable prohibitions and exceptions in a rule
issued under section 4(d) of the Act will substantially facilitate the
enforcement and further the policy of the Act for the Pearl River map
turtle. For these reasons, we are listing the Alabama map turtle
(occurring in Alabama, Georgia, Mississippi, and Tennessee), Barbour's
map turtle (occurring in Alabama, Florida, and Georgia), Escambia map
turtle (occurring in Alabama and Florida), and Pascagoula map turtle
(occurring in Mississippi) as threatened due to similarity of
appearance to the Pearl River map turtle pursuant to section 4(e) of
the Act.
With this final rule, we do not consider the Alabama map turtle,
Barbour's map turtle, Escambia map turtle, or Pascagoula map turtle to
be biologically threatened or endangered, but we have determined that
listing the Alabama map turtle, Barbour's map turtle, Escambia map
turtle, and Pascagoula map turtle as threatened species under the
similarity of appearance provision of section 4(e) of the Act, coupled
with a 4(d) rule as discussed below, minimizes misidentification and
enforcement-related issues. This listing will promote and enhance the
conservation of the Pearl River map turtle.
[[Page 57233]]
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V. Protective Regulations Issued Under Section 4(d) of the Act for the
Alabama Map Turtle, Barbour's Map Turtle, Escambia Map Turtle, and
Pascagoula Map Turtle
Whenever a species is listed as a threatened species under the Act,
the Secretary may specify regulations that she deems necessary and
advisable to provide for the conservation of that species under the
authorization of section 4(d) of the Act. Because we are listing the
Alabama map turtle (Graptemys pulchra), Barbour's map turtle (Graptemys
barbouri), Escambia map turtle (Graptemys ernsti), and Pascagoula map
turtle (Graptemys gibbonsi) as threatened species due to similarity of
appearance to the Pearl River map turtle (see IV. Similarity of
Appearance for the Alabama Map Turtle, Barbour's Map Turtle, Escambia
Map Turtle, and Pascagoula Map Turtle, above), we are finalizing a 4(d)
rule to minimize misidentification and enforcement-related issues. This
4(d) rule will promote and enhance the conservation of the Pearl River
map turtle.
This 4(d) rule establishes certain prohibitions on take in the form
of collection, capturing, and trapping of these four similar-in-
appearance species of map turtle in order to protect the Pearl River
map turtle from unlawful take, unlawful possession, and unlawful trade.
In this context, take in the form of collect, capture, or trap is
defined as any activity where Alabama map turtles, Barbour's map
turtles, Escambia map turtles, or Pascagoula map turtles are, or are
attempted to be, collected, captured, or trapped from wild populations.
Incidental take associated with all otherwise legal activities
involving the Alabama map turtle, Barbour's map turtle, Escambia map
turtle, and Pascagoula map turtle that are conducted in accordance with
applicable State, Federal, Tribal, and
[[Page 57234]]
local laws and regulations is not considered prohibited under this 4(d)
rule.
Provisions of the 4(d) Rule for the Alabama Map Turtle, Barbour's Map
Turtle, Escambia Map Turtle, and Pascagoula Map Turtle
The protective regulations for Alabama map turtle, Barbour's map
turtle, Escambia map turtle, and Pascagoula map turtle incorporate
prohibitions from section 9(a)(1) to address the threats to the Pearl
River map turtle. The prohibitions of section 9(a)(1) of the Act, and
implementing regulations codified at 50 CFR 17.21, make it illegal for
any person subject to the jurisdiction of the United States to commit,
to attempt to commit, to solicit another to commit or to cause to be
committed any of the following acts with regard to any endangered
wildlife: (1) import into, or export from, the United States; (2) take
(which includes harass, harm, pursue, hunt, shoot, wound, kill, trap,
capture, or collect) within the United States, within the territorial
sea of the United States, or on the high seas; (3) possess, sell,
deliver, carry, transport, or ship, by any means whatsoever, any such
wildlife that has been taken illegally; (4) deliver, receive, carry,
transport, or ship in interstate or foreign commerce, by any means
whatsoever and in the course of commercial activity; or (5) sell or
offer for sale in interstate or foreign commerce. This protective
regulation includes most of these prohibitions because the Pearl River
map turtle is at risk of extinction in the foreseeable future and
putting these prohibitions in place for Alabama map turtle, Barbour's
map turtle, Escambia map turtle, and Pascagoula map turtle will help to
reduce threats to the Pearl River map turtle.
Under the Act, ``take'' means to harass, harm, pursue, hunt, shoot,
wound, kill, trap, capture, or collect, or to attempt to engage in any
such conduct. Some of these provisions have been further defined in
regulation at 50 CFR 17.3. Take can result knowingly or otherwise, by
direct and indirect impacts, intentionally or incidentally. Regulating
take will help address primary threats to the Pearl River map turtle.
We are only prohibiting intentional take in the form of collect,
capture, or trap, because the threat of collectors being able to
misrepresent Pearl River map turtles as Pearl River map turtles as
Alabama map turtles, Barbour's map turtles, Escambia map turtles, or
Pascagoula map turtles for private or commercial purposes. This
potential unauthorized trade or commerce of Pearl River map turtles is
caused by a lack of distinct physical characteristics and difficulty in
distinguishing individual species of megacephalic map turtles, posing a
problem for Federal and State law enforcement agents. Exceptions to the
prohibition on take include the general exceptions to the prohibition
on take of endangered wildlife, as set forth in 50 CFR 17.21 and
additional exceptions, as described below.
Despite these prohibitions regarding threatened species, we may
under certain circumstances issue permits to carry out one or more
otherwise prohibited activities, including those described above in
accordance with 50 CFR 17.32. The statute also contains certain
exemptions from the prohibitions, which are found in sections 9 and 10
of the Act.
In addition, to further the conservation of the species, any
employee or agent of the Service, any other Federal land management
agency, the National Marine Fisheries Service, a State conservation
agency, or a federally recognized Tribe, who is designated by their
agency or Tribe for such purposes, may, when acting in the course of
their official duties, take threatened wildlife without a permit if
such action is necessary to: (i) Aid a sick, injured, or orphaned
specimen; or (ii) Dispose of a dead specimen; or (iii) Salvage a dead
specimen that may be useful for scientific study; or (iv) Remove
specimens that constitute a demonstrable but nonimmediate threat to
human safety, provided that the taking is done in a humane manner; the
taking may involve killing or injuring only if it has not been
reasonably possible to eliminate such threat by live capturing and
releasing the specimen unharmed, in an appropriate area. Because
collection is the only form of take that is prohibited, this exception
will allow any employee or agent of the Service, any other Federal land
management agency, the National Marine Fisheries Service, a State
conservation agency, or a federally recognized Tribe to collect the
Alabama map turtle, Barbour's map turtle, Escambia map turtle, or
Pascagoula map turtle.
We recognize the special and unique relationship that we have with
our State natural resource agency partners in contributing to
conservation of listed species. State agencies often possess scientific
data and valuable expertise on the status and distribution of
endangered, threatened, and candidate species of wildlife and plants.
State agencies, because of their authorities and their close working
relationships with local governments and landowners, are in a unique
position to assist us in implementing all aspects of the Act. In this
regard, section 6 of the Act provides that we must cooperate to the
maximum extent practicable with the States in carrying out programs
authorized by the Act. Therefore, any qualified employee or agent of a
State conservation agency that is a party to a cooperative agreement
with us in accordance with section 6(c) of the Act, who is designated
by his or her agency for such purposes, will be able to conduct
activities that may result in otherwise prohibited take (in this case,
collection) without additional authorization.
The 4(d) rule does not prohibit incidental take of the Alabama map
turtle, Barbour's map turtle, Escambia map turtle, and Pascagoula map
turtle. Incidental take is take that results from, but is not the
purpose of, carrying out an otherwise lawful activity. For example,
construction activities, application of pesticides and fertilizers,
silviculture and forest management practices, maintenance dredging
activities that remain in the previously disturbed portion of a
maintained channel, and any other legally undertaken actions that
result in the accidental take of an Alabama map turtle, Barbour's map
turtle, Escambia map turtle, or Pascagoula map turtle will not be
considered a violation of section 9 of the Act.
Effects of the Final 4(d) Rule
Listing the Alabama map turtle, Barbour's map turtle, Escambia map
turtle, and Pascagoula map turtle as threatened species under the
``similarity of appearance'' provisions of section 4(e) of the Act, and
the promulgation of a rule under section 4(d) of the Act to extend
prohibitions regarding take in the form of collect, capture, or trap,
import, export, and commerce to these species, will provide a
conservation benefit to the Pearl River map turtle.
As the Alabama map turtle, Barbour's map turtle, Escambia map
turtle, and Pascagoula map turtle can be confused with the Pearl River
map turtle, we strongly recommend maintaining the appropriate
documentation and declarations with legal specimens at all times,
especially when importing them into the United States, and permit
holders must also comply with the import/export transfer regulations at
50 CFR part 14, where applicable. All otherwise legal activities that
may involve what we would normally define as incidental take (take that
results from, but is not the purpose of, carrying out an otherwise
lawful activity) of these
[[Page 57235]]
similar turtles, and which are conducted in accordance with applicable
State, Federal, Tribal, and local laws and regulations, are not
prohibited under this 4(d) rule.
We do not find it necessary to apply incidental take prohibitions
for those otherwise legal activities to these four similar turtles
(Alabama map turtle, Barbour's map turtle, Escambia map turtle, and
Pascagoula map turtle), as these activities will not pose a threat to
the Pearl River map turtle because: (1) Activities that affect the
waters where the Alabama map turtle, Barbour's map turtle, Escambia map
turtle, and Pascagoula map turtle reside will not affect the Pearl
River map turtle; and (2) the primary threat as it relates to the Pearl
River map turtle comes from collection and commercial trade of the
similar turtles. Listing the Alabama map turtle, Barbour's map turtle,
Escambia map turtle, and Pascagoula map turtle under the similarity of
appearance provision of section 4(e) of the Act, coupled with this 4(d)
rule, will help minimize enforcement problems related to collection and
enhance conservation of the Pearl River map turtle.
Required Determinations
National Environmental Policy Act (42 U.S.C. 4321 et seq.)
Regulations adopted pursuant to section 4(a) of the Act are exempt
from the National Environmental Policy Act (NEPA; 42 U.S.C. 4321 et
seq.) and do not require an environmental analysis under NEPA. We
published a notice outlining our reasons for this determination in the
Federal Register on October 25, 1983 (48 FR 49244). This includes
listing, delisting, and reclassification rules, as well as critical
habitat designations and species-specific protective regulations
promulgated concurrently with a decision to list or reclassify a
species as threatened. The courts have upheld this position (e.g.,
Douglas County v. Babbitt, 48 F.3d 1495 (9th Cir. 1995) (critical
habitat); Center for Biological Diversity v. U.S. Fish and Wildlife
Service, 2005 WL 2000928 (N.D. Cal. Aug. 19, 2005) (concurrent 4(d)
rule)).
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, May 4, 1994), Executive Order 13175
(Consultation and Coordination with Indian Tribal Governments), the
President's memorandum of November 30, 2022 (Uniform Standards for
Tribal Consultation; 87 FR 74479, December 5, 2022), and the Department
of the Interior's manual at 512 DM 2, we readily acknowledge our
responsibility to communicate meaningfully with federally recognized
Tribes and Alaska Native Corporations (ANCs) on a government-to-
government basis. In accordance with Secretaries' Order 3206 of June 5,
1997 (American Indian Tribal Rights, Federal-Tribal Trust
Responsibilities, and the Endangered Species Act), we readily
acknowledge our responsibilities to work directly with Tribes in
developing programs for healthy ecosystems, to acknowledge that Tribal
lands are not subject to the same controls as Federal public lands, to
remain sensitive to Indian culture, and to make information available
to Tribes. We coordinated with Tribes within the Pearl River map
turtle's range when we initiated the SSA process. We also requested
review of the SSA report and addressed comments accordingly. We also
coordinated with Tribes within the Alabama, Barbour's, and Escambia map
turtles' ranges, requesting information regarding threats and
conservation actions for those species. There are no Tribes within the
range of the Pascagoula map turtle.
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 Mississippi Ecological Services Field Office (see FOR FURTHER
INFORMATION CONTACT).
Authors
The primary authors of this final rule are the staff members of the
Fish and Wildlife Service's Species Assessment Team and the Mississippi
Ecological Services Field Office.
List of Subjects in 50 CFR Part 17
Endangered and threatened species, Exports, Imports, Plants,
Reporting and recordkeeping requirements, Transportation, Wildlife.
Regulation Promulgation
Accordingly, we amend part 17, subchapter B of chapter I, title 50
of the Code of Federal Regulations, as set forth below:
PART 17--ENDANGERED AND THREATENED WILDLIFE AND PLANTS
0
1. The authority citation for part 17 continues to read as follows:
Authority: 16 U.S.C. 1361-1407; 1531-1544; and 4201-4245,
unless otherwise noted.
0
2. In Sec. 17.11, in paragraph (h), amend the List of Endangered and
Threatened Wildlife by adding entries for ``Turtle, Alabama map'',
``Turtle, Barbour's map'', ``Turtle, Escambia map'', ``Turtle,
Pascagoula map'', and ``Turtle, Pearl River map'' in alphabetical order
under Reptiles to read as follows:
Sec. 17.11 Endangered and threatened wildlife.
* * * * *
(h) * * *
----------------------------------------------------------------------------------------------------------------
Listing citations and
Common name Scientific name Where listed Status applicable rules
----------------------------------------------------------------------------------------------------------------
* * * * * * *
----------------------------------------------------------------------------------------------------------------
Reptiles
* * * * * * *
Turtle, Alabama map............. Graptemys pulchra. Wherever found.... T (S/A) 89 FR [INSERT FEDERAL
REGISTER PAGE WHERE
THE DOCUMENT BEGINS],
7/12/2024; 50 CFR
17.42(n).\4d\
* * * * * * *
Turtle, Barbour's map........... Graptemys barbouri Wherever found.... T (S/A) 89 FR [INSERT FEDERAL
REGISTER PAGE WHERE
THE DOCUMENT BEGINS],
7/12/2024; 50 CFR
17.42(n).\4d\
[[Page 57236]]
* * * * * * *
Turtle, Escambia map............ Graptemys ernsti.. Wherever found.... T (S/A) 89 FR [INSERT FEDERAL
REGISTER PAGE WHERE
THE DOCUMENT BEGINS],
7/12/2024; 50 CFR
17.42(n).\4d\
* * * * * * *
Turtle, Pascagoula map.......... Graptemys gibbonsi Wherever found.... T (S/A) 89 FR [INSERT FEDERAL
REGISTER PAGE WHERE
THE DOCUMENT BEGINS],
7/12/2024; 50 CFR
17.42(n).\4d\
* * * * * * *
Turtle, Pearl River map......... Graptemys Wherever found.... T 89 FR [INSERT FEDERAL
pearlensis. REGISTER PAGE WHERE
THE DOCUMENT BEGINS],
7/12/2024; 50 CFR
17.42(m).\4d\
* * * * * * *
----------------------------------------------------------------------------------------------------------------
0
3. Amend Sec. 17.42 by adding paragraphs (m) and (n) to read as
follows:
Sec. 17.42 Species-specific rules--reptiles.
* * * * *
(m) Pearl River map turtle (Graptemys pearlensis).
(1) Prohibitions. The following prohibitions that apply to
endangered wildlife also apply to the Pearl River map turtle. Except as
provided under paragraphs (m)(2) and (3) of this section and Sec. Sec.
17.4 and 17.5, it is unlawful for any person subject to the
jurisdiction of the United States to commit, to attempt to commit, to
solicit another to commit, or cause to be committed, any of the
following acts in regard to this species:
(i) Import or export, as set forth at Sec. 17.21(b) for endangered
wildlife.
(ii) Take, as set forth at Sec. 17.21(c)(1) for endangered
wildlife.
(iii) Possession and other acts with unlawfully taken specimens, as
set forth at Sec. 17.21(d)(1) for endangered wildlife.
(iv) Interstate or foreign commerce in the course of a commercial
activity, as set forth at Sec. 17.21(e) for endangered wildlife.
(v) Sale or offer for sale, as set forth at Sec. 17.21(f) for
endangered wildlife.
(2) General exceptions from prohibitions. In regard to this
species, you may:
(i) Conduct activities as authorized by a permit under Sec. 17.32.
(ii) Take, as set forth at Sec. 17.21(c)(2) and (4) for endangered
wildlife.
(ii) Possess and engage in other acts with unlawfully taken
wildlife, as set forth at Sec. 17.21(d)(2) for endangered wildlife.
(iii) Take as set forth at Sec. 17.31(b).
(3) Exceptions from prohibitions for specific types of incidental
take. You may take this species incidental to an otherwise lawful
activity caused by silvicultural practices and forest management
activities that use State-approved best management practices designed
to protect water quality and stream and riparian habitat.
(n) Alabama map turtle (Graptemys pulchra), Barbour's map turtle
(Graptemys barbouri), Escambia map turtle (Graptemys ernsti), and
Pascagoula map turtle (Graptemys gibbonsi).
(1) Prohibitions. The following prohibitions that apply to
endangered wildlife also apply to the Alabama map turtle, Barbour's map
turtle, Escambia map turtle, and Pascagoula map turtle. Except as
provided under paragraph (n)(2) of this section and Sec. Sec. 17.4 and
17.5, it is unlawful for any person subject to the jurisdiction of the
United States to commit, to attempt to commit, to solicit another to
commit, or cause to be committed, any of the following acts in regard
to these species:
(i) Import or export, as set forth at Sec. 17.21(b) for endangered
wildlife.
(ii) Intentional take in the form of collect, capture, or trap
(other than for scientific purposes).
(iii) Possession and other acts with unlawfully taken specimens, as
set forth at Sec. 17.21(d)(1) for endangered wildlife.
(iv) Interstate or foreign commerce in the course of a commercial
activity, as set forth at Sec. 17.21(e) for endangered wildlife.
(v) Sale or offer for sale, as set forth at Sec. 17.21(f) for
endangered wildlife.
(2) General exceptions from prohibitions. In regard to these
species, you may:
(i) Conduct activities as authorized by a permit under Sec. 17.32.
(ii) Take as set forth at Sec. 17.31(b).
(iii) Possess and engage in other acts with unlawfully taken
wildlife, as set forth at Sec. 17.21(d)(2) for endangered wildlife.
Martha Williams,
Director, U.S. Fish and Wildlife Service.
[FR Doc. 2024-15176 Filed 7-9-24; 4:15 pm]
BILLING CODE 4333-15-P