80_FR_31094 80 FR 30990 - Endangered and Threatened Wildlife and Plants; 90-Day Finding on a Petition To Remove the Bone Cave Harvestman (Texella reyesi) From the List of Endangered and Threatened Wildlife

80 FR 30990 - Endangered and Threatened Wildlife and Plants; 90-Day Finding on a Petition To Remove the Bone Cave Harvestman (Texella reyesi) From the List of Endangered and Threatened Wildlife

DEPARTMENT OF THE INTERIOR
Fish and Wildlife Service

Federal Register Volume 80, Issue 104 (June 1, 2015)

Page Range30990-30996
FR Document2015-13136

We, the U.S. Fish and Wildlife Service (Service), announce a 90-day finding on a petition to remove the Bone Cave harvestman (Texella reyesi) from the List of Endangered and Threatened Wildlife under the Endangered Species Act of 1973, as amended (Act). Based on our review, we find that the petition does not present substantial scientific or commercial information indicating that the petitioned action may be warranted. Therefore, we are not initiating a status review in response to this petition. However, we ask the public to submit to us any new information that becomes available concerning the status of, or threats to, the Bone Cave harvestman or its habitat at any time.

Federal Register, Volume 80 Issue 104 (Monday, June 1, 2015)
[Federal Register Volume 80, Number 104 (Monday, June 1, 2015)]
[Proposed Rules]
[Pages 30990-30996]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2015-13136]


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DEPARTMENT OF THE INTERIOR

Fish and Wildlife Service

50 CFR Part 17

[Docket No. FWS-R2-ES-2015-0030; FF09E42000 156 FXES11130900000]


Endangered and Threatened Wildlife and Plants; 90-Day Finding on 
a Petition To Remove the Bone Cave Harvestman (Texella reyesi) From the 
List of Endangered and Threatened Wildlife

AGENCY: Fish and Wildlife Service, Interior.

ACTION: Notice of 90-day petition finding.

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SUMMARY: We, the U.S. Fish and Wildlife Service (Service), announce a 
90-day finding on a petition to remove the Bone Cave harvestman 
(Texella reyesi) from the List of Endangered and Threatened Wildlife 
under the Endangered Species Act of 1973, as amended (Act). Based on 
our review, we find that the petition does not present substantial 
scientific or commercial information indicating that the petitioned 
action may be warranted. Therefore, we are not initiating a status 
review in response to this petition. However, we ask the public to 
submit to us any new information that becomes available concerning the 
status of, or threats to, the Bone Cave harvestman or its habitat at 
any time.

DATES: The finding announced in this document was made on June 1, 2015.

ADDRESSES: Copies of the petition are available in the docket 
associated with this notice at http://www.regulations.gov and at http://fws.gov/southwest/es/austintexas/ or upon request from the Field 
Supervisor of the Austin Ecological Services Field Office, 10711 Burnet 
Road, Suite 200, Austin, TX 78758.

FOR FURTHER INFORMATION CONTACT: Adam Zerrenner, Field Supervisor, 
Austin Ecological Services Field Office, 10711 Burnet Road, Suite 200, 
Austin, TX 78758; by telephone at 512-490-0057; or by facsimile at 512-
490-0974. If you use a telecommunications device for the deaf (TDD), 
please call the Federal Information Relay Service (FIRS) at 800-877-
8339.

SUPPLEMENTARY INFORMATION:

Background

    Section 4(b)(3)(A) of the Act requires that we make a finding on 
whether a petition to list, delist, or reclassify a species presents 
substantial scientific or commercial information indicating that the 
petitioned action may be warranted. We are to base this finding on 
information provided in the petition, supporting information submitted 
with the petition, and information otherwise available in our files. To 
the maximum extent practicable, we are to make this finding within 90 
days of our receipt of the petition and publish our notice of the 
finding promptly in the Federal Register.
    Our standard for substantial scientific or commercial information 
within the Code of Federal Regulations (CFR) with regard to a 90-day 
petition finding is ``that amount of information that would lead a 
reasonable person to believe that the measure proposed in the petition 
may be warranted'' (50 CFR 424.14(b)(1)). If we find that substantial 
scientific or commercial information was presented, we are required to 
promptly conduct a species status review, which we subsequently 
summarize in a 12-month finding.

Petition History

    On June 2, 2014, we received a petition from John Yearwood, Kathryn 
Heidemann, Charles and Cheryl Shell, the Walter Sidney Shell Management 
Trust, the American Stewards of Liberty, and Steven W. Carothers 
requesting that we remove the endangered Bone Cave harvestman from the 
Federal lists of endangered and threatened species. The petition 
clearly identified itself as a petition and included the requisite 
identification information for the petitioners, as required in 50 CFR 
424.14(a). This finding addresses the petition.

Previous Federal Actions

    The Bone Cave harvestman was originally listed as endangered on 
September 16, 1988 (53 FR 36029). In an August 18, 1993, Federal 
Register document (58 FR 43818), the Service gave the Bone Cave 
harvestman protection under the Act as a separate species. It had 
previously been listed as endangered as a part of the Bee Creek Cave 
harvestman (Texella reddelli), which was subsequently re-classified 
into two species, and this final rule set forth technical corrections 
to ensure that the species continued to receive protection under the 
Act. On March 14, 1994, we published a 90-day finding (59 FR 11755) on 
a petition to delist the Bone Cave harvestman in which we found that 
the petition did not present substantial scientific or commercial 
information indicating that the petitioned action may have been 
warranted. A draft recovery plan was available for public review and 
comment on June 7, 1993, and a final recovery plan was published on 
August 25, 1994 (Service 1994). On December 4, 2009, we completed a 5-
year review of the Bone Cave harvestman, which recommended that the 
species remain listed as endangered (Service 2009).

Species Information

    For information on the biology and life history of the Bone Cave 
harvestman, see the final rule listing this species (53 FR 36029), the 
Endangered Karst Invertebrates Recovery Plan for Travis and Williamson 
Counties (Service 1994), and the 5-year Status Review for the Bone Cave 
Harvestman (Service 2009), all posted at http://ecos.fws.gov/speciesProfile/profile/speciesProfile.action?spcode=J009. For 
information on preserve design and management for karst invertebrate 
species conservation, see the Karst Preserve Design Recommendations 
(Service 2012) and the Karst Preserve Management and Monitoring 
Recommendations (Service 2014) posted at http://www.fws.gov/southwest/es/AustinTexas/ESA_Sp_KarstInverts.html.

[[Page 30991]]

Evaluation of Information for This Finding

    Under section 3(16) of the Act, we may consider for listing any 
species, including subspecies, of fish, or wildlife, or plants, and any 
distinct population segment (DPS) of any species of vertebrate fish or 
wildlife that interbreeds when mature (16 U.S.C. 1532(16)). Such 
entities are listed under the Act if we determine that they meet the 
definition of an endangered or threatened species.
    Section 4 of the Act (16 U.S.C. 1533) and its implementing 
regulations at 50 CFR 424 set forth the procedures for adding a species 
to, or removing a species from, the lists of endangered and threatened 
species. A species may be determined to be an endangered or threatened 
species due to one or more of the five factors described in section 
4(a)(1) of the Act:
    (A) The present or threatened destruction, modification, or 
curtailment of its habitat or range;
    (B) Overutilization for commercial, recreational, scientific, or 
educational purposes;
    (C) Disease or predation;
    (D) The inadequacy of existing regulatory mechanisms; or
    (E) Other natural or manmade factors affecting its continued 
existence.
    We must consider these same five factors in delisting a species. We 
may delist a species according to 50 CFR 424.11(d) if the best 
available scientific and commercial data indicate that the species is 
neither endangered nor threatened for the following reasons:
    (1) The species is extinct;
    (2) the species is recovered; or
    (3) the original data for classification were in error. According 
to 50 CFR 424.11(d)(3), a species may be delisted when subsequent 
investigations ``show that the best scientific and commercial data 
available when the species was listed, or the interpretation of such 
data, were in error.''
    In making this 90-day finding, we evaluated whether the petition 
presented substantial information indicating that the petitioned action 
(delisting) may be warranted.
    The petition did not assert that the Bone Cave harvestman is 
extinct, nor do we have information in our files indicating that the 
species is extinct.
    The petition asserted that new information indicates that the 
original data, or our interpretation of the data, used in the listing 
of this species were in error. The petition also states that 
significant conservation has been put in place since the species was 
listed, such that the species is recovered.
    In 2009, we conducted a 5-year status review of the Bone Cave 
harvestman (Service 2009). The purpose of a 5-year status review is to 
evaluate whether or not the species' status has changed since it was 
listed (or since the most recent 5-year review). Based on a 5-year 
review, we recommend whether the species should be removed from the 
lists of endangered and threatened species, be changed in status from 
endangered to threatened, or be changed in status from threatened to 
endangered. As part of the 2009 Bone Cave harvestman review, we 
evaluated whether the species had met the recovery criteria laid out in 
the species' recovery plan (Service 1994, pp. 86-89).
    Our recovery handbook (Service 2010) points out that recovery 
criteria should address the biodiversity principles of resiliency, 
redundancy, and representation (Schaffer and Stein 2000).
    Resiliency is defined as the ability of a species to persist 
through severe hardships or stochastic events (Tear et al. 2005, p. 
841). A variety of factors contribute to a species' resiliency. These 
can include how sensitive the species is to disturbances or stressors 
in its environment, how often they reproduce and how many young they 
have, and their specific habitat needs. A species' resiliency can also 
be affected by the resiliency of individual populations and the number 
of populations and their distribution across the landscape. Protecting 
multiple populations and variation of a species across its range may 
contribute to its resiliency, especially if some populations or 
habitats are more susceptible or better adapted to certain threats than 
others (Service and NOAA 2011, p. 76994). The ability of individuals 
from populations to disperse and recolonize an area that has been 
extirpated may also influence the species' resiliency. As population 
size and habitat quality increase, the population's ability to persist 
through periodic hardships also increases. Healthy populations are more 
resilient and better able to withstand disturbances such as random 
fluctuations in birth rates (demographic stochasticity), and variation 
in rainfall and/or temperatures (environmental stochasticity).
    Redundancy is defined as ensuring a sufficient number of 
populations to provide a margin of safety to reduce the risk of losing 
a species or certain representation (variation) within a species due to 
catastrophic events or other threats. Redundancy is essential for long-
term viability (Shaffer and Stein 2000, pp. 307, 309-310; Groves et al. 
2002, p. 506). This provides a margin of safety for a species to 
withstand catastrophic events (Service and NOAA 2011, p. 76994) by 
decreasing the chance of any one event affecting the entire species. 
Redundancy is about spreading risk and can be measured through the 
duplication and distribution of resilient populations across the range 
of the species.
    Representation is defined as conserving ``some of everything'' with 
regard to genetic and ecological diversity to allow for future 
adaptation and maintenance of evolutionary potential. Representation 
and the adaptive capabilities (Service and NOAA 2011, p. 76994) of the 
Bone Cave harvestman are also important for long-term viability. 
Because a species' genetic makeup is shaped through natural selection 
by the environments it has experienced (Shaffer and Stein 2000, p. 
308), populations should be protected in the array of different 
environments in which the invertebrate species occur as a strategy to 
ensure genetic representation, adaptive capability, and conservation of 
the species. Generally, the more representation, or diversity, the 
species has, the more it is capable of adapting to changes (natural or 
human caused) in its environment.
    The recovery plan for the Bone Cave harvestman (Service 1994, pp. 
86-88) identifies criteria for reclassification (from endangered to 
threatened), but does not include delisting criteria because we were 
uncertain about prospects for recovery and delisting of the species. 
These recovery criteria are a way of measuring our progress toward 
recovery. The recovery plan identifies two criteria for reclassifying 
the species from endangered to threatened:
    (1) Three karst fauna areas (if at least three exist) within each 
karst fauna region in its range are protected in perpetuity. If fewer 
than three karst fauna areas exist within a given karst fauna region, 
then all karst fauna areas within that region should be protected.
    (2) Criterion (1) has been maintained for at least 5 consecutive 
years with assurances that these areas will remain protected in 
perpetuity.
    There are six karst fauna regions in Travis and Williamson Counties 
that are known to contain the Bone Cave harvestman (Service 1994, p. 
33): North Williamson, Georgetown, McNeil/Round Rock, Cedar Park, 
Jollyville Plateau, and Central Austin. These regions are used as a way 
to facilitate conservation of representation and redundancy (as defined 
above) throughout the species' range.
    For the purposes of the recovery plan, a karst fauna area ``is an 
area known to

[[Page 30992]]

support one or more locations of a listed species and is distinct in 
that it acts as a system that is separated from other karst fauna areas 
by geologic and hydrologic features and/or processes that create 
barriers to the movement of water, contaminants, and troglobitic 
fauna'' that live their entire lives underground (Service 1994, p. 76). 
Karst fauna areas should be far enough apart so that if a catastrophic 
event (for example, contamination of the water supply, flooding, 
disease) were to destroy one of the areas, that event would not likely 
destroy any other area occupied by that species (Service 1994, p. 76).
    To be considered ``protected,'' a karst fauna area must be 
sufficiently large to maintain the integrity of the karst ecosystem on 
which the species depends (Service 1994, p. 87). In addition, these 
areas must also provide protection from threats such as red imported 
fire ants, habitat destruction, and contaminants.
    The overall recovery strategy for the Bone Cave harvestman includes 
the perpetual protection and management of an adequate quantity and 
quality of habitat (three karst fauna areas in each karst fauna 
regions) that spans the species' geographic range and provides a high 
probability of the species' recovery and survival over the long term. 
Adequate quality (as discussed below) and quantity of habitat refers to 
both size and number of preserved karst fauna areas that are sufficient 
for supporting the karst invertebrates and the ecosystems upon which 
they depend (Service 2011, p. 16). The recovery plan criteria call for 
three karst fauna areas (preserves) in each karst fauna region. The 
size of karst fauna area preserves should be large enough to ensure 
resiliency as discussed above and to protect the environmental 
integrity of the karst ecosystems upon which the species depends. The 
number of karst fauna area preserves called for in the recovery 
criteria provides redundancy for the species. A minimal level of 
redundancy is essential to provide a margin of safety for the species 
to reduce the risk of losing the species or representation (variation) 
within the species from catastrophic events or other threats (Shaffer 
and Stein 2000 pp. 307, 309-310, Groves et al. 2002, p. 506). The Bone 
Cave harvestman has significant geographic variability across its 
range, and loss of a significant number of locations in part of its 
range could result in loss of genetic and ecological diversity. The 
conservation of multiple karst fauna area preserves across the Bone 
Cave harvestman's range should provide representation of the breadth of 
its genetic and ecological diversity to conserve its adaptive 
capabilities (Schaffer and Stein 2000, p. 308).
    Adequate quality of habitat refers to (1) the condition and 
configuration of preserved lands with respect to the known localities 
for the species and (2) the ability of the species' needs to be met to 
sustain viable populations. Due to the uncertainty in determining 
population viability of the Bone Cave harvestman, the design of 
preserves for its protection should be based on estimates and 
assumptions that favor a high probability for recovery of this species 
and the ecosystems upon which it depends as discussed below.
    The Endangered Karst Invertebrates Recovery Plan for Travis and 
Williamson Counties (Service 1994) calls for protecting karst fauna 
areas sufficiently large to maintain the integrity of the karst 
ecosystem on which the species depends. This focus on the ecosystem is 
consistent with the purpose of the Act, which includes ``to provide a 
means whereby the ecosystem upon which endangered species and 
threatened species depend may be conserved.'' Therefore, we recommend 
designing karst fauna area preserves to protect occupied karst 
feature(s) and associated mesocaverns (humanly impassable voids). For 
further guidance on how to provide for adequate quantity and quality of 
habitat at specific invertebrate locations, we have developed and refer 
to our Karst Preserve Design Recommendations (Service 2012).
    According to our preserve design guidelines (Service 2012, p. 3-5), 
karst fauna area preserves should include the following: (1) Surface 
and subsurface drainage basins of at least one occupied cave or karst 
feature; (2) a minimum of 16 to 40 hectares (ha) (40 to 100 acres (ac)) 
of contiguous, unfragmented, undisturbed land to maintain native plant 
and animal communities around the feature and protect the subsurface 
karst community; (3) 105-meter (m) (345-feet (ft)) radius undisturbed 
area from each cave footprint for cave cricket foraging (cave crickets 
are an important source of nutrient input to the karst ecosystem) and 
to minimize deleterious edge effects; and (4) preserves should be free 
of pipelines, storage tanks, or other facilities (for example, water 
retention ponds) that could cause contamination.
    In addition, due to the uncertainty in determining population 
viability and habitat requirements of the Bone Cave harvestman, the 
design of preserves for its protection should be based on estimates and 
assumptions that favor a high probability for recovery of the species 
and the ecosystems upon which it depends. This method follows a 
precautionary approach, which provides guidance to avert irreversible 
risk when facing uncertainty (Service 2012, p. A-1). The best available 
scientific information indicates that this species cannot be 
reintroduced into existing habitat. Life-history characteristics of 
this species indicate that it requires stable temperature and humidity 
(Barr 1968, p. 47, Mitchell 1971, p. 250) and suggest that this species 
cannot be reintroduced because it cannot withstand surface climatic 
conditions.
    According to anecdotal reports provided to our field office, 
limited efforts to maintain karst invertebrates in a lab setting have 
been unsuccessful. Additionally, captive propagation techniques have 
not been developed for karst invertebrates and may be challenging to 
develop because of their specific adaptations to subterranean 
environment. Further, the sample size that would likely be needed to 
reintroduce a population into a new location cannot be obtained from 
existing populations due to the cryptic nature of this species and the 
fact that often only a few individuals are observed per cave survey. 
Therefore, an attempt to re-establish a population after it has been 
extirpated is not feasible at this time. In addition, if a preserve is 
later found to be insufficient to support the species due to 
surrounding developments being either too close or too dense, the 
potential for adequately conserving the site is lost.
    Because the Bone Cave harvestman has a relatively long life span 
and low requirements for food, a decline in population size or even the 
complete extirpation of the population due to the influence of 
development or other threats may take years or even decades. 
Observations of this species over several years on a preserve that is 
too small for perpetual species preservation may not allow detection of 
declines that are actually occurring. If these observations are used as 
evidence that a preserve size was adequate, then the potential for 
long-term preservation of the species may be lost due to irreversible 
development surrounding the preserve. Therefore, preserve sizes should 
be established with caution and be large enough to account for the 
uncertainty in area requirements for a population.
    According to the petition there are now more known occupied 
locations identified; there were 6 confirmed caves at listing, 60 
confirmed caves at the time the recovery plan was drafted, and 168 
confirmed caves in 2009 when the 5-year status review was completed (53 
FR 36029, Service 1994, 2009). The

[[Page 30993]]

petition also states that more locations are likely to be found. We 
acknowledge there are more known locations since the time those 
documents were completed and the increase is likely an increase in our 
knowledge, not a true increase in the number of populations or range; 
however, species are listed under the Act based on threats and not just 
the number of sites or size of the range.
    In addition, the petition states that 94 karst preserve areas are 
currently providing significant conservation. However, many of the 
existing protected areas referenced in the petition are too small to 
meet our preserve design recommendations. As part of the 2009 5-year 
status review of the Bone Cave harvestman, we reviewed the status of 
all of the known locations of the harvestman (including 83 of the 94 
mentioned in the petition) to assess whether the criteria from the 
recovery plan to reclassify the species from endangered to threatened 
had been met for the Bone Cave harvestman. We considered the habitat 
size and condition to evaluate whether the locations could meet the 
preserve design recommendations (a reflection of the potential to 
support a resilient population) and then also looked at whether legally 
binding mechanisms were in place to provide protection of these sites 
over the long term (in perpetuity).
    Of the locations known at the time of the 5-year review, 21 areas 
appeared to have the ability to meet the preserve design criteria. Our 
status review refers to 21 areas, while the petition indicates that the 
status review considered 28 sites. This discrepancy is because the 
petition considers each individual cave location, while our status 
review considered closely located caves to be part of the same karst 
fauna area. Of these 21 areas, 1 is no longer confirmed to have the 
species (Barker Ranch Cave No. 1), and 5 are now protected karst fauna 
areas (Priscilla's Well, Twin Springs, Cobbs Cavern, Karankawa, and 
Tooth Cave).
    In addition, at most of the remaining locations (of the 21 areas) 
we are lacking information to confirm that they meet the preserve 
design criteria (such as surface and subsurface drainage basins, tract 
acreage, exact locations of the cave, and management activities to 
protect against threats, such as red imported fire ants). Also, many of 
these areas do not have a legally binding mechanism that ensures 
perpetual protection and management. Hence, we are unsure whether those 
areas have adequate undeveloped acreage, management, or protection 
mechanisms to ensure the long-term protection and survival of the Bone 
Cave harvestman.
    Of the five protected karst fauna areas that meet preserve design 
criteria, four occur in the North Williamson County Karst Fauna Region 
and one occurs in the Jollyville Plateau Karst Fauna Region. However, 
this species occurs in six karst fauna regions, and four of these have 
no protected karst fauna areas that are confirmed to meet preserve 
design recommendations. Therefore, the best available information 
indicates that the criteria for reclassification from endangered to 
threatened for this species have not been met, nor has adequate 
representation and redundancy (three karst fauna areas in each karst 
fauna region) been protected throughout the species' range, leaving the 
species vulnerable to existing threats including habitat destruction.
    The petition asserts that four additional locations are known since 
the time of the 5-year review. However, the petition does not provide 
adequate information that would support whether these four additional 
locations are in a condition to meet preserve design recommendations. 
Based on information in our files, we are aware of one additional cave 
since the 5-year review that may meet preserve design recommendations 
in the North Williamson Karst Fauna Region; however, it is privately 
owned, and we are unsure about the property acreage and if the site 
receives any type of protection or management. Regardless, the amount 
of protected karst fauna area still falls short of the criteria for 
reclassification from endangered to threatened.
    Further, we reviewed 83 of the 94 caves identified in the petition 
as receiving some level of protection in the 5-year review. Two of the 
caves that we did not review (Cobbs Cavern and Whitney West Cave) are 
now in confirmed karst fauna areas mentioned above (Cobbs Cavern and 
Twin Springs), one (Pond Party Pit) is in the Beard Ranch Cave area 
discussed in the 5-year review, and we have no locality information or 
taxonomic verifications for the remaining caves and this information 
was not provided in the petition.
    The petition also asserts that threats to the species are not as 
severe as originally thought. We evaluate that information, below, in 
respect to the five listing factors.
    Factor A: The present or threatened destruction, modification, or 
curtailment of the species' habitat or range. In the 1988 listing rule 
(53 FR 36029), we stated that the primary threat to the Bone Cave 
harvestman was the potential loss of habitat due to development 
activities, which could result in filling in or collapsing of caves; 
alteration of drainage patterns; increase in flow of sediment, 
pesticides, fertilizers, and urban run-off into caves; and increase in 
human visitation and vandalism.
    We also considered additional information on threats to the species 
when we developed the recovery plan for the species (Service 1994, pp. 
59-65) and when we conducted the 5-year status review of the species 
(Service 2009, p. 2), in which we concluded that no change in the 
species' status (that is, reclassification to threatened or delisting) 
was warranted. We also reviewed available threat information in our 
files and in a 1993 petition when we made our negative 90-day finding 
on that petition to de-list (59 FR 11755).
    The current petition asserts that ``Development activities on the 
surface may not result in the significant loss or degradation of 
habitat for T. reyesi as originally thought'' and suggests that 
evidence of this is the species persistence in caves surrounded by 
developed areas. Examples given in the petition are Inner Space 
Caverns, Sun City caves, Weldon Cave, Three-Mile Cave, and Four-Mile 
Cave. However, the observation of the species in these locations does 
not mean their populations at these locations are thriving or can 
withstand the long-term impacts from development activities that are 
expected to occur to karst invertebrate populations in developed areas 
as discussed in the listing rule, recovery plan, and 5-year status 
review for the Bone Cave harvestman.
    Bone Cave harvestman populations may be declining or threatened 
even though they are still observed at a specific site. Information 
adequate to detect population trends for this species is not readily 
available and was not provided in the petition. This species has life-
history strategies that include characteristics such as low metabolic 
and reproductive rates, long life spans, and inherently low sample 
sizes, which make it difficult to detect population response to 
possible impacts (Poulson and White 1969, p. 977, Howarth 1983, p. 
374). We indicated in the 1994 90-day petition finding (59 FR 11755) 
that more time was needed to detect if the species was declining; 
however, while more time has passed, we are still lacking adequate data 
to conduct a trend analysis at most locations, given that it can take 
decades to detect population trends due to small sample sizes, the 
difficulty surveying for the species, and their long life spans.

[[Page 30994]]

    In addition, some of the threats from development are due to the 
increased probability of chance events occurring in the future, such as 
a contaminant event like a pipeline leak, which exists because more 
contamination sources are in the vicinity of species' locations due to 
development.
    The petition states that several Sun City caves are examples of 
areas where the species can persist in developed areas. However, the 
petition failed to provide data adequate to assess trends in the karst 
invertebrate populations since the development occurred. In addition, 
we worked with the Sun City developers when they designed the project 
to develop strategies that we believed at the time would avoid or 
minimize the possibility of ``take'' to listed karst species. While we 
now believe that most of the Sun City cave preserves are too small to 
meet our preserve design recommendations for recovery and long-term 
survival (Service 2012), we expect that the strategies and measures put 
in place likely have reduced the rate of impacts to the species.
    The commercial cave known as Inner Space Caverns is another example 
the petition provided where the Bone Cave harvestman continues to 
persist in a developed area. Although the Bone Cave harvestman may be 
present at Inner Space Caverns, this does not ensure their populations 
are robust and secure; they may still be declining, and are at risk due 
to competition with surface-dwelling invertebrates and other threats 
associated with development such as the potential for contamination. 
This cave has an overgrowth of blue-green algae growing near cave 
lights where the petition states that this species has been observed. 
This type of algae is known as ``lampenflora'' and favors surface-
dwelling invertebrate species that can out-compete karst invertebrate 
species (Mulec and Kosi 2009, p. 109, Culver 1986, p. 438), such as the 
Bone Cave harvestman. The petition failed to provide any data adequate 
to assess trends in the karst invertebrate population in relation to 
the time (duration and frequency) that they have been exposed to the 
artificial lighting. Additionally, part of the cave footprint occurs 
under a major interstate highway and train tracks, which both present a 
threat of a contaminant spill that could impact the species in the 
future.
    Weldon Cave was another example in the petition of a cave occupied 
by the Bone Cave harvestman within a developed area. Based on the best 
available information in our files this cave is surrounded by 
undeveloped open space. Other than a small portion of the subsurface 
drainage basin potentially being impacted by a school campus, this cave 
appears to meet our preserve design recommendations but is not within a 
developed area, as asserted in the petition. Three-Mile Cave and Four-
Mile Cave were also provided in the petition as examples of developed 
caves wherein the Bone Cave harvestman is known to occur. According to 
the petition, surveys conducted by SWCA in 2008 and 2009 documented the 
Bone Cave harvestman at these locations. However, detailed survey data 
were not provided by the petitioners and were not in the SWCA 2009 
``Annual Report of Activities Involving Endangered Karst Invertebrates 
under Threatened and Endangered Species Permit TE800611-2.''
    The petition also states that, since the Bone Cave harvestman uses 
mesocaverns, it is protected from surface development activities 
because mesocaverns are ``geologically protected.'' We are unclear why 
the petition contends that mesocaverns are protected because 
mesocaverns are subject to rapid permeation of surface water (Cowan et 
al. 2007, p. 160), and karst landscapes (including mesocaverns) are 
particularly susceptible to groundwater contamination because water 
penetrates rapidly through bedrock conduits providing little or no 
filtration (White 1988, p. 149).
    One of the major threats to the Bone Cave harvestman is habitat 
loss due to increasing urbanization. The Bone Cave harvestman is a 
troglobite, meaning it lives its entire life underground. Karst 
ecosystems are heavily reliant on surface plant and animal communities 
for nutrient input.
    Caves in central Texas that are occupied by federally listed karst 
invertebrates, such as the Bone Cave harvestman, receive energy (or 
nutrients) primarily from (1) detritus (decomposing organic matter) 
that falls or is washed into the caves and (2) energy brought into the 
caves by cave crickets (Ceuthophilus spp.) (Barr 1968, p. 48; Reddell 
1993, p. 2; Lavoie et al. 2007, p. 114; Taylor 2003, p. 3, 2004, p. 2, 
2005, p. 97), which are found in most Texas caves (Reddell 1966, p. 
33). Cave crickets forage widely in the surface habitat surrounding the 
cave. Karst invertebrates feed on the cave cricket eggs (Mitchell 1971, 
p. 251), feces (Barr 1968, pp. 51-53, Poulson et al. 1995, p. 226), and 
directly on the crickets themselves (Elliott 1994, p. 15).
    Development within urbanized areas can destroy or alter the surface 
plant and animal communities on which karst invertebrates depend. As 
development increases within the cave crickets' foraging area, there 
may be dramatic shifts in the available food supply within the cave 
(Taylor et al. 2007, p. 7). The leaf litter and other decomposing 
material that make up most of the detritus from the surface plant and 
animal community may also be reduced or altered, resulting in a 
reduction of nutrient and energy flow into the cave. A study by Taylor 
et al. (2007) compared caves in urbanized areas that were impacted by 
development to those in natural areas and found that, even though a 
small area within a largely urbanized ecosystem may support a cave 
community where karst invertebrates are occasionally seen, these 
populations are significantly lower than those found in caves in more 
natural, less developed ecosystems, most likely as a result of reduced 
nutrient input. Another study at Lakeline Cave in Travis County, Texas, 
was conducted in association with the issuance of a habitat 
conservation plan and accompanying section 10(a)(1)(B) permit issued 
for Lakeline Mall. That study is based on data collected from 1992 
through 2011, and it documented a significant decline during that 20-
year timeframe in another endangered karst invertebrate, Rhadine 
persephone, and cave crickets as development increased (ZARA 2012, pp. 
8, 10, 12). Further, at Lakeline Mall Cave, no more than three Bone 
Cave harvestmen have been observed during any single survey (ZARA 2012, 
p. 11). Also, no Bone Cave harvestmen were seen during 6 years (1993, 
1999, 2001, 2006, 2009, and 2010) and 12 surveys in Lakeline Mall Cave 
(ZARA 2012, p. 11).
    Available information in our files supports our projection in the 
1988 listing rule that development and human population would continue 
to increase within the range of the species. The population of the City 
of Austin grew from 251,808 people in 1970 to 735,088 people in 2007 
(City of Austin 2007). This represents a 192-percent increase over the 
37-year period. Population projections from the Texas State Data Center 
(2012, pp. 496-497), estimate that Travis County will increase 94 
percent in population from 1,024,266 in 2010, to 1,990,820 in 2050. The 
Texas State Data Center also estimates an increase in human population 
in Williamson County from 422,679 in 2010, to 2,015,294 in 2050 
representing a 377-percent increase over a 40-year timeframe. All human 
population projections from the Texas State Data Center presented here 
are under a high-growth scenario, which

[[Page 30995]]

assumes that migration rates from 2000 to 2010 will continue through 
2050 (Texas State Data Center and the Office of the State Demographer 
2012, p. 9). Urbanization and human population growth and development 
were identified as a threat in the original 1988 listing rule and 
continue to represent a threat to the species.
    Factor B: Overutilization for commercial, recreational, scientific, 
or educational purposes. In the 1988 listing rule for the Bone Cave 
harvestman, we did not identify any threats under this factor. 
Likewise, the petition and our review of the information in our files 
did not identify any threats under this factor.
    Factor C: Disease or predation. In the 1988 listing rule, we stated 
that increased human population increases the threat of predation by 
and competition with exotic (non-native) and native surface-dwelling 
species, such as sow bugs, cockroaches, and red imported fire ants. The 
petition states that ``Recent studies suggest that fire ants may not 
present as significant or as lasting of a threat to the species as 
originally believed.'' The information cited regarding red imported 
fire ants is identified in the petition as an article by Porter and 
Savignano (1990), which we previously considered in our finding on the 
1993 petition, and another study by Morrison (2002). The petition 
states that ``a subsequent study by Morrison in 2002 revisited the 
Porter and Savignano (1990) study area 12 years later and replicated 
their study.
    Morrison (2002, pp. 2341, 2343-2344) found that arthropod 
communities had rebounded to pre-RIFA [red imported fire ant]-invasion 
levels and that all measures of native ant and other arthropod species' 
diversity had returned to pre-invasion levels. Red imported fire ants 
were still the most abundant ant species, but not nearly as abundant as 
during the initial red imported fire ants infestation. He concluded 
that the impacts to arthropod communities by red imported fire ants 
might be greatest during and shortly after the initial invasion, but 
long-term impacts are likely not as significant as once believed. 
However, we note that Morrison (2002, p. 2342) also states that ``it is 
quite likely that red imported fire ants did contribute directly or 
indirectly to the disappearance or reduction in numbers of species'' 
and that their study ``should not be interpreted as an indication that 
detrimental effects of invasive ants will simply disappear with time.'' 
In addition, this is not ``new information'' as we have already 
reviewed these articles and considered the information they provided in 
the Bexar County Karst Invertebrates Recovery Plan (Service 2011, p. 
12) and in our Karst Preserve Management and Monitoring Recommendations 
(Service 2014, p. 3), which is applicable here as all central Texas 
endangered karst invertebrates have similar life-history 
characteristics, and one of the Bexar County invertebrates is in the 
same genus (Texella) as the Bone Cave harvestman. In addition, red 
imported fire ants have been found within and near many caves in 
central Texas and have been observed feeding on dead troglobites, cave 
crickets, and other species within caves (Elliott 1992, p. 13, 1994, p. 
15, 2000, pp. 668, 768; Reddell 1993, p. 10; Taylor et al. 2003, p. 3).
    Factor D: The inadequacy of existing regulatory mechanisms. The 
1988 listing rule states that ``there are currently no laws that 
protect any of these species or that indirectly address protection of 
their habitat.''
    While the petition did discuss some new ordinances that appear to 
have been put in place since the time of listing, we do not have enough 
information to indicate whether or not these State and local ordinances 
provide enough protection from all threats to the Bone Cave harvestman.
    The petition states that ``the regulatory landscape includes a 
number of measures contributing to the conservation of the species 
outside of the protections afforded by the Endangered Species Act of 
1973, as amended.'' For example, they say that protections offered 
though the City of Austin are adequate to protect the species in 
Austin, Texas. In the course of our work, we have reviewed these 
regulations and understand that most caves that are defined by the City 
of Austin's Environmental Criteria Manual as a cave are provided a 46- 
to 91-m (150- to 300-ft) set-back area (City of Austin 2014, p. 13-3). 
However, a 46-m (150-ft) or 91-m (300-ft) set-back is not adequate to 
meet our preserve design criteria, does not protect the cave cricket 
foraging area, and potentially does not include the surface and 
subsurface drainage basins. Further, it is not applicable across the 
range of the Bone Cave harvestman because the species occurs in Travis 
and Williamson Counties and the City of Austin does not cover all of 
those counties.
    The petition states that the City of Georgetown Water Quality 
Management Plan for the Georgetown salamander will offer protection to 
the Bone Cave harvestman. They state that this plan encourages the use 
of best management practices to protect water quality at Georgetown 
salamander locations. However, there are few Bone Cave harvestman 
locations that occur near Georgetown salamander locations, so any 
protection offered to the harvestman would be limited. Further, it is 
not clear from the petition whether this mechanism is voluntary or if 
it is regulatory or if it is currently in effect. In addition, the 
petition did not provide enough detail for us to evaluate all benefits 
this plan would provide to the Bone Cave harvestman, and it appears 
that participation in this plan is at least in part voluntary.
    The petition states that the Texas Commission on Environmental 
Quality (TCEQ) Edwards Rules provide protection to recharge features on 
the Edwards Plateau and that this provides protection from pollution to 
the Bone Cave harvestman. In a discussion of Factor D in the Bexar 
County Karst Invertebrates Recovery Plan (Service 2011, p. 13), we 
state that ``the TCEQ water quality regulations do not provide much 
protection to the species' habitat (see 65 FR 81419-81433 for more 
information). For example, while some TCEQ practices provide protection 
from water quality impacts, others, such as sealing cave entrances for 
water quality reasons, can harm karst invertebrates.'' Sealing cave 
entrances can be harmful by blocking off water (leading to drying) and 
nutrient input to the karst invertebrate habitat. In addition, not all 
of the caves and mesocaverns that the Bone Cave harvestman occurs in 
are considered recharge features and, therefore, would not receive some 
of the water quality protection measures. Also, not all locations of 
the Bone Cave harvestman are under the jurisdiction of the Edwards 
Rules.
    Factor E: Other natural or manmade factors affecting the continued 
existence of the species. In the 1988 listing rule, we stated that this 
species is extremely vulnerable to losses because of its severely 
limited range and because of its naturally limited ability to colonize 
new habitats. We also stated that the very small size of the species 
habitat units and the fragile nature of cave ecosystems make them 
vulnerable to even isolated acts of vandalism. The petition states, 
``Inner Space Cavern demonstrates that the species can persist in caves 
with frequent human visitation and may be more tolerant of related 
habitat modification than originally believed.'' They also provide 
Three-Mile Cave and Four-Mile Cave as examples of caves that have 
experienced human use yet the species persists. The petition contends 
that, since the Bone Cave harvestman exists in Inner Space Caverns, 
human visitation is not a threat. The petition also states that Three-
mile and Four-mile Cave had

[[Page 30996]]

graffiti from the 1890s, 1920s, and 1950s. Yet, no detailed information 
was provided to demonstrate if these caves experienced continued human 
use. The petition also indicates that Four-Mile Cave was inaccessible 
to humans prior to 2009 due to boulders blocking the entrance. In 
addition, the petition provided no trend analysis for these caves. As 
stated earlier, the observation of the species in these locations does 
not mean the populations at these locations have not been impacted (in 
a way that is short of extirpation) or can withstand the long-term 
impacts that are expected to occur to karst invertebrate populations in 
developed areas or from human visitation.
    In the species 5-year status review (Service 2009, p. 18) we said, 
``Although climate change was not identified as a threat to T. reyesi 
in the original listing document or in the recovery plan, the species' 
dependence on stable temperatures and humidity levels opens the 
possibility of climatic change impacting this species. Therefore, while 
it appears reasonable to assume that T. reyesi may be affected, we lack 
sufficient certainty to know how climate change will affect this 
species.''
    The petitioners state that ``the use of small voids or 
`mesocaverns' within the geologic formations known to support occupied 
caves mitigates the potential threat of climate change.'' We 
acknowledge that mesocaverns may provide some protection from 
fluctuations in temperature and humidity that may be induced by climate 
change. However, the presence of mesocaverns alone will likely not be 
sufficient to ameliorate all of the effects that climate change may 
pose to this species. Karst invertebrates depend on stable temperatures 
and high humidity (Barr 1968, p. 47, Mitchell 1971, p. 250). The 
temperatures in caves are typically the average annual temperature of 
the surface habitat and vary much less than the surface environment 
(Howarth 1983, p. 372, Dunlap 1995, p. 76). If average surface 
temperatures increase, this could result in increased in-cave 
temperatures, which could affect the Bone Cave harvestman.
    Increased and/or more severe storms as well as prolonged periods of 
high temperatures and drought between rainfall events associated with 
predicted climate change effects may also impact the cave environment. 
Changes in rainfall regimes may affect the harvestman in several ways, 
including directly either through flooding or indirectly by modifying 
their habitat or nutrient availability. Changes in rainfall regimes 
could (1) alter the moisture levels within the caves leaving them drier 
between floods, which could lead to desiccation of the Bone Cave 
harvestman and (2) affect the amount and timing of nutrients washed 
into a cave, potentially resulting in longer periods between nutrient 
input. These changes to drier and less suitable conditions in the caves 
will likely cause the Bone Cave harvestman to retreat farther into 
mesocaverns and away from nutrients that are thought to be located in 
larger cave passages (Howarth 1987, pp. 5-7), causing individuals to 
spend more energy trying to acquire nutrients in an already stressed 
environment. In addition, caves in arid regions have been shown to have 
smaller invertebrate populations and diversity due to less moisture and 
nutrient availability (George Veni, National Cave and Karst Research 
Institute, pers. comm. 2010). Since the Bone Cave harvestman is also 
sensitive to these habitat parameters, it is reasonable to predict that 
climate change could affect its populations in a similar manner despite 
the presence of mesocaverns.
    Further, stochastic (random) events from either environmental 
factors (for example, severe weather) or demographic factors (which 
come from the chance events of birth and death of individuals) 
exacerbate threats to the species because of its small population size 
(Melbourne and Hastings 2008, p. 100). The risk of extinction for any 
species is known to be highly inversely correlated with population size 
(Pimm et al. 1988, pp. 774-775, O'Grady et al. 2004, pp. 516, 518). In 
other words, the smaller the population the greater the overall risk of 
extinction. Therefore, threats to the Bone Cave harvestman are 
exacerbated by its small population size, which makes it more 
vulnerable to existing threats.

Finding

    We have reviewed the petition and also evaluated readily available, 
related information in our files. The petitioners have based their 
assessment that the species can thrive in developed areas on 
information that we have already reviewed (except in 4 caves discovered 
since the 5-year status review and 7 for which we lack locality 
information or taxonomic verifications) while working on previous 
documents (Service 2009, 2012) or on observations that lack a large 
enough sample size to produce population trend information for the Bone 
Cave harvestman. The petition provided no trend analysis to indicate 
that this species can withstand the threats associated with development 
or climate change over the long term. Based on our review and 
evaluation, we find that the petition does not present substantial 
scientific or commercial information indicating that delisting of the 
Bone Cave harvestman may be warranted due to recovery, extinction, or 
error in the original scientific data at the time the species was 
classified or in our interpretation of the data. However, much progress 
has been made toward recovery in the North Williamson and Jollyville 
Plateau Karst Fauna Regions. We encourage interested parties to 
continue to gather data and implement conservation actions across the 
range of the Bone Cave harvestman that will further assist with the 
conservation of this species. If you wish to provide information 
regarding the Bone Cave harvestman, you may submit your information or 
materials to the Field Supervisor, Austin Ecological Services Field 
Office (see ADDRESSES) at any time.

References Cited

    A complete list of references cited is available on the Internet at 
http://www.regulations.gov and upon request from the Austin Ecological 
Services Field Office (see FOR FURTHER INFORMATION CONTACT).

Authors

    The primary authors of this notice are staff members of the Austin 
Ecological Services Office.

Authority

    The authority for this action is the Endangered Species Act of 
1973, as amended (16 U.S.C. 1531 et seq.).

     Dated: May 21, 2015.
Gary Frazer,
Acting Director, U.S. Fish and Wildlife Service.
[FR Doc. 2015-13136 Filed 5-29-15; 8:45 am]
BILLING CODE 4310-55-P



                                                  30990                     Federal Register / Vol. 80, No. 104 / Monday, June 1, 2015 / Proposed Rules

                                                  first-round 2015 NUSA allowance                         review in response to this petition.                  requesting that we remove the
                                                  allocations that will be made to new                    However, we ask the public to submit to               endangered Bone Cave harvestman from
                                                  units in that state, assuming there are no              us any new information that becomes                   the Federal lists of endangered and
                                                  corrections to the data, and (3) the                    available concerning the status of, or                threatened species. The petition clearly
                                                  quantity of allowances that would                       threats to, the Bone Cave harvestman or               identified itself as a petition and
                                                  remain in the 2015 NUSA for use in                      its habitat at any time.                              included the requisite identification
                                                  second-round allocations to new units                   DATES: The finding announced in this                  information for the petitioners, as
                                                  (or ultimately for allocation to existing               document was made on June 1, 2015.                    required in 50 CFR 424.14(a). This
                                                  units), again assuming there are no                     ADDRESSES: Copies of the petition are                 finding addresses the petition.
                                                  corrections to the data.                                available in the docket associated with
                                                     Objections should be strictly limited                this notice at http://                                Previous Federal Actions
                                                  to the data and calculations upon which                 www.regulations.gov and at http://
                                                  the NUSA allowance allocations are                                                                               The Bone Cave harvestman was
                                                                                                          fws.gov/southwest/es/austintexas/ or                  originally listed as endangered on
                                                  based and should be emailed to the                      upon request from the Field Supervisor
                                                  address identified in ADDRESSES.                                                                              September 16, 1988 (53 FR 36029). In an
                                                                                                          of the Austin Ecological Services Field
                                                  Objections must include: (1) Precise                                                                          August 18, 1993, Federal Register
                                                                                                          Office, 10711 Burnet Road, Suite 200,
                                                  identification of the specific data and/or                                                                    document (58 FR 43818), the Service
                                                                                                          Austin, TX 78758.
                                                  calculations the commenter believes are                                                                       gave the Bone Cave harvestman
                                                                                                          FOR FURTHER INFORMATION CONTACT:
                                                  inaccurate, (2) new proposed data and/                                                                        protection under the Act as a separate
                                                                                                          Adam Zerrenner, Field Supervisor,
                                                  or calculations upon which the                                                                                species. It had previously been listed as
                                                                                                          Austin Ecological Services Field Office,
                                                  commenter believes EPA should rely                                                                            endangered as a part of the Bee Creek
                                                                                                          10711 Burnet Road, Suite 200, Austin,
                                                  instead to determine allowance                                                                                Cave harvestman (Texella reddelli),
                                                                                                          TX 78758; by telephone at 512–490–
                                                  allocations, and (3) the reasons why                                                                          which was subsequently re-classified
                                                                                                          0057; or by facsimile at 512–490–0974.
                                                  EPA should rely on the commenter’s                                                                            into two species, and this final rule set
                                                                                                          If you use a telecommunications device
                                                  proposed data and/or calculations and                                                                         forth technical corrections to ensure that
                                                                                                          for the deaf (TDD), please call the
                                                  not the data referenced in this notice.                                                                       the species continued to receive
                                                                                                          Federal Information Relay Service
                                                    Authority: 40 CFR 97.411(b), 97.511(b),               (FIRS) at 800–877–8339.                               protection under the Act. On March 14,
                                                  97.611(b), and 97.711(b).                                                                                     1994, we published a 90-day finding (59
                                                                                                          SUPPLEMENTARY INFORMATION:
                                                    Dated: May 22, 2015.                                                                                        FR 11755) on a petition to delist the
                                                                                                          Background                                            Bone Cave harvestman in which we
                                                  Reid P. Harvey,
                                                  Director, Clean Air Markets Division.                      Section 4(b)(3)(A) of the Act requires             found that the petition did not present
                                                  [FR Doc. 2015–13031 Filed 5–29–15; 8:45 am]             that we make a finding on whether a                   substantial scientific or commercial
                                                  BILLING CODE 6560–50–P
                                                                                                          petition to list, delist, or reclassify a             information indicating that the
                                                                                                          species presents substantial scientific or            petitioned action may have been
                                                                                                          commercial information indicating that                warranted. A draft recovery plan was
                                                                                                          the petitioned action may be warranted.               available for public review and
                                                  DEPARTMENT OF THE INTERIOR
                                                                                                          We are to base this finding on                        comment on June 7, 1993, and a final
                                                  Fish and Wildlife Service                               information provided in the petition,                 recovery plan was published on August
                                                                                                          supporting information submitted with                 25, 1994 (Service 1994). On December 4,
                                                  50 CFR Part 17                                          the petition, and information otherwise               2009, we completed a 5-year review of
                                                                                                          available in our files. To the maximum                the Bone Cave harvestman, which
                                                  [Docket No. FWS–R2–ES–2015–0030;                        extent practicable, we are to make this
                                                  FF09E42000 156 FXES11130900000]                                                                               recommended that the species remain
                                                                                                          finding within 90 days of our receipt of              listed as endangered (Service 2009).
                                                                                                          the petition and publish our notice of
                                                  Endangered and Threatened Wildlife
                                                                                                          the finding promptly in the Federal                   Species Information
                                                  and Plants; 90-Day Finding on a
                                                                                                          Register.
                                                  Petition To Remove the Bone Cave                                                                                 For information on the biology and
                                                                                                             Our standard for substantial scientific
                                                  Harvestman (Texella reyesi) From the                                                                          life history of the Bone Cave
                                                                                                          or commercial information within the
                                                  List of Endangered and Threatened                                                                             harvestman, see the final rule listing
                                                                                                          Code of Federal Regulations (CFR) with
                                                  Wildlife                                                                                                      this species (53 FR 36029), the
                                                                                                          regard to a 90-day petition finding is
                                                  AGENCY:   Fish and Wildlife Service,                    ‘‘that amount of information that would               Endangered Karst Invertebrates
                                                  Interior.                                               lead a reasonable person to believe that              Recovery Plan for Travis and
                                                  ACTION: Notice of 90-day petition                       the measure proposed in the petition                  Williamson Counties (Service 1994),
                                                  finding.                                                may be warranted’’ (50 CFR                            and the 5-year Status Review for the
                                                                                                          424.14(b)(1)). If we find that substantial            Bone Cave Harvestman (Service 2009),
                                                  SUMMARY:   We, the U.S. Fish and                        scientific or commercial information                  all posted at http://ecos.fws.gov/
                                                  Wildlife Service (Service), announce a                  was presented, we are required to                     speciesProfile/profile/
                                                  90-day finding on a petition to remove                  promptly conduct a species status                     speciesProfile.action?spcode=J009. For
                                                  the Bone Cave harvestman (Texella                       review, which we subsequently                         information on preserve design and
                                                  reyesi) from the List of Endangered and                 summarize in a 12-month finding.
rljohnson on DSK3VPTVN1PROD with PROPOSALS




                                                                                                                                                                management for karst invertebrate
                                                  Threatened Wildlife under the
                                                                                                          Petition History                                      species conservation, see the Karst
                                                  Endangered Species Act of 1973, as
                                                                                                                                                                Preserve Design Recommendations
                                                  amended (Act). Based on our review, we                    On June 2, 2014, we received a
                                                  find that the petition does not present                 petition from John Yearwood, Kathryn                  (Service 2012) and the Karst Preserve
                                                  substantial scientific or commercial                    Heidemann, Charles and Cheryl Shell,                  Management and Monitoring
                                                  information indicating that the                         the Walter Sidney Shell Management                    Recommendations (Service 2014) posted
                                                  petitioned action may be warranted.                     Trust, the American Stewards of                       at http://www.fws.gov/southwest/es/
                                                  Therefore, we are not initiating a status               Liberty, and Steven W. Carothers                      AustinTexas/ESA_Sp_KarstInverts.html.


                                             VerDate Sep<11>2014   12:29 May 29, 2015   Jkt 235001   PO 00000   Frm 00036   Fmt 4702   Sfmt 4702   E:\FR\FM\01JNP1.SGM   01JNP1


                                                                            Federal Register / Vol. 80, No. 104 / Monday, June 1, 2015 / Proposed Rules                                            30991

                                                  Evaluation of Information for This                         In 2009, we conducted a 5-year status              safety for a species to withstand
                                                  Finding                                                 review of the Bone Cave harvestman                    catastrophic events (Service and NOAA
                                                     Under section 3(16) of the Act, we                   (Service 2009). The purpose of a 5-year               2011, p. 76994) by decreasing the
                                                  may consider for listing any species,                   status review is to evaluate whether or               chance of any one event affecting the
                                                  including subspecies, of fish, or                       not the species’ status has changed since             entire species. Redundancy is about
                                                  wildlife, or plants, and any distinct                   it was listed (or since the most recent 5-            spreading risk and can be measured
                                                  population segment (DPS) of any                         year review). Based on a 5-year review,               through the duplication and distribution
                                                                                                          we recommend whether the species                      of resilient populations across the range
                                                  species of vertebrate fish or wildlife that
                                                                                                          should be removed from the lists of                   of the species.
                                                  interbreeds when mature (16 U.S.C.
                                                                                                          endangered and threatened species, be                    Representation is defined as
                                                  1532(16)). Such entities are listed under                                                                     conserving ‘‘some of everything’’ with
                                                                                                          changed in status from endangered to
                                                  the Act if we determine that they meet                                                                        regard to genetic and ecological
                                                                                                          threatened, or be changed in status from
                                                  the definition of an endangered or                                                                            diversity to allow for future adaptation
                                                                                                          threatened to endangered. As part of the
                                                  threatened species.                                                                                           and maintenance of evolutionary
                                                                                                          2009 Bone Cave harvestman review, we
                                                     Section 4 of the Act (16 U.S.C. 1533)                                                                      potential. Representation and the
                                                                                                          evaluated whether the species had met
                                                  and its implementing regulations at 50                                                                        adaptive capabilities (Service and
                                                                                                          the recovery criteria laid out in the
                                                  CFR 424 set forth the procedures for                                                                          NOAA 2011, p. 76994) of the Bone Cave
                                                                                                          species’ recovery plan (Service 1994,
                                                  adding a species to, or removing a                                                                            harvestman are also important for long-
                                                                                                          pp. 86–89).
                                                  species from, the lists of endangered                      Our recovery handbook (Service 2010)               term viability. Because a species’
                                                  and threatened species. A species may                   points out that recovery criteria should              genetic makeup is shaped through
                                                  be determined to be an endangered or                    address the biodiversity principles of                natural selection by the environments it
                                                  threatened species due to one or more                   resiliency, redundancy, and                           has experienced (Shaffer and Stein
                                                  of the five factors described in section                representation (Schaffer and Stein                    2000, p. 308), populations should be
                                                  4(a)(1) of the Act:                                     2000).                                                protected in the array of different
                                                     (A) The present or threatened                           Resiliency is defined as the ability of            environments in which the invertebrate
                                                  destruction, modification, or                           a species to persist through severe                   species occur as a strategy to ensure
                                                  curtailment of its habitat or range;                    hardships or stochastic events (Tear et               genetic representation, adaptive
                                                     (B) Overutilization for commercial,                  al. 2005, p. 841). A variety of factors               capability, and conservation of the
                                                  recreational, scientific, or educational                contribute to a species’ resiliency. These            species. Generally, the more
                                                  purposes;                                               can include how sensitive the species is              representation, or diversity, the species
                                                     (C) Disease or predation;                            to disturbances or stressors in its                   has, the more it is capable of adapting
                                                     (D) The inadequacy of existing                       environment, how often they reproduce                 to changes (natural or human caused) in
                                                  regulatory mechanisms; or                               and how many young they have, and                     its environment.
                                                     (E) Other natural or manmade factors                 their specific habitat needs. A species’                 The recovery plan for the Bone Cave
                                                  affecting its continued existence.                      resiliency can also be affected by the                harvestman (Service 1994, pp. 86–88)
                                                     We must consider these same five                     resiliency of individual populations and              identifies criteria for reclassification
                                                  factors in delisting a species. We may                  the number of populations and their                   (from endangered to threatened), but
                                                  delist a species according to 50 CFR                    distribution across the landscape.                    does not include delisting criteria
                                                  424.11(d) if the best available scientific              Protecting multiple populations and                   because we were uncertain about
                                                  and commercial data indicate that the                   variation of a species across its range               prospects for recovery and delisting of
                                                  species is neither endangered nor                       may contribute to its resiliency,                     the species. These recovery criteria are
                                                  threatened for the following reasons:                   especially if some populations or                     a way of measuring our progress toward
                                                     (1) The species is extinct;                          habitats are more susceptible or better               recovery. The recovery plan identifies
                                                     (2) the species is recovered; or                     adapted to certain threats than others                two criteria for reclassifying the species
                                                     (3) the original data for classification             (Service and NOAA 2011, p. 76994).                    from endangered to threatened:
                                                  were in error. According to 50 CFR                      The ability of individuals from                          (1) Three karst fauna areas (if at least
                                                  424.11(d)(3), a species may be delisted                 populations to disperse and recolonize                three exist) within each karst fauna
                                                  when subsequent investigations ‘‘show                   an area that has been extirpated may                  region in its range are protected in
                                                  that the best scientific and commercial                 also influence the species’ resiliency. As            perpetuity. If fewer than three karst
                                                  data available when the species was                     population size and habitat quality                   fauna areas exist within a given karst
                                                  listed, or the interpretation of such data,             increase, the population’s ability to                 fauna region, then all karst fauna areas
                                                  were in error.’’                                        persist through periodic hardships also               within that region should be protected.
                                                     In making this 90-day finding, we                    increases. Healthy populations are more                  (2) Criterion (1) has been maintained
                                                  evaluated whether the petition                          resilient and better able to withstand                for at least 5 consecutive years with
                                                  presented substantial information                       disturbances such as random                           assurances that these areas will remain
                                                  indicating that the petitioned action                   fluctuations in birth rates (demographic              protected in perpetuity.
                                                  (delisting) may be warranted.                           stochasticity), and variation in rainfall                There are six karst fauna regions in
                                                     The petition did not assert that the                 and/or temperatures (environmental                    Travis and Williamson Counties that are
                                                  Bone Cave harvestman is extinct, nor do                 stochasticity).                                       known to contain the Bone Cave
                                                  we have information in our files                           Redundancy is defined as ensuring a                harvestman (Service 1994, p. 33): North
                                                  indicating that the species is extinct.                 sufficient number of populations to                   Williamson, Georgetown, McNeil/
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                                                     The petition asserted that new                       provide a margin of safety to reduce the              Round Rock, Cedar Park, Jollyville
                                                  information indicates that the original                 risk of losing a species or certain                   Plateau, and Central Austin. These
                                                  data, or our interpretation of the data,                representation (variation) within a                   regions are used as a way to facilitate
                                                  used in the listing of this species were                species due to catastrophic events or                 conservation of representation and
                                                  in error. The petition also states that                 other threats. Redundancy is essential                redundancy (as defined above)
                                                  significant conservation has been put in                for long-term viability (Shaffer and Stein            throughout the species’ range.
                                                  place since the species was listed, such                2000, pp. 307, 309–310; Groves et al.                    For the purposes of the recovery plan,
                                                  that the species is recovered.                          2002, p. 506). This provides a margin of              a karst fauna area ‘‘is an area known to


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                                                  30992                     Federal Register / Vol. 80, No. 104 / Monday, June 1, 2015 / Proposed Rules

                                                  support one or more locations of a listed               representation of the breadth of its                  species and the ecosystems upon which
                                                  species and is distinct in that it acts as              genetic and ecological diversity to                   it depends. This method follows a
                                                  a system that is separated from other                   conserve its adaptive capabilities                    precautionary approach, which provides
                                                  karst fauna areas by geologic and                       (Schaffer and Stein 2000, p. 308).                    guidance to avert irreversible risk when
                                                  hydrologic features and/or processes                       Adequate quality of habitat refers to              facing uncertainty (Service 2012,
                                                  that create barriers to the movement of                 (1) the condition and configuration of                p. A–1). The best available scientific
                                                  water, contaminants, and troglobitic                    preserved lands with respect to the                   information indicates that this species
                                                  fauna’’ that live their entire lives                    known localities for the species and (2)              cannot be reintroduced into existing
                                                  underground (Service 1994, p. 76). Karst                the ability of the species’ needs to be               habitat. Life-history characteristics of
                                                  fauna areas should be far enough apart                  met to sustain viable populations. Due                this species indicate that it requires
                                                  so that if a catastrophic event (for                    to the uncertainty in determining                     stable temperature and humidity (Barr
                                                  example, contamination of the water                     population viability of the Bone Cave                 1968, p. 47, Mitchell 1971, p. 250) and
                                                  supply, flooding, disease) were to                      harvestman, the design of preserves for               suggest that this species cannot be
                                                  destroy one of the areas, that event                    its protection should be based on                     reintroduced because it cannot
                                                  would not likely destroy any other area                 estimates and assumptions that favor a                withstand surface climatic conditions.
                                                  occupied by that species (Service 1994,                 high probability for recovery of this                    According to anecdotal reports
                                                  p. 76).                                                 species and the ecosystems upon which                 provided to our field office, limited
                                                     To be considered ‘‘protected,’’ a karst              it depends as discussed below.                        efforts to maintain karst invertebrates in
                                                  fauna area must be sufficiently large to                   The Endangered Karst Invertebrates                 a lab setting have been unsuccessful.
                                                  maintain the integrity of the karst                     Recovery Plan for Travis and                          Additionally, captive propagation
                                                  ecosystem on which the species                          Williamson Counties (Service 1994)                    techniques have not been developed for
                                                  depends (Service 1994, p. 87). In                       calls for protecting karst fauna areas                karst invertebrates and may be
                                                  addition, these areas must also provide                 sufficiently large to maintain the                    challenging to develop because of their
                                                  protection from threats such as red                     integrity of the karst ecosystem on                   specific adaptations to subterranean
                                                  imported fire ants, habitat destruction,                which the species depends. This focus                 environment. Further, the sample size
                                                  and contaminants.                                       on the ecosystem is consistent with the               that would likely be needed to
                                                     The overall recovery strategy for the                purpose of the Act, which includes ‘‘to               reintroduce a population into a new
                                                  Bone Cave harvestman includes the                       provide a means whereby the ecosystem                 location cannot be obtained from
                                                  perpetual protection and management of                  upon which endangered species and                     existing populations due to the cryptic
                                                  an adequate quantity and quality of                     threatened species depend may be                      nature of this species and the fact that
                                                  habitat (three karst fauna areas in each                conserved.’’ Therefore, we recommend                  often only a few individuals are
                                                  karst fauna regions) that spans the                     designing karst fauna area preserves to               observed per cave survey. Therefore, an
                                                  species’ geographic range and provides                  protect occupied karst feature(s) and                 attempt to re-establish a population after
                                                  a high probability of the species’                      associated mesocaverns (humanly                       it has been extirpated is not feasible at
                                                  recovery and survival over the long                     impassable voids). For further guidance               this time. In addition, if a preserve is
                                                  term. Adequate quality (as discussed                    on how to provide for adequate quantity               later found to be insufficient to support
                                                  below) and quantity of habitat refers to                and quality of habitat at specific                    the species due to surrounding
                                                  both size and number of preserved karst                 invertebrate locations, we have                       developments being either too close or
                                                  fauna areas that are sufficient for                     developed and refer to our Karst                      too dense, the potential for adequately
                                                  supporting the karst invertebrates and                  Preserve Design Recommendations                       conserving the site is lost.
                                                  the ecosystems upon which they                          (Service 2012).                                          Because the Bone Cave harvestman
                                                  depend (Service 2011, p. 16). The                          According to our preserve design                   has a relatively long life span and low
                                                  recovery plan criteria call for three karst             guidelines (Service 2012, p. 3–5), karst              requirements for food, a decline in
                                                  fauna areas (preserves) in each karst                   fauna area preserves should include the               population size or even the complete
                                                  fauna region. The size of karst fauna                   following: (1) Surface and subsurface                 extirpation of the population due to the
                                                  area preserves should be large enough to                drainage basins of at least one occupied              influence of development or other
                                                  ensure resiliency as discussed above                    cave or karst feature; (2) a minimum of               threats may take years or even decades.
                                                  and to protect the environmental                        16 to 40 hectares (ha) (40 to 100 acres               Observations of this species over several
                                                  integrity of the karst ecosystems upon                  (ac)) of contiguous, unfragmented,                    years on a preserve that is too small for
                                                  which the species depends. The number                   undisturbed land to maintain native                   perpetual species preservation may not
                                                  of karst fauna area preserves called for                plant and animal communities around                   allow detection of declines that are
                                                  in the recovery criteria provides                       the feature and protect the subsurface                actually occurring. If these observations
                                                  redundancy for the species. A minimal                   karst community; (3) 105-meter (m)                    are used as evidence that a preserve size
                                                  level of redundancy is essential to                     (345-feet (ft)) radius undisturbed area               was adequate, then the potential for
                                                  provide a margin of safety for the                      from each cave footprint for cave cricket             long-term preservation of the species
                                                  species to reduce the risk of losing the                foraging (cave crickets are an important              may be lost due to irreversible
                                                  species or representation (variation)                   source of nutrient input to the karst                 development surrounding the preserve.
                                                  within the species from catastrophic                    ecosystem) and to minimize deleterious                Therefore, preserve sizes should be
                                                  events or other threats (Shaffer and                    edge effects; and (4) preserves should be             established with caution and be large
                                                  Stein 2000 pp. 307, 309–310, Groves et                  free of pipelines, storage tanks, or other            enough to account for the uncertainty in
                                                  al. 2002, p. 506). The Bone Cave                        facilities (for example, water retention              area requirements for a population.
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                                                  harvestman has significant geographic                   ponds) that could cause contamination.                   According to the petition there are
                                                  variability across its range, and loss of                  In addition, due to the uncertainty in             now more known occupied locations
                                                  a significant number of locations in part               determining population viability and                  identified; there were 6 confirmed caves
                                                  of its range could result in loss of                    habitat requirements of the Bone Cave                 at listing, 60 confirmed caves at the time
                                                  genetic and ecological diversity. The                   harvestman, the design of preserves for               the recovery plan was drafted, and 168
                                                  conservation of multiple karst fauna                    its protection should be based on                     confirmed caves in 2009 when the 5-
                                                  area preserves across the Bone Cave                     estimates and assumptions that favor a                year status review was completed (53
                                                  harvestman’s range should provide                       high probability for recovery of the                  FR 36029, Service 1994, 2009). The


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                                                                            Federal Register / Vol. 80, No. 104 / Monday, June 1, 2015 / Proposed Rules                                             30993

                                                  petition also states that more locations                long-term protection and survival of the              potential loss of habitat due to
                                                  are likely to be found. We acknowledge                  Bone Cave harvestman.                                 development activities, which could
                                                  there are more known locations since                       Of the five protected karst fauna areas            result in filling in or collapsing of caves;
                                                  the time those documents were                           that meet preserve design criteria, four              alteration of drainage patterns; increase
                                                  completed and the increase is likely an                 occur in the North Williamson County                  in flow of sediment, pesticides,
                                                  increase in our knowledge, not a true                   Karst Fauna Region and one occurs in                  fertilizers, and urban run-off into caves;
                                                  increase in the number of populations                   the Jollyville Plateau Karst Fauna                    and increase in human visitation and
                                                  or range; however, species are listed                   Region. However, this species occurs in               vandalism.
                                                  under the Act based on threats and not                  six karst fauna regions, and four of these               We also considered additional
                                                  just the number of sites or size of the                 have no protected karst fauna areas that              information on threats to the species
                                                  range.                                                  are confirmed to meet preserve design                 when we developed the recovery plan
                                                     In addition, the petition states that 94             recommendations. Therefore, the best                  for the species (Service 1994, pp. 59–65)
                                                  karst preserve areas are currently                      available information indicates that the              and when we conducted the 5-year
                                                  providing significant conservation.                     criteria for reclassification from                    status review of the species (Service
                                                  However, many of the existing protected                 endangered to threatened for this                     2009, p. 2), in which we concluded that
                                                  areas referenced in the petition are too                species have not been met, nor has                    no change in the species’ status (that is,
                                                  small to meet our preserve design                       adequate representation and                           reclassification to threatened or
                                                  recommendations. As part of the 2009                    redundancy (three karst fauna areas in                delisting) was warranted. We also
                                                  5-year status review of the Bone Cave                   each karst fauna region) been protected               reviewed available threat information in
                                                  harvestman, we reviewed the status of                   throughout the species’ range, leaving                our files and in a 1993 petition when we
                                                  all of the known locations of the                       the species vulnerable to existing threats            made our negative 90-day finding on
                                                  harvestman (including 83 of the 94                      including habitat destruction.                        that petition to de-list (59 FR 11755).
                                                  mentioned in the petition) to assess                       The petition asserts that four
                                                                                                                                                                   The current petition asserts that
                                                  whether the criteria from the recovery                  additional locations are known since the
                                                                                                                                                                ‘‘Development activities on the surface
                                                  plan to reclassify the species from                     time of the 5-year review. However, the
                                                                                                                                                                may not result in the significant loss or
                                                  endangered to threatened had been met                   petition does not provide adequate
                                                                                                                                                                degradation of habitat for T. reyesi as
                                                  for the Bone Cave harvestman. We                        information that would support whether
                                                                                                                                                                originally thought’’ and suggests that
                                                  considered the habitat size and                         these four additional locations are in a
                                                                                                          condition to meet preserve design                     evidence of this is the species
                                                  condition to evaluate whether the
                                                                                                          recommendations. Based on information                 persistence in caves surrounded by
                                                  locations could meet the preserve
                                                                                                          in our files, we are aware of one                     developed areas. Examples given in the
                                                  design recommendations (a reflection of
                                                                                                          additional cave since the 5-year review               petition are Inner Space Caverns, Sun
                                                  the potential to support a resilient
                                                                                                          that may meet preserve design                         City caves, Weldon Cave, Three-Mile
                                                  population) and then also looked at
                                                                                                          recommendations in the North                          Cave, and Four-Mile Cave. However, the
                                                  whether legally binding mechanisms
                                                                                                          Williamson Karst Fauna Region;                        observation of the species in these
                                                  were in place to provide protection of
                                                  these sites over the long term (in                      however, it is privately owned, and we                locations does not mean their
                                                  perpetuity).                                            are unsure about the property acreage                 populations at these locations are
                                                     Of the locations known at the time of                and if the site receives any type of                  thriving or can withstand the long-term
                                                  the 5-year review, 21 areas appeared to                 protection or management. Regardless,                 impacts from development activities
                                                  have the ability to meet the preserve                   the amount of protected karst fauna area              that are expected to occur to karst
                                                  design criteria. Our status review refers               still falls short of the criteria for                 invertebrate populations in developed
                                                  to 21 areas, while the petition indicates               reclassification from endangered to                   areas as discussed in the listing rule,
                                                  that the status review considered 28                    threatened.                                           recovery plan, and 5-year status review
                                                  sites. This discrepancy is because the                     Further, we reviewed 83 of the 94                  for the Bone Cave harvestman.
                                                  petition considers each individual cave                 caves identified in the petition as                      Bone Cave harvestman populations
                                                  location, while our status review                       receiving some level of protection in the             may be declining or threatened even
                                                  considered closely located caves to be                  5-year review. Two of the caves that we               though they are still observed at a
                                                  part of the same karst fauna area. Of                   did not review (Cobbs Cavern and                      specific site. Information adequate to
                                                  these 21 areas, 1 is no longer confirmed                Whitney West Cave) are now in                         detect population trends for this species
                                                  to have the species (Barker Ranch Cave                  confirmed karst fauna areas mentioned                 is not readily available and was not
                                                  No. 1), and 5 are now protected karst                   above (Cobbs Cavern and Twin Springs),                provided in the petition. This species
                                                  fauna areas (Priscilla’s Well, Twin                     one (Pond Party Pit) is in the Beard                  has life-history strategies that include
                                                  Springs, Cobbs Cavern, Karankawa, and                   Ranch Cave area discussed in the 5-year               characteristics such as low metabolic
                                                  Tooth Cave).                                            review, and we have no locality                       and reproductive rates, long life spans,
                                                     In addition, at most of the remaining                information or taxonomic verifications                and inherently low sample sizes, which
                                                  locations (of the 21 areas) we are lacking              for the remaining caves and this                      make it difficult to detect population
                                                  information to confirm that they meet                   information was not provided in the                   response to possible impacts (Poulson
                                                  the preserve design criteria (such as                   petition.                                             and White 1969, p. 977, Howarth 1983,
                                                  surface and subsurface drainage basins,                    The petition also asserts that threats             p. 374). We indicated in the 1994 90-day
                                                  tract acreage, exact locations of the cave,             to the species are not as severe as                   petition finding (59 FR 11755) that more
                                                  and management activities to protect                    originally thought. We evaluate that                  time was needed to detect if the species
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                                                  against threats, such as red imported fire              information, below, in respect to the                 was declining; however, while more
                                                  ants). Also, many of these areas do not                 five listing factors.                                 time has passed, we are still lacking
                                                  have a legally binding mechanism that                      Factor A: The present or threatened                adequate data to conduct a trend
                                                  ensures perpetual protection and                        destruction, modification, or                         analysis at most locations, given that it
                                                  management. Hence, we are unsure                        curtailment of the species’ habitat or                can take decades to detect population
                                                  whether those areas have adequate                       range. In the 1988 listing rule (53 FR                trends due to small sample sizes, the
                                                  undeveloped acreage, management, or                     36029), we stated that the primary threat             difficulty surveying for the species, and
                                                  protection mechanisms to ensure the                     to the Bone Cave harvestman was the                   their long life spans.


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                                                  30994                     Federal Register / Vol. 80, No. 104 / Monday, June 1, 2015 / Proposed Rules

                                                     In addition, some of the threats from                of the subsurface drainage basin                      invertebrates depend. As development
                                                  development are due to the increased                    potentially being impacted by a school                increases within the cave crickets’
                                                  probability of chance events occurring                  campus, this cave appears to meet our                 foraging area, there may be dramatic
                                                  in the future, such as a contaminant                    preserve design recommendations but is                shifts in the available food supply
                                                  event like a pipeline leak, which exists                not within a developed area, as asserted              within the cave (Taylor et al. 2007, p.
                                                  because more contamination sources are                  in the petition. Three-Mile Cave and                  7). The leaf litter and other
                                                  in the vicinity of species’ locations due               Four-Mile Cave were also provided in                  decomposing material that make up
                                                  to development.                                         the petition as examples of developed                 most of the detritus from the surface
                                                     The petition states that several Sun                 caves wherein the Bone Cave                           plant and animal community may also
                                                  City caves are examples of areas where                  harvestman is known to occur.                         be reduced or altered, resulting in a
                                                  the species can persist in developed                    According to the petition, surveys                    reduction of nutrient and energy flow
                                                  areas. However, the petition failed to                  conducted by SWCA in 2008 and 2009                    into the cave. A study by Taylor et al.
                                                  provide data adequate to assess trends                  documented the Bone Cave harvestman                   (2007) compared caves in urbanized
                                                  in the karst invertebrate populations                   at these locations. However, detailed                 areas that were impacted by
                                                  since the development occurred. In                      survey data were not provided by the                  development to those in natural areas
                                                  addition, we worked with the Sun City                   petitioners and were not in the SWCA                  and found that, even though a small
                                                  developers when they designed the                       2009 ‘‘Annual Report of Activities                    area within a largely urbanized
                                                  project to develop strategies that we                   Involving Endangered Karst                            ecosystem may support a cave
                                                  believed at the time would avoid or                     Invertebrates under Threatened and                    community where karst invertebrates
                                                  minimize the possibility of ‘‘take’’ to                 Endangered Species Permit TE800611–                   are occasionally seen, these populations
                                                  listed karst species. While we now                      2.’’                                                  are significantly lower than those found
                                                  believe that most of the Sun City cave                     The petition also states that, since the           in caves in more natural, less developed
                                                  preserves are too small to meet our                     Bone Cave harvestman uses                             ecosystems, most likely as a result of
                                                  preserve design recommendations for                     mesocaverns, it is protected from                     reduced nutrient input. Another study
                                                  recovery and long-term survival (Service                surface development activities because                at Lakeline Cave in Travis County,
                                                  2012), we expect that the strategies and                mesocaverns are ‘‘geologically                        Texas, was conducted in association
                                                  measures put in place likely have                       protected.’’ We are unclear why the                   with the issuance of a habitat
                                                  reduced the rate of impacts to the                      petition contends that mesocaverns are                conservation plan and accompanying
                                                  species.                                                protected because mesocaverns are                     section 10(a)(1)(B) permit issued for
                                                     The commercial cave known as Inner                   subject to rapid permeation of surface                Lakeline Mall. That study is based on
                                                  Space Caverns is another example the                    water (Cowan et al. 2007, p. 160), and                data collected from 1992 through 2011,
                                                  petition provided where the Bone Cave                   karst landscapes (including                           and it documented a significant decline
                                                  harvestman continues to persist in a                    mesocaverns) are particularly                         during that 20-year timeframe in
                                                  developed area. Although the Bone Cave                  susceptible to groundwater                            another endangered karst invertebrate,
                                                  harvestman may be present at Inner                      contamination because water penetrates                Rhadine persephone, and cave crickets
                                                  Space Caverns, this does not ensure                     rapidly through bedrock conduits                      as development increased (ZARA 2012,
                                                  their populations are robust and secure;                providing little or no filtration (White              pp. 8, 10, 12). Further, at Lakeline Mall
                                                  they may still be declining, and are at                 1988, p. 149).                                        Cave, no more than three Bone Cave
                                                  risk due to competition with surface-                      One of the major threats to the Bone
                                                                                                                                                                harvestmen have been observed during
                                                  dwelling invertebrates and other threats                Cave harvestman is habitat loss due to
                                                                                                                                                                any single survey (ZARA 2012, p. 11).
                                                  associated with development such as                     increasing urbanization. The Bone Cave
                                                                                                                                                                Also, no Bone Cave harvestmen were
                                                  the potential for contamination. This                   harvestman is a troglobite, meaning it
                                                  cave has an overgrowth of blue-green                    lives its entire life underground. Karst              seen during 6 years (1993, 1999, 2001,
                                                  algae growing near cave lights where the                ecosystems are heavily reliant on                     2006, 2009, and 2010) and 12 surveys in
                                                  petition states that this species has been              surface plant and animal communities                  Lakeline Mall Cave (ZARA 2012, p. 11).
                                                  observed. This type of algae is known as                for nutrient input.                                      Available information in our files
                                                  ‘‘lampenflora’’ and favors surface-                        Caves in central Texas that are                    supports our projection in the 1988
                                                  dwelling invertebrate species that can                  occupied by federally listed karst                    listing rule that development and
                                                  out-compete karst invertebrate species                  invertebrates, such as the Bone Cave                  human population would continue to
                                                  (Mulec and Kosi 2009, p. 109, Culver                    harvestman, receive energy (or                        increase within the range of the species.
                                                  1986, p. 438), such as the Bone Cave                    nutrients) primarily from (1) detritus                The population of the City of Austin
                                                  harvestman. The petition failed to                      (decomposing organic matter) that falls               grew from 251,808 people in 1970 to
                                                  provide any data adequate to assess                     or is washed into the caves and (2)                   735,088 people in 2007 (City of Austin
                                                  trends in the karst invertebrate                        energy brought into the caves by cave                 2007). This represents a 192-percent
                                                  population in relation to the time                      crickets (Ceuthophilus spp.) (Barr 1968,              increase over the 37-year period.
                                                  (duration and frequency) that they have                 p. 48; Reddell 1993, p. 2; Lavoie et al.              Population projections from the Texas
                                                  been exposed to the artificial lighting.                2007, p. 114; Taylor 2003, p. 3, 2004, p.             State Data Center (2012, pp. 496–497),
                                                  Additionally, part of the cave footprint                2, 2005, p. 97), which are found in most              estimate that Travis County will
                                                  occurs under a major interstate highway                 Texas caves (Reddell 1966, p. 33). Cave               increase 94 percent in population from
                                                  and train tracks, which both present a                  crickets forage widely in the surface                 1,024,266 in 2010, to 1,990,820 in 2050.
                                                  threat of a contaminant spill that could                habitat surrounding the cave. Karst                   The Texas State Data Center also
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                                                  impact the species in the future.                       invertebrates feed on the cave cricket                estimates an increase in human
                                                     Weldon Cave was another example in                   eggs (Mitchell 1971, p. 251), feces (Barr             population in Williamson County from
                                                  the petition of a cave occupied by the                  1968, pp. 51–53, Poulson et al. 1995, p.              422,679 in 2010, to 2,015,294 in 2050
                                                  Bone Cave harvestman within a                           226), and directly on the crickets                    representing a 377-percent increase over
                                                  developed area. Based on the best                       themselves (Elliott 1994, p. 15).                     a 40-year timeframe. All human
                                                  available information in our files this                    Development within urbanized areas                 population projections from the Texas
                                                  cave is surrounded by undeveloped                       can destroy or alter the surface plant                State Data Center presented here are
                                                  open space. Other than a small portion                  and animal communities on which karst                 under a high-growth scenario, which


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                                                                            Federal Register / Vol. 80, No. 104 / Monday, June 1, 2015 / Proposed Rules                                            30995

                                                  assumes that migration rates from 2000                  Bexar County Karst Invertebrates                      harvestman locations that occur near
                                                  to 2010 will continue through 2050                      Recovery Plan (Service 2011, p. 12) and               Georgetown salamander locations, so
                                                  (Texas State Data Center and the Office                 in our Karst Preserve Management and                  any protection offered to the harvestman
                                                  of the State Demographer 2012, p. 9).                   Monitoring Recommendations (Service                   would be limited. Further, it is not clear
                                                  Urbanization and human population                       2014, p. 3), which is applicable here as              from the petition whether this
                                                  growth and development were                             all central Texas endangered karst                    mechanism is voluntary or if it is
                                                  identified as a threat in the original                  invertebrates have similar life-history               regulatory or if it is currently in effect.
                                                  1988 listing rule and continue to                       characteristics, and one of the Bexar                 In addition, the petition did not provide
                                                  represent a threat to the species.                      County invertebrates is in the same                   enough detail for us to evaluate all
                                                     Factor B: Overutilization for                        genus (Texella) as the Bone Cave                      benefits this plan would provide to the
                                                  commercial, recreational, scientific, or                harvestman. In addition, red imported                 Bone Cave harvestman, and it appears
                                                  educational purposes. In the 1988                       fire ants have been found within and                  that participation in this plan is at least
                                                  listing rule for the Bone Cave                          near many caves in central Texas and                  in part voluntary.
                                                  harvestman, we did not identify any                     have been observed feeding on dead                       The petition states that the Texas
                                                  threats under this factor. Likewise, the                troglobites, cave crickets, and other                 Commission on Environmental Quality
                                                  petition and our review of the                          species within caves (Elliott 1992, p. 13,            (TCEQ) Edwards Rules provide
                                                  information in our files did not identify               1994, p. 15, 2000, pp. 668, 768; Reddell              protection to recharge features on the
                                                  any threats under this factor.                          1993, p. 10; Taylor et al. 2003, p. 3).               Edwards Plateau and that this provides
                                                     Factor C: Disease or predation. In the                  Factor D: The inadequacy of existing               protection from pollution to the Bone
                                                  1988 listing rule, we stated that                       regulatory mechanisms. The 1988                       Cave harvestman. In a discussion of
                                                  increased human population increases                    listing rule states that ‘‘there are                  Factor D in the Bexar County Karst
                                                  the threat of predation by and                          currently no laws that protect any of                 Invertebrates Recovery Plan (Service
                                                  competition with exotic (non-native)                    these species or that indirectly address              2011, p. 13), we state that ‘‘the TCEQ
                                                  and native surface-dwelling species,                    protection of their habitat.’’                        water quality regulations do not provide
                                                  such as sow bugs, cockroaches, and red                     While the petition did discuss some                much protection to the species’ habitat
                                                  imported fire ants. The petition states                 new ordinances that appear to have                    (see 65 FR 81419–81433 for more
                                                  that ‘‘Recent studies suggest that fire                 been put in place since the time of                   information). For example, while some
                                                  ants may not present as significant or as               listing, we do not have enough                        TCEQ practices provide protection from
                                                  lasting of a threat to the species as                   information to indicate whether or not                water quality impacts, others, such as
                                                  originally believed.’’ The information                  these State and local ordinances provide              sealing cave entrances for water quality
                                                  cited regarding red imported fire ants is               enough protection from all threats to the             reasons, can harm karst invertebrates.’’
                                                  identified in the petition as an article by             Bone Cave harvestman.                                 Sealing cave entrances can be harmful
                                                  Porter and Savignano (1990), which we                      The petition states that ‘‘the                     by blocking off water (leading to drying)
                                                  previously considered in our finding on                 regulatory landscape includes a number                and nutrient input to the karst
                                                  the 1993 petition, and another study by                 of measures contributing to the                       invertebrate habitat. In addition, not all
                                                  Morrison (2002). The petition states that               conservation of the species outside of                of the caves and mesocaverns that the
                                                  ‘‘a subsequent study by Morrison in                     the protections afforded by the                       Bone Cave harvestman occurs in are
                                                  2002 revisited the Porter and Savignano                 Endangered Species Act of 1973, as                    considered recharge features and,
                                                  (1990) study area 12 years later and                    amended.’’ For example, they say that                 therefore, would not receive some of the
                                                  replicated their study.                                 protections offered though the City of                water quality protection measures. Also,
                                                     Morrison (2002, pp. 2341, 2343–2344)                 Austin are adequate to protect the                    not all locations of the Bone Cave
                                                  found that arthropod communities had                    species in Austin, Texas. In the course               harvestman are under the jurisdiction of
                                                  rebounded to pre-RIFA [red imported                     of our work, we have reviewed these                   the Edwards Rules.
                                                  fire ant]-invasion levels and that all                  regulations and understand that most                     Factor E: Other natural or manmade
                                                  measures of native ant and other                        caves that are defined by the City of                 factors affecting the continued existence
                                                  arthropod species’ diversity had                        Austin’s Environmental Criteria Manual                of the species. In the 1988 listing rule,
                                                  returned to pre-invasion levels. Red                    as a cave are provided a 46- to 91-m                  we stated that this species is extremely
                                                  imported fire ants were still the most                  (150- to 300-ft) set-back area (City of               vulnerable to losses because of its
                                                  abundant ant species, but not nearly as                 Austin 2014, p. 13–3). However, a 46-m                severely limited range and because of its
                                                  abundant as during the initial red                      (150-ft) or 91-m (300-ft) set-back is not             naturally limited ability to colonize new
                                                  imported fire ants infestation. He                      adequate to meet our preserve design                  habitats. We also stated that the very
                                                  concluded that the impacts to arthropod                 criteria, does not protect the cave cricket           small size of the species habitat units
                                                  communities by red imported fire ants                   foraging area, and potentially does not               and the fragile nature of cave
                                                  might be greatest during and shortly                    include the surface and subsurface                    ecosystems make them vulnerable to
                                                  after the initial invasion, but long-term               drainage basins. Further, it is not                   even isolated acts of vandalism. The
                                                  impacts are likely not as significant as                applicable across the range of the Bone               petition states, ‘‘Inner Space Cavern
                                                  once believed. However, we note that                    Cave harvestman because the species                   demonstrates that the species can
                                                  Morrison (2002, p. 2342) also states that               occurs in Travis and Williamson                       persist in caves with frequent human
                                                  ‘‘it is quite likely that red imported fire             Counties and the City of Austin does not              visitation and may be more tolerant of
                                                  ants did contribute directly or indirectly              cover all of those counties.                          related habitat modification than
                                                  to the disappearance or reduction in                       The petition states that the City of               originally believed.’’ They also provide
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                                                  numbers of species’’ and that their study               Georgetown Water Quality Management                   Three-Mile Cave and Four-Mile Cave as
                                                  ‘‘should not be interpreted as an                       Plan for the Georgetown salamander                    examples of caves that have experienced
                                                  indication that detrimental effects of                  will offer protection to the Bone Cave                human use yet the species persists. The
                                                  invasive ants will simply disappear                     harvestman. They state that this plan                 petition contends that, since the Bone
                                                  with time.’’ In addition, this is not ‘‘new             encourages the use of best management                 Cave harvestman exists in Inner Space
                                                  information’’ as we have already                        practices to protect water quality at                 Caverns, human visitation is not a
                                                  reviewed these articles and considered                  Georgetown salamander locations.                      threat. The petition also states that
                                                  the information they provided in the                    However, there are few Bone Cave                      Three-mile and Four-mile Cave had


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                                                  30996                     Federal Register / Vol. 80, No. 104 / Monday, June 1, 2015 / Proposed Rules

                                                  graffiti from the 1890s, 1920s, and                     rainfall regimes may affect the                       since the 5-year status review and 7 for
                                                  1950s. Yet, no detailed information was                 harvestman in several ways, including                 which we lack locality information or
                                                  provided to demonstrate if these caves                  directly either through flooding or                   taxonomic verifications) while working
                                                  experienced continued human use. The                    indirectly by modifying their habitat or              on previous documents (Service 2009,
                                                  petition also indicates that Four-Mile                  nutrient availability. Changes in rainfall            2012) or on observations that lack a
                                                  Cave was inaccessible to humans prior                   regimes could (1) alter the moisture                  large enough sample size to produce
                                                  to 2009 due to boulders blocking the                    levels within the caves leaving them                  population trend information for the
                                                  entrance. In addition, the petition                     drier between floods, which could lead                Bone Cave harvestman. The petition
                                                  provided no trend analysis for these                    to desiccation of the Bone Cave                       provided no trend analysis to indicate
                                                  caves. As stated earlier, the observation               harvestman and (2) affect the amount                  that this species can withstand the
                                                  of the species in these locations does                  and timing of nutrients washed into a                 threats associated with development or
                                                  not mean the populations at these                       cave, potentially resulting in longer                 climate change over the long term.
                                                  locations have not been impacted (in a                  periods between nutrient input. These                 Based on our review and evaluation, we
                                                  way that is short of extirpation) or can                changes to drier and less suitable                    find that the petition does not present
                                                  withstand the long-term impacts that are                conditions in the caves will likely cause             substantial scientific or commercial
                                                  expected to occur to karst invertebrate                 the Bone Cave harvestman to retreat                   information indicating that delisting of
                                                  populations in developed areas or from                  farther into mesocaverns and away from                the Bone Cave harvestman may be
                                                  human visitation.                                       nutrients that are thought to be located              warranted due to recovery, extinction,
                                                     In the species 5-year status review                  in larger cave passages (Howarth 1987,                or error in the original scientific data at
                                                  (Service 2009, p. 18) we said, ‘‘Although               pp. 5–7), causing individuals to spend                the time the species was classified or in
                                                  climate change was not identified as a                  more energy trying to acquire nutrients               our interpretation of the data. However,
                                                  threat to T. reyesi in the original listing             in an already stressed environment. In                much progress has been made toward
                                                  document or in the recovery plan, the                   addition, caves in arid regions have                  recovery in the North Williamson and
                                                  species’ dependence on stable                           been shown to have smaller invertebrate               Jollyville Plateau Karst Fauna Regions.
                                                  temperatures and humidity levels opens                  populations and diversity due to less                 We encourage interested parties to
                                                  the possibility of climatic change                      moisture and nutrient availability                    continue to gather data and implement
                                                  impacting this species. Therefore, while                (George Veni, National Cave and Karst                 conservation actions across the range of
                                                  it appears reasonable to assume that T.                 Research Institute, pers. comm. 2010).                the Bone Cave harvestman that will
                                                  reyesi may be affected, we lack                         Since the Bone Cave harvestman is also                further assist with the conservation of
                                                  sufficient certainty to know how climate                sensitive to these habitat parameters, it             this species. If you wish to provide
                                                  change will affect this species.’’                      is reasonable to predict that climate                 information regarding the Bone Cave
                                                     The petitioners state that ‘‘the use of              change could affect its populations in a              harvestman, you may submit your
                                                  small voids or ‘mesocaverns’ within the                 similar manner despite the presence of                information or materials to the Field
                                                  geologic formations known to support                    mesocaverns.                                          Supervisor, Austin Ecological Services
                                                  occupied caves mitigates the potential                     Further, stochastic (random) events                Field Office (see ADDRESSES) at any
                                                  threat of climate change.’’ We                          from either environmental factors (for                time.
                                                  acknowledge that mesocaverns may                        example, severe weather) or
                                                  provide some protection from                            demographic factors (which come from                  References Cited
                                                  fluctuations in temperature and                         the chance events of birth and death of
                                                  humidity that may be induced by                         individuals) exacerbate threats to the                   A complete list of references cited is
                                                  climate change. However, the presence                   species because of its small population               available on the Internet at http://
                                                  of mesocaverns alone will likely not be                 size (Melbourne and Hastings 2008, p.                 www.regulations.gov and upon request
                                                  sufficient to ameliorate all of the effects             100). The risk of extinction for any                  from the Austin Ecological Services
                                                  that climate change may pose to this                    species is known to be highly inversely               Field Office (see FOR FURTHER
                                                  species. Karst invertebrates depend on                  correlated with population size (Pimm                 INFORMATION CONTACT).
                                                  stable temperatures and high humidity                   et al. 1988, pp. 774–775, O’Grady et al.              Authors
                                                  (Barr 1968, p. 47, Mitchell 1971, p. 250).              2004, pp. 516, 518). In other words, the
                                                  The temperatures in caves are typically                 smaller the population the greater the                  The primary authors of this notice are
                                                  the average annual temperature of the                   overall risk of extinction. Therefore,                staff members of the Austin Ecological
                                                  surface habitat and vary much less than                 threats to the Bone Cave harvestman are               Services Office.
                                                  the surface environment (Howarth 1983,                  exacerbated by its small population size,             Authority
                                                  p. 372, Dunlap 1995, p. 76). If average                 which makes it more vulnerable to
                                                  surface temperatures increase, this                     existing threats.                                       The authority for this action is the
                                                  could result in increased in-cave                                                                             Endangered Species Act of 1973, as
                                                  temperatures, which could affect the                    Finding
                                                                                                                                                                amended (16 U.S.C. 1531 et seq.).
                                                  Bone Cave harvestman.                                     We have reviewed the petition and
                                                     Increased and/or more severe storms                  also evaluated readily available, related               Dated: May 21, 2015.
                                                  as well as prolonged periods of high                    information in our files. The petitioners             Gary Frazer,
                                                  temperatures and drought between                        have based their assessment that the                  Acting Director, U.S. Fish and Wildlife
                                                  rainfall events associated with predicted               species can thrive in developed areas on              Service.
                                                  climate change effects may also impact                  information that we have already                      [FR Doc. 2015–13136 Filed 5–29–15; 8:45 am]
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                                                  the cave environment. Changes in                        reviewed (except in 4 caves discovered                BILLING CODE 4310–55–P




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Document Created: 2015-12-15 15:18:34
Document Modified: 2015-12-15 15:18:34
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionProposed Rules
ActionNotice of 90-day petition finding.
DatesThe finding announced in this document was made on June 1, 2015.
ContactAdam Zerrenner, Field Supervisor, Austin Ecological Services Field Office, 10711 Burnet Road, Suite 200, Austin, TX 78758; by telephone at 512-490-0057; or by facsimile at 512- 490-0974. If you use a telecommunications device for the deaf (TDD), please call the Federal Information Relay Service (FIRS) at 800-877- 8339.
FR Citation80 FR 30990 

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