81_FR_64291 81 FR 64110 - Endangered and Threatened Wildlife and Plants: Proposed Rule To List the Maui's Dolphin as Endangered and the South Island Hector's Dolphin as Threatened Under the Endangered Species Act

81 FR 64110 - Endangered and Threatened Wildlife and Plants: Proposed Rule To List the Maui's Dolphin as Endangered and the South Island Hector's Dolphin as Threatened Under the Endangered Species Act

DEPARTMENT OF COMMERCE
National Oceanic and Atmospheric Administration

Federal Register Volume 81, Issue 181 (September 19, 2016)

Page Range64110-64125
FR Document2016-22451

We, NMFS, propose to list the Maui's dolphin (Cephalorhynchus hectori maui) as endangered and the South Island Hector's dolphin (C. hectori hectori) as threatened under the Endangered Species Act (ESA). We have reviewed the best available scientific and commercial data and completed a comprehensive status review for these two subspecies of Hector's dolphin (C. hectori). The Maui's dolphin faces serious demographic risks due to critically low abundance, a low population growth rate, a restricted range, low genetic diversity, and ongoing threats such as bycatch in commercial and recreational gillnets. We have determined Maui's dolphin is currently in danger of extinction throughout its range and, therefore, meets the definition of an endangered species. The relatively more abundant and more widely distributed South Island Hector's dolphin has experienced large historical declines and is expected to continue to slowly decline due to bycatch and other lesser threats, such as disease and impacts associated with tourism. We have determined that this subspecies is not currently in danger of extinction throughout all or a significant portion of its range, but is likely to become so within the foreseeable future; and therefore, it meets the definition of a threatened species. Both subspecies occur only in New Zealand. We are authorized to designate critical habitat within U.S. jurisdiction only, and we are not aware of any areas within U.S jurisdiction that may meet the definition of critical habitat under the ESA. Therefore, we are not proposing to designate critical habitat. We are soliciting public comments on our status review report and proposal to list these two subspecies.

Federal Register, Volume 81 Issue 181 (Monday, September 19, 2016)
[Federal Register Volume 81, Number 181 (Monday, September 19, 2016)]
[Proposed Rules]
[Pages 64110-64125]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2016-22451]


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DEPARTMENT OF COMMERCE

National Oceanic and Atmospheric Administration

50 CFR Parts 223 and 224

[Docket No. 160614520-6520-01]
RIN 0648-XE686


Endangered and Threatened Wildlife and Plants: Proposed Rule To 
List the Maui's Dolphin as Endangered and the South Island Hector's 
Dolphin as Threatened Under the Endangered Species Act

AGENCY: National Marine Fisheries Service (NMFS), National Oceanic and 
Atmospheric Administration (NOAA), Commerce.

ACTION: Proposed rule; request for comments.

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SUMMARY: We, NMFS, propose to list the Maui's dolphin (Cephalorhynchus 
hectori maui) as endangered and the South Island Hector's dolphin (C. 
hectori hectori) as threatened under the Endangered Species Act (ESA). 
We have reviewed the best available scientific and commercial data and 
completed a comprehensive status review for these two subspecies of 
Hector's dolphin (C. hectori). The Maui's dolphin faces serious 
demographic risks due to critically low abundance, a low population 
growth rate, a restricted range, low genetic diversity, and ongoing 
threats such as bycatch in commercial and recreational gillnets. We 
have determined Maui's dolphin is currently in danger of extinction 
throughout its range and, therefore, meets the definition of an 
endangered species. The relatively more abundant and more widely 
distributed South Island Hector's dolphin has experienced large 
historical declines and is expected to continue to slowly decline due 
to bycatch and other lesser threats, such as disease and impacts 
associated with tourism. We have determined that this subspecies is not 
currently in danger of extinction throughout all or a significant 
portion of its range, but is likely to become so within the foreseeable 
future; and therefore, it meets the definition of a threatened species. 
Both subspecies occur only in New Zealand. We are authorized to 
designate critical habitat within U.S. jurisdiction only, and we are 
not aware of any areas within U.S jurisdiction that may meet the 
definition of critical habitat under the ESA. Therefore, we are not 
proposing to designate critical habitat. We are soliciting public 
comments on our status review report and proposal to list these two 
subspecies.

DATES: Comments on this proposed rule must be received by November 18, 
2016. Public hearing requests must be made by November 3, 2016.

ADDRESSES: You may submit comments on this document, identified by 
NOAA-NMFS-2016-0118, by either of the following methods:
     Electronic Submissions: Submit all electronic comments via 
the Federal eRulemaking Portal. Go to www.regulations.gov/#!docketDetail;D=NOAA-NMFS-2016-0118, click the ``Comment Now!'' icon, 
complete the required fields, and enter or attach your comments.
     Mail: Submit written comments to Lisa Manning, NMFS Office 
of Protected Resources (F/PR3), 1315 East West Highway, Silver Spring, 
MD 20910, USA.
    Instructions: Comments sent by any other method, to any other 
address or individual, or received after the end of the comment period, 
may not be considered by NMFS. All comments received are a part of the 
public record and will generally be posted for public viewing on 
www.regulations.gov

[[Page 64111]]

without change. All personal identifying information (e.g., name, 
address, etc.), confidential business information, or otherwise 
sensitive information submitted voluntarily by the sender will be 
publicly accessible. NMFS will accept anonymous comments (enter ``N/A'' 
in the required fields if you wish to remain anonymous).
    You can find the petition, status review report, Federal Register 
notices, and the list of references electronically on our Web site at 
http://www.nmfs.noaa.gov/pr/species/petition81.htm.

FOR FURTHER INFORMATION CONTACT: Lisa Manning, NMFS, Office of 
Protected Resources, [email protected], (301) 427-8466.

SUPPLEMENTARY INFORMATION: 

Background

    On July 15, 2013, we received a petition from WildEarth Guardians 
to list 81 marine species or populations as endangered or threatened 
species under the ESA. We determined that the petition had sufficient 
merit for further consideration, and status reviews were initiated for 
27 of the 81 species or populations, including the Hector's dolphin 
(Cephalorhynchus hectori; 78 FR 63941, October 25, 2013; 78 FR 66675, 
November 6, 2013; 78 FR 69376, November 19, 2013; 79 FR 9880, February 
21, 2014; and 79 FR 10104, February 24, 2014). This document addresses 
the proposed determination for the Hector's dolphin. The findings and 
relevant Federal Register notices for the other species and populations 
can be found on our Web site at http://www.nmfs.noaa.gov/pr/species/petition81.htm.

Listing Determinations Under the ESA

    We are responsible for determining whether species are threatened 
or endangered under the ESA (16 U.S.C. 1531 et seq.). To make this 
determination, we first consider whether a group of organisms 
constitutes a ``species'' under the ESA, then whether the status of the 
species qualifies it for listing as either threatened or endangered. 
Section 3 of the ESA defines a ``species'' to include ``any subspecies 
of fish or wildlife or plants, and any distinct population segment of 
any species of vertebrate fish or wildlife which interbreeds when 
mature.'' Maui's dolphin, C. hectori maui, and the South Island (SI) 
Hector's dolphin, C. hectori hectori, have been formally recognized as 
subspecies (Baker et al. 2002, Pichler 2002); and thus, each meets the 
ESA definition of a ``species.''
    Section 3 of the ESA defines an endangered species as ``any species 
which is in danger of extinction throughout all or a significant 
portion of its range'' and a threatened species as one ``which is 
likely to become an endangered species within the foreseeable future 
throughout all or a significant portion of its range.'' We interpret an 
``endangered species'' to be one that is presently in danger of 
extinction. A ``threatened species,'' on the other hand, is not 
presently in danger of extinction, but is likely to become so in the 
foreseeable future (that is, at a later time). In other words, the 
primary statutory difference between a threatened species and 
endangered species is the timing of when a species may be in danger of 
extinction, either presently (endangered) or in the foreseeable future 
(threatened).
    When we consider whether a species might qualify as threatened 
under the ESA, we must consider the meaning of the term ``foreseeable 
future.'' It is appropriate to interpret ``foreseeable future'' as the 
horizon over which predictions about the conservation status of the 
species can be reasonably relied upon. The foreseeable future considers 
the life history of the species, habitat characteristics, availability 
of data, particular threats, ability to predict threats, and the 
reliability to forecast the effects of these threats and future events 
on the status of the species under consideration. Because a species may 
be susceptible to a variety of threats for which different data are 
available regarding the species' response to that threat, or which 
operate across different time scales, the foreseeable future is not 
necessarily reducible to a particular number of years.
    Section 4(a)(1) of the ESA requires us to determine whether any 
species is endangered or threatened due to any one or a combination of 
the following five threat factors: The present or threatened 
destruction, modification, or curtailment of its habitat or range; 
overutilization for commercial, recreational, scientific, or 
educational purposes; disease or predation; the inadequacy of existing 
regulatory mechanisms; or other natural or manmade factors affecting 
its continued existence. We are also required to make listing 
determinations based solely on the best scientific and commercial data 
available, after conducting a review of the species' status and after 
taking into account efforts being made by any state or foreign nation 
to protect the species.
    In assessing the extinction risk of these two subspecies, we 
considered demographic risk factors, such as those developed by 
McElhany et al. (2000), to organize and evaluate the forms of risks. 
The approach of considering demographic risk factors to help frame the 
consideration of extinction risk has been used in many of our previous 
status reviews (see http://www.nmfs.noaa.gov/pr/species for links to 
these reviews). In this approach, the collective condition of 
individual populations is considered at the species level (or in this 
case, the subspecies level) according to four demographic viability 
factors: Abundance and trends, population growth rate or productivity, 
spatial structure and connectivity, and genetic diversity. These 
viability factors reflect concepts that are well-founded in 
conservation biology and that individually and collectively provide 
strong indicators of extinction risk.
    Scientific conclusions about the overall risk of extinction faced 
by Maui's dolphin and the SI Hector's dolphin under present conditions 
and in the foreseeable future are based on our evaluation of the 
subspecies' demographic risks and section 4(a)(1) threat factors. Our 
assessment of overall extinction risk considered the likelihood and 
contribution of each particular factor, synergies among contributing 
factors, and the cumulative impact of all demographic risks and threats 
on each subspecies.
    Section 4(b)(1)(A) of the ESA requires the Secretary, when making a 
listing determination for a species, to take into consideration those 
efforts, if any, being made by any State or foreign nation, or any 
political subdivision of a State or foreign nation, to protect the 
species. Therefore, prior to making a listing determination, we also 
assess such protective efforts to determine if they are adequate to 
mitigate the existing threats.

Status Review

    Status reviews for Maui's dolphin and the SI Hector's dolphin were 
completed by NMFS staff from the Office of Protected Resources. To 
complete the status reviews, we compiled the best available data and 
information on the subspecies' biology, ecology, life history, threats, 
and conservation status by examining the petition and cited references, 
and by conducting a comprehensive literature search and review. We also 
considered information submitted to us in response to our petition 
finding. A single draft status review report was prepared for the two 
subspecies and submitted to three independent peer reviewers; comments 
and information received from peer reviewers were addressed and 
incorporated as appropriate into the draft report. The draft status 
review

[[Page 64112]]

report (cited as Manning and Grantz 2016) is available on our Web site 
(see ADDRESSES section). In the sections below, we provide information 
from the report regarding threats to and the status of each subspecies.

Subspecies Descriptions

    The Hector's dolphin is one of the world's smallest dolphins and 
occurs only in the coastal waters of New Zealand. Hector's dolphins 
have short and stocky bodies, no external beak, and a relatively large 
fluke. They are easily distinguished by their distinctive black, white, 
and gray color patterns and their rounded dorsal fin, which has a 
shallowly sloping anterior edge and a convex posterior edge, and is 
unique to the genus (Dawson 2009). Lifespan is thought to be about 20 
years (Slooten 1991, Secchi et al. 2004b), and several dolphins have 
been aged to a minimum of 22 years based on photo-identification data 
(Rayment et al. 2009a, Webster et al. 2009). Hector's dolphins have a 
varied diet that includes cephalopods, crustaceans, and small fish 
species; however, relatively few prey species appear to comprise the 
bulk of their diet. Stomach content analysis indicates that common prey 
species include red cod (Pseudophycis bachus), ahuru (Auchenoceros 
punctatus), arrow squid (Nototodarus sp.), sprat (Sprattus sp.), sole 
(Peltorhamphus sp.), and stargazer (Crapatalus sp., Miller et al. 
2013).
    Females typically have their first calf at 7-9 years of age, and 
males likely reach sexual maturity at 6-9 years of age (Slooten 1991, 
Gormley 2009). Calving occurs in the austral spring and early summer, 
generally from November to February (Slooten and Dawson 1988, Slooten 
and Dawson 1994). Calves remain with their mothers for 1 to 2 years, 
although 2 years appears to be more common (Slooten and Dawson 1994). 
Females typically produce single calves every 2 to 4 years (Slooten and 
Dawson 1994), which gives a yearly birth rate between 0.33 and 0.5. 
Fecundity (i.e., the number of female offspring per female per breeding 
season) has been estimated as ranging from 0.165 to 0.250 (Secchi et 
al. 2004b, Gormley 2009).
    Hector's dolphins make few audible sounds, and their repertoire 
consists mainly of high frequency (112-130k Hz) clicks of either one or 
two short pulses (i.e., usually less than 200 [mu]s for single pulses 
and less than 400 [mu]s for double pulses, Dawson 1988a). Analyses of 
recorded vocalizations suggest Hector's dolphins use their 
vocalizations for fine discrimination, locating prey, and 
communicating, rather than large-scale navigation, for which lower 
frequency echolocation is required (Dawson 1988a, Dawson 1991a).
    Available data indicates that Hector's dolphins have small home 
ranges and high site fidelity (Bedjer and Dawson 2001, Br[auml]ger et 
al. 2002, Rayment et al. 2009a, Oremus et al. 2012). Based on multiple 
analyses of photo-identification data and genetic recapture data, the 
along-shore home range appears to be similar for both subspecies and is 
typically less than 50 km (Br[auml]ger et al. 2002, Rayment et al. 
2009a, Oremus et al. 2012). Home ranges also do not appear to differ 
between males and females (Br[auml]ger et al. 2002, Rayment et al. 
2009a).
    Historically, Hector's dolphins are thought to have been present 
along almost the entire coastlines of both the North and South Islands 
of New Zealand (Cawthorn 1988, Russell 1999, Pichler 2002, MFish and 
DOC 2007a). The two subspecies probably became initially separated by 
the opening of Cook Strait during the late Pleistocene and Holocene 
interglacial periods, and this isolation was likely maintained through 
behavioral mechanisms such as natal philopatry and small home ranges 
(Pichler 2002, Baker et al., 2002, Dawson 2009). Currently, Maui's 
dolphins occur along the northwest coast of the North Island, between 
Maunganui Bluff in the north and Whanganui in the south (Currey et al. 
2012). Occasional sightings and strandings have also been reported from 
areas farther south along the west coast as well as in areas such as 
Hawke Bay on the east coast of the North Island (Baker 1978, Russell 
1999, Ferreira and Roberts 2003, Slooten et al. 2005, MFish and DOC 
2007a, Du Fresne 2010). The SI Hector's dolphin currently has a 
fragmented distribution around the South Island (Dawson et al. 2004, 
Rayment et al. 2011b) and consists of at least three genetically 
distinct, regional populations (Pichler 2001, Pichler 2002, Hamner et 
al. 2012a). SI Hector's dolphins are most abundant around Banks 
Peninsula, Cloudy Bay, and Cliffords Bay on the east coast and along 
the central west coast. Distinct and localized populations also occur 
on the south coast in Te Waewae Bay, Toetoe Bay, and Porpoise Bay 
(Dawson and Slooten 1988b, Clement et al. 2011, Hamner et al. 2012a, 
Rodda 2014, Mackenzie and Clement 2014). The connectivity between these 
regional populations, especially the south coast populations, appears 
to be limited (Bejder and Dawson 2001, Hamner et al. 2012a). Hector's 
dolphins do not appear to occur offshore of or within the deep water 
fiords of Fiordland, although they have been sighted there on rare 
occasions (Dawson and Slooten 1988b, MFish and DOC 2007a).
    Hector's dolphins are typically sighted within about 20 nautical 
miles (nmi; 37.0 km) of the shore and in water less than 100 m deep 
(Slooten et al. 2005, Mackenzie and Clement 2014, Rayment et al. 2011b, 
Mackenzie and Clement 2016). For the North Island, an extensive review 
by Du Fresne (2010) of both published scientific surveys and 
unpublished opportunistic sightings data indicates that Maui's dolphins 
are most frequently found within 4 nmi (7.4 km) of the coast but do 
occasionally occur at least as far as 7 nmi (13.0 km) offshore. Off the 
South Island, differences in distribution patterns have been observed 
for the west and east coasts that may be driven in part by differences 
in bathymetry or location of the shelf break. On the west coast, the 
100 m isobath is always within 13 nmi (24.1 km) of the coast, and in 
some places as close as 5 nmi (9.3 km); whereas, off Banks Peninsula on 
the east coast, the 100 m isobath is 16 to 30 nmi (29.6 to 55.6 km) 
offshore (Rayment et al. 2011b). SI Hector's dolphins are typically 
within 8 nmi (14.8 km) from shore on the east coast of the South Island 
and within 3 nmi (5.6 km) from shore on the west coast (Rayment et al. 
2010b, 2011b, Mackenzie and Clement 2013, Mackenzie and Clement 2016). 
However, SI Hector's dolphins have been sighted at least occasionally 
as far as about 20 nmi (37.0 km) from shore on both coasts (Rayment et 
al. 2010b, 2011b, MacKenzie and Clement 2016).
    Seasonal changes in this nearshore distribution are evident for at 
least some populations of Hector's dolphins, with distributions often 
extending farther from shore in the winter relative to the warmer 
months. For example, based on aerial surveys that extended as far as 20 
nmi offshore (37.0 km) of Banks Peninsula and were conducted over 3 
years (2002, 2004, and 2005), Rayment et al. (2010b) found that winter 
sightings extended as far as 18.2 nmi (33.6 km) offshore, compared to 
16.3 nmi (30.2 km) in summer; and, while only 7 percent of all dolphins 
were sighted beyond the 50 m isobath in summer, 44 percent of all 
dolphins were sighted beyond the 50 m isobath in winter. Slooten et al. 
(2005) report a similar change in distribution for Maui's dolphins 
between summer and winter aerial surveys conducted in 2004/2005. 
Similar seasonal changes in SI Hector's dolphin distribution relative 
to shore and water depth have also been detected in comparisons of 
summer and winter sightings data for the west coast of the South 
Island; however, the observed

[[Page 64113]]

seasonal shift on the west coast is less dramatic relative to that on 
the east coast (Rayment et al. 2011b, Mackenzie and Clement 2014).

Summary of ESA Section 4(a)(1) Factors Affecting Maui's Dolphin

    Available information regarding historical, current, and potential 
threats to Maui's dolphins was thoroughly reviewed and is discussed in 
detail in the status review report (Manning and Grantz 2016). We 
summarize information regarding these threats below according to the 
factors specified in section 4(a)(1) of the ESA.
    In August 2007, the New Zealand Department of Conservation (DOC) 
and the Ministry for Primary Industries (MPI, formerly called the 
Ministry of Fisheries or MFish) released a draft Threat Management Plan 
(TMP) for Hector's dolphins. This plan describes the nature and level 
of actual and potential threats to Maui's dolphins, as well as 
strategies to address those threats. In addition, in June 2012, DOC and 
MPI convened a risk assessment workshop to inform their review of the 
Maui's dolphin portion of the TMP. The results of this semi-
quantitative risk assessment are available in the report by Currey et 
al. (2012). The report identifies, evaluates, and rates threats to 
Maui's dolphins based on scoring by an expert panel. Both the TMP and 
the risk assessment report greatly informed our assessment, as 
summarized below.

The Present or Threatened Destruction, Modification, or Curtailment of 
Its Habitat or Range

    Threats to the habitat of Maui's dolphins include pollution, 
mining, oil and gas development activities, acoustic disturbance 
(Currey et al. 2012).
    Persistent chemical pollutants are a concern for many cetacean 
species, which theoretically can accumulate high concentrations of 
contaminants due to their longevity, high trophic-level, and naturally 
high blubber content (Stockin et al. 2010). Contaminants are also 
specifically a concern for Hector's dolphins due to the dolphins' 
coastal distribution and thus close proximity to agricultural and 
industrial activities. Toxicological studies of contaminants, such as 
polychlorinated biphenyls (PCBs) and organochlorine (OC) pesticides, 
are limited for Maui's dolphins, and studies on emerging contaminants, 
such as brominated flame retardant (PBDEs) and perfluorinated 
chemicals, have yet to be done. Numerous studies on other cetacean 
species have linked contaminants, such as heavy metals, PCBs, and OC 
pesticides, with biological impacts, including endocrine disruption, 
reproductive impairment, immune suppression, and elevated infectious 
disease (e.g., Fujise et al. 1988, Kuiken et al. 1994, Jepson et al. 
2005, O'Hara and O'Shea 2001, Schwacke et al. 2002, Wells et al. 2005). 
Stockin et al. (2010) examined PCB and OC contaminant loads in stranded 
or entangled Hector's dolphins (n=27, SI Hector's dolphins; n=3, Maui's 
dolphins) sampled from 1997 to 2009. Results indicated high 
concentrations of these chemicals in both subspecies, and a roughly 
two-fold increase in levels of OC pesticides than had been previously 
reported for Hector's dolphins by Jones et al. (1999). However, as 
noted by Stockin et al. (2010), no PCB concentrations were above 
thresholds associated with reproductive and immunological effects 
(Stockin et al. 2010).
    Pollution in the form of plastic marine debris from both marine and 
land-based sources can accumulate in, and degrade, Maui's dolphins' 
habitat. Plastics and other synthetic, non-biodegradable materials in 
the marine environment create the potential for entanglement, injury, 
and ingestion. Although data are lacking to evaluate whether and the 
extent to which this threat is impacting Maui's dolphins, Currey et al. 
(2012) did identify plastics as being likely to affect population 
trends over the next 5 years. Plastic bags have been identified as a 
concern in particular, because they may be mistaken for squid, a common 
prey item for Maui's dolphins.
    Interest in marine minerals mining along the North Island of New 
Zealand has been growing in recent years, with prospecting and 
exploration occurring mainly from Manukua Harbor south to New Plymouth 
(Thompson 2012). Exploration activities have mainly targeted iron sands 
or titanomagnetite (Thompson 2012). According to New Zealand Petroleum 
and Minerals (NZPM), which is the government agency responsible for 
issuing mining permits for New Zealand's oil, gas and mineral 
resources, demand and exploration for petroleum (oil and gas) is also 
increasing, and multiple areas within the range of Maui's dolphins are 
covered under existing prospecting, exploration, and mining permits. 
Mineral mining activities involving the large scale removal of sediment 
from the seabed are likely to lead to relatively long term (3-10 year) 
changes to benthic community composition, thereby altering prey 
availability and benthic topography (Thompson 2012). Other potential, 
unintended side-effects include the mobilization and accidental 
spilling of contaminants and exposure to greater levels of vessel 
traffic (Thompson 2012). Acoustic disturbance, such as from seismic 
surveys, sonar, and drilling activities, also poses a potential threat 
to Maui's dolphins, because it may have negative physical or 
physiological effects, such as shifts in hearing thresholds, and may 
disrupt normal behaviors, including navigating, migrating, and feeding 
(Gordon et al. 2003; Thompson 2012).
    The extent to which Maui's dolphins are currently being impacted by 
these and other habitat-related threats is assumed to be small. These 
threats have been characterized as having mainly sub-lethal effects, 
and combined, may currently be responsible for less than 4.5 percent of 
all Maui's dolphin mortalities (Currey et al. 2012). However, it is 
probable that Maui's dolphin habitat will become increasingly degraded 
as a result of pollution and acoustic and benthic disturbances due to 
increasing human pressure and demand for mineral and petroleum 
resources (MFish and DOC 2007b).

Overutilization for Commercial, Recreational, Scientific or Educational 
Purposes

    Overutilization of Maui's dolphins for commercial, recreational, 
scientific, or educational purposes does not appear to pose a 
significant threat to Maui's dolphin. Maui's dolphins have not been 
exploited commercially; although, Baker (1978, citing Abel et al. 1971) 
noted that, between 1969 and 1972, a few Hector's dolphins were taken 
for live exhibition at Marineland of New Zealand. It's not clear which 
subspecies was taken. Hector's dolphins have also apparently been taken 
for food, oil, and bait; however, the extent to which this occurred is 
unknown (Pichler et al. 2003).
    There is some evidence that commercial dolphin-watching vessels and 
swim-with-dolphin operations cause behavioral changes in Hector's 
dolphins (Bejder et al. 1999, Constantine 1999, Martinez et al. 2012). 
Such tourism activities, however, seem to occur at a relatively low 
intensity within the range of Maui's dolphins and instead are much more 
concentrated elsewhere--mainly the Bay of Islands and the Bay of Plenty 
on the east coast of the North Island and various locations of the 
South Island (Martinez 2010b). Although tourism and the potential 
related impacts of boat strike, noise, and displacement were identified 
as threats in the risk assessment completed by Currey et al. (2012), 
the expert panel did not think these threats were likely to affect 
population trends within the next 5 years.

[[Page 64114]]

Disease or Predation

    Predation of Hector's dolphins by several shark species, such as 
seven-gill sharks (Notorhynchus cepedianus) and blue sharks (Prionace 
glauca), is known to occur; however, predation rates are not known 
(Slooten and Dawson 1988). Predation was not considered to be posing a 
threat to Maui's dolphins in the recent risk assessment by Currey et 
al. (2012).
    Disease is another known source of mortality for Hector's dolphins. 
In their evaluation, Currey et al. (2012) categorized natural disease, 
stress-induced disease, and domestic animal vectors as posing threats 
that are likely to have population level effects on Maui's dolphins 
within the next 5 years. Prevalence of infectious disease and 
associated behavioral impacts and mortality rates have not been well 
studied in Hector's dolphins, so the significance of this source of 
mortality remains unclear. Recently, Roe et al. (2013) found that 7 of 
28 Hector's dolphins (25 percent), including 2 of 3 Maui's dolphins, 
collected between 2007 and 2011 and later necropsied had died as a 
result of Toxoplasma gondii infection. Of the 22 dolphins for which a 
definitive cause of death was established, a total of ten (45 percent) 
were found to have died from infectious disease (T. gondii infections, 
bacterial infection, or fungal infection). These findings suggest that 
infectious disease may be a significant source of mortality for 
Hector's dolphins. In addition, while toxoplasmosis is typically a 
secondary disease in cetaceans, resulting in symptoms in 
immunosuppressed individuals rather than healthy individuals, there was 
no evidence of immunosuppression in these cases (Roe et al. 2013). This 
finding suggests that Hector's dolphins may be particularly susceptible 
to toxoplasmosis. Roe et al. (2013) also note that toxoplasmosis may 
have other effects beyond direct mortality and could be an important 
cause of neonatal loss. The source of the T. gondii infection could not 
be determined in this study, but exposure may be occurring through 
freshwater run-off from terrestrial sources (Roe et al. 2013). Overall, 
while data remain limited for Maui's dolphins, the available data 
suggest that disease, especially toxoplasmosis, is posing a threat to 
Maui's dolphins.

Inadequacy of Existing Regulatory Mechanisms

    A number of regulatory measures have been put in place to address 
bycatch of Maui's dolphins. Although data on bycatch of Maui's dolphins 
are limited, fishery-related mortality has been identified as posing a 
significant threat to Maui's dolphins. The risk assessment completed by 
Currey et al. (2012) attributed 95.5 percent of the estimated human-
caused mortalities forecasted to occur over the next 5 years to legal 
and illegal fishing-related activities. This translated into an 
estimated median of 4.97 Maui's dolphin mortalities per year due to 
fishing activities (95 percent confidence interval (CI) = 0.28--8.04). 
To help inform the risk assessment of Currey et al. (2012), Wade et al. 
(2012) calculated the Potential Biological Removal (PBR) for Maui's 
dolphins and estimated it as one dolphin mortality every 10 to 23 
years. PBR, which is a management tool specific to the U.S. Marine 
Mammal Protection Act (MMPA) is used to evaluate allowable levels of 
human-caused mortality (Wade 1998; Wade et al. 2012). (PBR is defined 
under section 3 of the MMPA as the maximum number of animals, not 
including natural mortalities, that may be removed from a marine mammal 
stock while allowing that stock to reach or maintain its optimum 
sustainable population (16 U.S.C. 1362).) This analysis indicates that 
the estimated bycatch mortality of Maui's dolphins greatly exceeds PBR.
    The DOC maintains a database of reports from the public of dead and 
stranded Hector's dolphins, and between 1921 and 2008, 45 percent of 
the reports for Maui's dolphins (4 of 11 dolphins) for which cause of 
death could be determined were found to have died due to ``possible,'' 
``probable,'' or ``known'' entanglement (http://www.doc.govt.nz/our-work/hectors-and-maui-dolphin-incident-database/1921-2008/). Between 
July 2008 and January 2016, the DOC Incident Database lists an 
additional four confirmed Maui's dolphins, and of the two with 
determinable causes of death, one was an adult female found dead in 
January 2012 from entanglement in a commercial net set (http://www.doc.govt.nz/our-work/hectors-and-maui-dolphin-incident-database/). 
(The other dolphin was recorded as having died due to natural causes.)
    Bycatch of Maui's dolphins occurs mainly in gillnet gear, but 
bycatch in trawl gear is likely also posing a threat (Bird and Palka 
2013). Although commercial gillnetting had been practiced in New 
Zealand since 1930 (DOC and MFish 1994), fishing effort was low until 
the mid-1970s (Dawson 1991). By the 1980's, bycatch of dolphins in 
gillnets became a serious concern in New Zealand (Dawson and Slooten 
2005). Eventually, in 2003, MFish began to address bycatch of Maui's 
dolphins by closing waters to set netting from Maunganui Bluff to 
Pariokariwa Point out to 4 nmi (7.4 km) and inside the entrance to the 
Manukau Harbor. Trawling was also prohibited out to 2 nmi (3.7 km) 
along most of this same stretch of coastline and out to 4 nmi within a 
short portion of the Maui's dolphin's core range (see Figure 7 in 
Manning and Grantz 2016). Commercial and recreational gillnetting 
continued within harbors and in the southern portion of the Maui's 
dolphin range.
    In 2007, when the draft TMP was released, the MPI and DOC concluded 
that bycatch was still the most serious threat to Hector's dolphins. In 
2008, MFish expanded protection for Maui's dolphins by extending the 
set netting closure out to 7 nmi (13.0 km; instead of 4 nmi (7.4 km)) 
and farther into Manukau Harbor. Then, in 2012, following an 
entanglement of a Maui's dolphin off Cape Egmont, an interim ban was 
put in place from Pariokariwa Point south to Hawera for all set netting 
out to 2 nmi (Gazette, 28 June 2012) and for commercial set netting 
between two and seven nautical miles offshore unless an MPI observer 
was on board (see Figure 8 in Manning and Grantz 2016). In 2013, the 
MPI determined that their interim measures would be made permanent (MPI 
and DOC 2013).
    This steady expansion of area-based, bycatch-reduction measures 
along the west coast of the North Island has resulted in a substantial 
level of protection for Maui's dolphins. However, bycatch remains a 
concern for Maui's dolphins, because current fisheries restrictions do 
not extend throughout their range and certain forms of fishing still 
occur within the core portion of the subspecies' range. In particular, 
commercial and non-commercial set netting occur within all west coast 
harbors, with all areas within the harbors, from intertidal areas to 
the deeper channels, being fished for species like flounder, mullet, 
and rig (MFish and DOC 2007b). Sightings data (Slooten et al. 2005) and 
passive acoustic data (Rayment et al. 2011a) indicate that Maui's 
dolphins occur at least occasionally within west coast harbors and 
therefore may be at risk of entanglement in these areas (MFish and DOC 
2007b). In addition, the southern extension of the gillnetting 
prohibitions that was put in place in 2012 only extends out to 2 nmi 
(3.7 km) from shore, as opposed to the 7 nmi (13 km) boundary elsewhere 
along the west coast. Beyond 2 nmi, gillnetting is permitted in this 
portion of the range if an MPI observer is on board. Furthermore, the 
extension of the closed area in the southern portion of the

[[Page 64115]]

dolphin's range may not extend far enough southward. The risk 
assessment of Currey et al. (2012) used survey and non-survey sightings 
data to develop a distribution for Maui's dolphins that extends to 
Whanganui, which is about 70 km south of the current gillnet closed 
area boundary at Hawera. Trawling also continues in waters past the 
existing 2 nmi or 4 nmi offshore boundary for the trawling closed 
area--even in the core portion of the Maui's dolphin's range. Currey et 
al. (2012) concluded that trawling in this zone was a source of 
continued bycatch risk for Maui's dolphins.
    Before the protected area extensions in 2012, estimated bycatch was 
about 4.69 to 13.01 dolphins per year or about 75 times the PBR of 
0.044-0.1 Maui's dolphins per year (Currey et al. 2012).). The recent 
extensions to the protection measures have reduced the estimated 
bycatch to 3.28-4.16 Maui's dolphin mortalities per year or about 54 
times PBR (Slooten 2014).
    A series of regulations have been put in place to address some of 
the threats associated with mining and petroleum industry activities. 
The West Coast North Island Marine Mammal Sanctuary (WCNIMMS) was 
established in 2008 as part of the draft TMP, and restrictions were put 
in place on seabed mining and acoustic seismic surveys within the 
sanctuary. In particular, seabed mineral mining was prohibited out to 2 
nmi (3.7 km) along the full length of the sanctuary and out to 4 nmi 
(7.4 km) south of Raglan Harbor to north of Manakau Harbor. However, a 
large swath of the sanctuary, which extends out 12 nmi (22.2 km) from 
the coast, remains open to mining. A range of operational requirements 
has been specified for seismic surveying within the sanctuary (Gazette: 
Gazette, 25 September 2008), including mandatory notification prior to 
conducting surveys and mandatory reporting of any interactions with 
dolphins. Qualified marine mammal observers are required on all survey 
ships to help ensure that no whales or dolphins are too close to the 
ship. When visibility is poor, hydrophones must be used to listen for 
whale and dolphin sounds (Gazette, 25 September 2008). In August 2012, 
the DOC Minister and the Minister of Energy and Resources developed a 
voluntary ``Code of Conduct for Minimizing Acoustic Disturbance to 
Marine Mammals from Seismic Surveys Operations.'' This voluntary 
guidance was intended to increase protections for Maui's dolphins, in 
part by identifying their entire historical range out to 100m water 
depth as an ``Area of Ecological Significance,'' which triggers 
additional mitigation requirements. Shortly thereafter, in November 
2013, the DOC and MPI announced a decision to formally regulate seismic 
surveying and make the 2012 code of conduct a mandatory standard. The 
mandatory code of conduct applies to Territorial waters, the Exclusive 
Economic Zone (EEZ) of New Zealand, and within all marine mammal 
sanctuaries, and it continues to include requirements for planning, 
operations, monitoring, and reporting. The 2013 code of conduct is 
currently undergoing review and may be further augmented to increase 
protections for Maui's dolphins and other species of concern.
    As indicated in the discussion above, there are gaps in the current 
regulatory protections for Maui's dolphins. Population viability 
analyses performed under previous management scenarios have predicted 
continued declines in abundance of Maui's dolphins or failure to 
recover (Burkhart and Slooten 2003, Slooten 2007a), as do more recent 
analyses under the current fisheries management regime (Slooten 2013). 
More recent modelling work also indicates that recovery of this 
subspecies will occur only under circumstances where human-induced 
mortality is extremely minimal (Wade et al. 2012; Slooten 2013). 
Therefore, we conclude that while the protections for Maui's dolphins 
have gradually increased from 2003 to present, there is insufficient 
evidence to conclude that current regulatory measures are adequate in 
terms of addressing threats to this subspecies.

Other Natural or Manmade Factors Affecting Its Continued Existence

    Other threats identified in the 2012 risk assessment and 
characterized as being likely to affect population trends within the 
next 5 years include fishing vessel noise, disturbance, and trophic 
effects of fishing; however, these threats were considered to 
collectively make very limited contributions to the overall level of 
human-caused mortality (Currey et al. 2012). Although vessel traffic 
and its associated impacts of disturbance and boat strikes were 
considered to contribute little to annual mortality of Maui's dolphins, 
mortality due to vessel traffic was rated as having a 47.8 percent 
chance of exceeding PBR (Currey et al. 2012). Due to their coastal 
distribution and apparent attraction to small boats (Baker 1978, 
Slooten and Dawson 1988), the potential for boat strikes could be 
considered relatively high, but reports of boat strikes have been 
extremely rare (Stone and Yoshinaga 2000a). None of the reports within 
the DOC Incident Database from July 2008 to April 2016 are listed with 
boat strike as the cause of death.

Summary of ESA Section 4(a)(1) Factors Affecting SI Hector's Dolphin

    Available information regarding historical, current, and potential 
threats to SI Hector's dolphins was thoroughly reviewed and is 
discussed in detail in the status review report (Manning and Grantz 
2016). We summarize information regarding these threats below according 
to the factors specified in section 4(a)(1) of the ESA.

The Present or Threatened Destruction, Modification, or Curtailment of 
Its Habitat or Range

    As discussed earlier for Maui's dolphins, persistent chemical 
pollutants are a concern for SI Hector's dolphins, which can 
theoretically accumulate high concentrations of contaminants due to 
their longevity, high trophic-level, and naturally high blubber content 
(Stockin et al. 2010). In cetaceans, biological impacts resulting from 
accumulation of contaminants such as heavy metals, PCBs, and 
organochlorine (OC) pesticides include endocrine disruption, 
reproductive impairment, immune suppression, and elevated infectious 
disease (e.g., Fujise et al. 1988, Kuiken et al. 1994, O'Hara and 
O'Shea 2001, Schwacke et al. 2002, Jepson et al. 2005, Wells et al. 
2005). As previously mentioned, Stockin et al. (2010) found high PCB 
and OC contaminant loads in Hector's dolphins (n=27, SI Hector's 
dolphins; n=3, Maui's dolphins) sampled from 1997 to 2009, and a 
roughly two-fold increase in levels of OC pesticides than had been 
previously reported for Hector's dolphins by Jones et al. (1999). 
However, no PCB concentrations were above thresholds associated with 
reproductive and immunological effects (Stockin et al. 2010). High 
levels of polychlorinated dibenzo-p-dioxins (PCDDs) and dibenzofurans 
(PCDFs), which are two related and ubiquitous chemical contaminants, 
were also found to occur at unexpected levels in the blubber of six SI 
Hector's dolphins (Buckland et al. 1990).
    Plastic marine debris is also a concern for SI Hector's dolphins. 
Plastics and other synthetic, non-biodegradable materials in the marine 
environment create the potential for entanglement, injury, and 
ingestion by various marine species. As with other marine mammals, 
Hector's dolphins may become entangled and subsequently wounded, or 
have impaired foraging ability, and/or increased susceptibility to 
predation. Ingestion of plastics by marine species has been associated 
with a multitude of

[[Page 64116]]

impacts including blockage of the digestive tract, starvation, 
reduction in reproductive capacity, drowning, and possible accumulation 
of toxic compounds (Laist 1997, Gregory 2009). Plastic debris was found 
in the stomach of a SI Hector's dolphin that stranded along the coast 
of the Canterbury region, and there are anecdotal reports of SI 
Hector's dolphins off Banks Peninsula with fishing line or netting 
entangling the head or upper body and cutting into the blubber (MFish 
and DOC 2007b).
    Mining occurs along the west coast of the South Island where there 
are significant nearshore and beach deposits of ilmenite (mined mainly 
for titanium dioxide). The TMP for Hector's dolphins identified 
possible impacts of mining activity, including loss or reduction in 
prey species, noise, and vessel disturbance (MFish and DOC 2007b). 
Based on a search of the NZPM's map in June 2016 (http://data.nzpam.govt.nz/permitwebmaps?commodity=minerals), a large portion 
of the SI Hector's dolphin west coast range is included in a 
prospecting permit application, indicating the potential for continued 
mining activity in this region.
    Prospecting permits for petroleum cover large areas along the 
southeastern coast of the South Island (http://data.nzpam.govt.nz/permitwebmaps?commodity=petroleum, June 2016). Drill ships are also 
operated off Canterbury and along the west coast of the South Island. 
Potential habitat impacts from these activities include oil spills; 
increased vessel traffic; and acoustic disturbances from seismic 
surveys, sonar, and drilling activities. Contaminants in oil and gas 
may impact the health of the dolphins, and the associated noise may 
disrupt normal behaviors, such as navigating, migrating, and feeding 
(Gordon et al. 2003, Thompson 2012).
    Overall, it is clear that SI Hector's dolphins are exposed to 
multiple habitat-related threats. However, the extent to which SI 
Hector's dolphins are being impacted--both individually and at a 
population level--by these habitat-related threats is not yet 
established due to insufficient data (MFish and DOC 2007b). It is 
possible that SI Hector's dolphin habitat will become increasingly 
degraded in the future with increasing human use of the coastal zone 
and its resources (MFish and DOC 2007b).

Overutilization for Commercial, Recreational, Scientific or Educational 
Purposes

    Hector's dolphins have not been systematically captured for any 
commercial, recreational, scientific, or educational purposes; 
although, as noted earlier, a few Hector's dolphins have been taken for 
live exhibition. While Hector's dolphins have also apparently been 
taken for food, oil, and bait, the extent to which this occurred is not 
known (Pichler et al. 2003).
    There is growing evidence that overutilization in the form of 
commercial dolphin-watching and swim-with-dolphin operations, which are 
increasingly popular tourist activities in New Zealand, are a concern 
for SI Hector's dolphins. The majority of the commercial viewing and 
encounter operations in New Zealand occur around the South Island and 
are especially popular along the east coast off Kaikoura and within 
Akaroa Harbor, which have become major eco-tourist destinations in New 
Zealand (Martinez 2010b). Within Akaroa Harbor, and as of 2010, there 
were up to about 18 daily `swim-with' trips and 14 dolphin-watching 
trips per day between November and March that specifically targeted 
Hector's dolphins (Martinez 2010b). In addition to permitted commercial 
operations, opportunistic viewing also occurs by both commercial and 
recreational boaters.
    Dolphin-watching and swim-with-dolphin operations have been shown 
to cause behavioral changes in Hector's dolphins (Bejder et al. 1999, 
Constantine 1999, Martinez et al. 2012). In a study of SI Hector's 
dolphins in Porpoise Bay, Bejder et al. (1999) found that while SI 
Hector's dolphins were not displaced by dolphin-watching tour boats, 
the dolphins did respond by approaching the boats, especially 
initially, and by forming significantly tighter groupings. A possible 
interpretation of the behavioral response of `bunching' is that the 
boat is perceived as some kind of threat and may in fact cause the 
animals some level of stress (Constantine 1999). In Akaroa Harbor, 
Martinez (2010b) found that both diving--which is considered a feeding 
behavior--and travelling were significantly disrupted by vessel 
interactions. Evidence also indicates that the use of sounds to attract 
Hector's dolphins to swimmers affects the behavior of the dolphins 
(Martinez et al. 2012). For example, both the number and the duration 
of close interactions or approaches by Hector's dolphins were 
significantly greater when a swimmer banged two rocks together 
underwater (Martinez et al. 2012). Such deliberate efforts to attract 
Hector's dolphins could have behavioral consequences such as disrupted 
or reduced foraging time, which in turn can have biological 
consequences (Martinez et al. 2012). For some regional dolphin 
populations, a relatively large portion of that population can be 
exposed to the tourist activities occurring in a particular harbor or 
area. For example, about 80 percent of the SI Hector's dolphins that 
were photo-identified in surveys around Banks Peninsula between 1985 
and 2006 had alongshore home ranges that included Akaroa Harbor, and 
for half of these dolphins, Akaroa Harbor served as a core use or 
``hub'' area (Rayment et al. 2009a).
    Longer-term impacts of these tourism activities on SI Hector's 
dolphins are not yet clear but could include physiological stress, 
reduced energy intake, and possibly even reduced calving success. 
Linkages between immediate behavioral responses to vessel traffic and 
longer-term biological consequences have already been established for 
other species (e.g., Tursiops sp.) and include declines in abundance 
and reduced reproductive success in females (Bejder et al. 2006a, 
2006b, 2006c). Given this information and the fact that SI Hector's 
dolphin populations encounter dolphin-watching operations in multiple 
areas of their range (e.g., Porpoise Bay, Timaru, Akaroa Harbor, and 
Marlborough Sounds), dolphin-watching and `swim-with' activities are 
likely posing a significant but sub-lethal threat to this subspecies. 
The actual magnitude of this threat cannot yet be established, but this 
threat is likely to persist given the popularity and lucrativeness of 
the eco-tourism industry in New Zealand.

Disease or Predation

    As previously mentioned, predation of Hector's dolphins by several 
shark species, such as broadnose seven-gill sharks (N. cepedianus) and 
blue sharks (P. glauca), is known to occur (Slooten and Dawson 1988). 
Although seven-gill sharks are particularly common around Banks 
Peninsula, predation rates are not known (Slooten and Dawson 1988), and 
there is no evidence to suggest predation is posing a threat to this 
subspecies.
    Prevalence of infectious disease and associated impacts have not 
yet been well studied in Hector's dolphins, but recent evidence 
suggests that infectious disease may be a significant source of 
mortality for SI Hector's dolphins. In particular, Roe et al. (2013) 
found that out of 22 dolphins collected between 2007 and 2011 for which 
a definitive cause of death was established, a total of ten (45 
percent) had died due to infectious disease (Toxoplasma gondii 
infections, bacterial infection, or fungal infection). Five of the 22 
SI Hector's dolphins (23 percent) were found to

[[Page 64117]]

have died as a result of T. gondii infection (toxoplasmosis, Roe et al. 
2013). While toxoplasmosis is typically a secondary disease in 
cetaceans, resulting in symptoms in immunosuppressed individuals rather 
than healthy individuals, there was no evidence of immunosuppression in 
these cases, suggesting that Hector's dolphins are particularly 
susceptible to toxoplasmosis (Roe et al. 2013). Beyond direct 
mortality, toxoplasmosis can also have other biological consequences, 
such as behavioral changes, reduced reproductive rate, and neonatal 
loss. Because the fatal cases of T. gondii infection in this study were 
distributed throughout almost the entire range of the SI Hector's 
dolphin, exposure is probably occurring over broad areas. Overall, the 
available data suggest that disease, especially toxoplasmosis, is 
posing a threat to SI Hector's dolphins.

Inadequacy of Existing Regulatory Mechanisms

    As with Maui's dolphins, a number of regulatory measures have been 
put in place to address bycatch of SI Hector's dolphins. As previously 
noted, by the 1980's, bycatch of Hector's dolphins in commercial and 
recreational gillnets was recognized as a serious issue in New Zealand 
(Dawson and Slooten 2005). In the South Island, a region of particular 
concern was the Pegasus Bay and Canterbury Bight area along the east 
coast, where there was a known high degree of overlap between inshore 
gillnetting and a locally abundant population of SI Hector's dolphins. 
To begin to quantify the level of bycatch, Dawson (1991b) conducted 
fisherman interviews during 1984-1988 and found that at least 230 SI 
Hector's dolphins had died due to entanglement in commercial and 
recreational gillnets in the Pegasus Bay and Canterbury Bight region 
during this period. Ages of entangled dolphins that were physically 
examined (n=43) ranged from younger than 1 year to about 20 years old, 
but a high proportion (63 percent) were 3 years old or younger, 
suggesting that younger dolphins are especially vulnerable to 
entanglement (Dawson 1991b). Overall, this level of bycatch (i.e., 230 
over 4 years or about 57.5 entanglement mortalities per year), greatly 
exceeded the estimated population growth rate for this regional 
population (1.8-4.9 percent or 13.3-36.3 individuals per year; Dawson 
and Slooten 1988b, Slooten and Lad 1991). Subsequent analyses based on 
observer data, suggested that bycatch rates during this period (1984-
1988) were actually much higher, averaging 100 dolphins per year 
(Davies et al. 2007).
    Released in 2007, the TMP for Hector's dolphins identified set 
gillnetting as the greatest source of human-caused mortality of 
Hector's dolphins but also discussed how SI Hector's dolphins are 
incidentally captured in other gear types (MFish and DOC 2007b). 
Between 1921 and when the TMP was released, the DOC Incident Database 
indicates there had been 19 reports of Hector's dolphin mortalities due 
to trawls, which corresponds to 9 percent of the reported incidents 
with a known cause of death. All 19 of these reports occurred off the 
South Island within 2 nmi (3.7 km) of shore (MFish and DOC 2007b). 
Entanglement deaths of SI Hector's dolphins have also occurred in pot 
traps (e.g., rock lobster pots). Three such incidents were reported (in 
1989, 1997, and 2004) and all occurred off Kaikoura, which is along the 
northeast coast of the South Island (MFish and DOC 2007b).
    In reaction to the growing concern over bycatch of Hector's 
dolphins, the DOC established the Banks Peninsula Marine Mammal 
Sanctuary (BPMMS) in 1988. When it was first established, the sanctuary 
extended from Sumner Head to the Rakaia River and out to 4 nmi (7.4 
km), covering an area of about 1,140 sq km. All gillnetting within the 
sanctuary (with some harbor exceptions) was prohibited from November 
through February, and additional gear restrictions that applied 
throughout the remainder of the year essentially resulted in a year-
round ban of commercial gillnetting within the sanctuary (Dawson and 
Slooten 1993). Additional restrictions on recreational gillnetting, 
such as limiting fishing to daylight hours only and requiring 
continuous tending of nets, were also enacted to help further reduce 
bycatch mortality. Based on fisheries observer data, bycatch in 
gillnets continued to occur to the immediate north and south of the 
sanctuary at unsustainable levels (Baird and Bradford 2000, Dawson and 
Slooten 2005), and there was little evidence of improved survival of SI 
Hector's dolphins within the sanctuary (Cameron et al. 1999). In 
recognition that further protection of SI Hector's dolphins was needed, 
the sanctuary boundaries were expanded in 2008 to the north and south 
and out to 12 nmi (22.2 km) offshore, but no restrictions on fishing 
activities were applied to the area beyond the original 4 nmi (7.4 km) 
sanctuary boundary (MFish and DOC 2007b, DOC 2008). The sanctuary 
currently encompasses about 4,130 sq. km and 389 km of coastline.
    In addition to the expansion of BPMMS, a series of fishing 
restrictions were put in place in 2008 to reduce bycatch of SI Hector's 
dolphins elsewhere around the South Island. Along the east and south 
coasts, from Cape Jackson in the Marlborough Sounds to Sandhill Point 
east of Fiordland, commercial gillnetting was banned out to 4 nmi (7.4 
km) from shore, except at Kaikoura, where it was banned out to 1 nmi 
(1.9 km), and in Te Waewae Bay, where it is banned out to about 9 nmi 
(16.7 km) from shore (MFish 2008). Recreational gillnetting was allowed 
to continue in specified harbors and estuaries; and, in the case of 
flatfishing (e.g. for Rhombosolea spp.), gillnetting was permitted from 
April through September in the upper reaches of four harbors on Banks 
Peninsula, and in a similar area in Queen Charlotte Sound. Trawling was 
also prohibited along the east and south coasts from Cape Jackson to 
Sandhill Point out to 2 nmi (3.7 km), with an exception for trawls 
using a low headline net (used to target flatfish, MFish 2008). On the 
west coast of the South Island, again with some exceptions for certain 
harbors, inlets, estuaries, river mouths and lagoons, recreational set 
netting was banned year-round in waters out to 2 nmi (3.7 km) and from 
Cape Farewell on Farewell Spit to Awarua Point north of Fiordland; and 
commercial set netting was banned in the same area from December 
through February (MFish 2008). No trawling prohibitions were 
implemented for the west coast, and no fishing prohibitions were 
instituted along the north coast of the South Island. Since 2008, some 
amendments and changes to these fishery restrictions have been made for 
particular fishing activities and specific locations, but these changes 
are limited in scope and scale and are not discussed in detail here; 
see Manning and Grantz (2016) for additional detail.
    Recently, in 2013, the DOC established the Akaroa Harbor Marine 
Reserve at the mouth of Akaroa Harbor on Banks Peninsula. This reserve 
includes about 512 hectares of habitat or about 12 percent of the total 
harbor area (www.doc.govt.nz/parks-and-recreation/places-to-go/
canterbury/places/banks-peninsula-area/akaroa-marine-reserve/). As a 
result of this designation, which provides protection to all marine 
life within the reserve, fishing and any other taking of living or non-
living marine resources is prohibited.
    Despite the gradual increase in fishing restrictions around the 
South Island, exposure of SI Hector's dolphins to fishing activity 
remains fairly high

[[Page 64118]]

throughout the South Island. On the west coast, where the dolphins are 
known to occur year-round and range to about 6.5 nmi (12.0 km) offshore 
(Mackenzie and Clement 2016), commercial gillnetting is prohibited only 
out to 2 nmi for just 3 months of the year, and there are no 
prohibitions on trawling. Survey sightings off the south coast indicate 
that the dolphins at least occasionally occur as far as 9.6 nmi (17.8 
km) from shore and outside of protected areas (Clement et al. 2011). On 
the east coast, a substantial portion of the population is distributed 
well beyond the current closed areas, particularly in winter months 
(e.g., out to 18.2 nmi (33.7 km), Rayment et al. 2006, Rayment et al. 
2010b); and gillnetting is still allowed within the BPMMS in waters 
between the original (4 nmi) and the extended offshore boundary (12 
nmi).
    Evidence of continued bycatch around the South Island is available 
in the DOC Incident Database (www.doc.govt.nz/our-work/hectors-and-
maui-dolphin-incident-database/), which lists 13 entanglement 
mortalities between May 2009 and April 2015; and, in 2012, two Hector's 
dolphins were found stranded and wrapped in a gillnet just north of 
Christchurch (Slooten 2013, 2016). Unfortunately, the actual level of 
bycatch since 2008 is unknown and the database records provide only a 
subset of the total bycatch (Slooten and Dawson 2016). The majority of 
mortalities captured in the database are also listed as having unknown 
or indeterminable causes. Pichler et al. (2003) reported that of the 
dolphins caught by commercial and recreational gillnet fishers and 
brought in for necropsies, only about half have discernable net 
markings, contributing further to the underestimation of bycatch rates. 
Some additional data are available from commercial gillnetting observer 
programs. For example, based on low observer coverage of commercial 
gillnet vessels from May 2009 through April 2010 (about 15.8 percent of 
fishing days and about 13 percent of total sets), three SI Hector's 
dolphin mortalities were recorded from the east coast of the South 
Island (ECSI; MPI 2011b, Slooten and Davies 2012). Slooten and Davies 
(2012) analyzed these data and estimated that 23 SI Hector's dolphins 
(range of 4-48, CV = 0.21) were caught off the ECSI in that year.
    Evidence from multiple modelling efforts suggests that SI Hector's 
dolphins will continue to decline due to bycatch under the current 
management measures. For example, for the most recent assessment of the 
BPMMS population, which has benefited from almost three decades of 
protection, Gormley et al. (2012) conducted a mark-recapture analysis 
of photographically identified dolphins (n=462) from 1986 to 2006 to 
compare annual survival rates before and after establishment of the 
sanctuary and associated gillnetting restrictions. Results indicated 
that between the two time periods, mean survival probability increased 
by 5.4 percent (from 0.863 to 0.917), which corresponds to a 6 percent 
increase in population growth. However, the population projections 
using the post-sanctuary survival rate also corresponded to a mean 
annual population decrease of 0.5 percent per year, with only 41 
percent of the model simulations resulting in a population increase 
(Gormley et al. 2012). As noted by Gormley et al. (2012), this finding 
is consistent with other research indicating that the BPMMS is too 
small to allow recovery of this SI Hector's dolphin population (Rayment 
et al. 2006, Slooten et al. 2006b, Slooten and Dawson 2008, Rayment et 
al. 2010b, Slooten and Dawson 2010). A population viability analysis by 
Slooten and Dawson (2010), which relied on commercial gillnet observer 
data for a portion of the east coast to estimate bycatch (from Baird 
and Bradford 2000), projected that the west coast population would 
continue to decline (by just over 1,000 individuals by 2050), the Banks 
Peninsula population would continue to decline, and the remainder of 
the east coast population would slowly increase (by 450 individuals by 
2050). In a review of risk assessments for SI Hector's dolphins, 
Slooten and Davies (2012) found that despite differing modelling 
approaches and assumptions applied, the risk assessments were highly 
consistent and were in general agreement that recovery of SI Hector's 
dolphins is unlikely under the current level of protections.
    Overall, based on the available information, the existing measures 
to address the threat of bycatch of SI Hector's dolphins appear 
inadequate, and we conclude that bycatch continues to pose a 
significant risk to this subspecies. The risk of bycatch in commercial 
and recreational trawl and gillnet fisheries remains high given the 
known distribution of the dolphins relative to areas closed to fishing, 
especially on the west and north coasts (Faustino et al. 2013, Slooten 
2013). Although bycatch of SI Hector's dolphins has been slowed by the 
fisheries restrictions implemented in 2008, available risk analyses 
indicate that population decline is expected to continue (Slooten and 
Dawson 2010, Gormley et al. 2012, Slooten and Davies 2012). Finally, 
enforcement of the existing regulations may be insufficient. Illegal 
fishing has been reported for Banks Peninsula (Slooten and Davies 
2012), and illegal fishing is discussed in the TMP (MFish and DOC 
2007b). There are insufficient data available to evaluate the level of 
compliance with existing regulations.
    Several management measures have been implemented to address some 
of the threats associated with mining and petroleum industry 
activities. For both petroleum and minerals mining activities, a permit 
is generally required from local authorities under the Resource 
Management Act 1991 for mining activities within New Zealand's 
territorial sea (within 12 nmi from the coast). For mining activities 
beyond the territorial sea, the Environmental Protection Authority 
(EPA) manages the environmental effects of activity under the Exclusive 
Economic Zone and Continental Shelf (Environmental Effects) Act 2012 
(EEZ Act) and its regulations, which establish which activities require 
permits and impact assessments. Seismic surveys are permitted under the 
EEZ Act if they adhere to the Code of Conduct for Minimizing Acoustic 
Disturbance to Marine Mammals from Seismic Survey Operations (DOC 
2013). In 2013, the DOC and MPI updated their seismic survey guidelines 
and announced a decision to make the code of conduct a mandatory 
standard. The mandatory code of conduct applies to Territorial waters, 
the EEZ of New Zealand, and within all marine mammal sanctuaries, and 
includes requirements for planning, operations, monitoring, and 
reporting. The 2013 code of conduct is currently undergoing review and 
may be further augmented to increase protections for Hector's dolphins 
and other species of concern. Discharge management plans associated 
with mining activities also must be approved under the Maritime Rules 
Part 200, Maritime New Zealand prior to drilling.
    To help manage non-fishing-related threats to Hector's dolphins, 
the DOC expanded BPMMS in 2008 and established an additional three 
marine mammal sanctuaries- the Catlins Coast, Clifford and Cloudy Bay, 
and Te Waewae Bay Marine Mammal Sanctuaries (MMS). The Catlins Coast 
MMS lies along the south coast of the South Island (SCSI) between Three 
Brother's Point and Busy Point and extends 5 nmi to 6.9 nmi offshore. 
The sanctuary encompasses about 660 sq km of marine habitat and 161 km 
of coastline. The Clifford and Cloudy Bay MMS, which lies on the 
northeast coast,

[[Page 64119]]

includes about 1,427 sq km and 338 km of coastline between Cape 
Campbell to Tory Channel, and extends 12 nmi offshore. The Te Waewae 
Bay MMS includes this entire SCSI bay and encompasses about 359 sq km 
of marine habitat and 113 km of coastline. Protections for SI Hector's 
dolphins that accompanied the expansion of BPMMS and the designation of 
these three additional sanctuaries were specific requirements for 
conducting seismic surveys. Included among the requirements for seismic 
surveys are mandatory notification prior to conducting surveys, 
mandatory reporting of any interactions with dolphins, and presence of 
qualified marine mammal observers on all survey ships (Gazette, 23 
September 2008). There are no additional restrictions on mining 
activities within the sanctuaries.
    Overall, while there is a clear regulatory process in place for 
reviewing and permitting mining activities, given the existing 
information, it is not clear whether existing management measures are 
adequate to minimize acoustic and other impacts to SI Hector's dolphins 
such that these activities do not pose a threat to the subspecies.
    The dolphin-watching industry in New Zealand is regulated under the 
Marine Mammals Protection Regulations (MMPR), which were revised in 
1992 in response to the growth in marine mammal-based tourism 
(Constantine (1999), citing Donoghue 1996). Among other provisions, 
these regulations govern the issuance of permits to commercial 
operators and, as discussed above, the behavior of vessels around 
dolphins. As a permit issuance criterion, commercial tour operators are 
required to ensure that their activities have ``no significant adverse 
effect'' on their targeted population (MMPR, 1992; Appendix 1.4). Given 
the high level of commercial dolphin watching operations in some 
portions of the SI Hector's dolphin's range, the repeat exposure of 
individual dolphins to vessels and/or `swim-with' activities, and the 
potential linkage to long-term biological consequences, it is possible 
that the current level of tourism is having a significant adverse 
impact on the subspecies. We find that there are insufficient data by 
which to verify that this permit issuance criterion is being met.
    Pursuant to the MMPR, all boaters, both recreational and 
commercial, must adhere to certain rules when operating around marine 
mammals. For example, no more than 3 vessels and/or aircraft are 
allowed within 300 m of any marine mammal at the same time; speeds must 
be kept to `no wake' speeds when within 300 m of any marine mammal; 
swimmers are prohibited from swimming with dolphin pods with very young 
calves; and boats are prohibited from circling, obstructing, or cutting 
through any group (MMPR 1992, part 3). Compliance monitoring is limited 
and sufficient quantitative data are not available to assess compliance 
by commercial and recreational boaters with these regulations (MFish 
and DOC 2007b). Thus, it is difficult to determine whether these 
regulations, and the associated education and enforcement, adequately 
address boat-related disturbance and boat strikes, which are discussed 
further in the section below.

Other Natural or Manmade Factors Affecting Its Continued Existence

    Other potential threats to SI Hector's dolphins include vessel 
noise, trophic effects of fishing, and climate change; however, there 
are no data available to assess how or whether these factors are 
contributing to the overall level of human-caused mortality or 
population trends. Boat strikes, however, are a documented source of 
mortality for Hector's dolphins, and the TMP identifies vessel traffic 
as a threat that can result in disturbance and mortality (MFish and DOC 
2007b). Vessel traffic has increased around the South Island, 
especially in areas more densely populated by people, and reports of 
cetaceans with propeller scars have increased (Martinez 2010b). Stone 
and Yoshinaga (2000) reported the death of two calves on consecutive 
days in Akaroa Harbor. In 1999, two calves, both estimated to be 
younger than 4 weeks old, were recovered on successive days from Akaroa 
Harbor, and autopsy results confirmed that one calf was killed by 
collision with a boat and the other calf by a propeller strike (Stone 
and Yoshinaga 2000). Stone and Yoshinaga (2000) suggest that mother and 
calf pairs may be less capable of evading boats if they are approached. 
Although the specific cause of death was unknown, the TMP also states 
that there were an additional nine cases from around the South Island 
in which cause of death was some form of trauma (MFish and DOC 2007b). 
Overall, data are too limited to assess the rate of boat strikes, but 
existing information clearly indicates that boat strikes are 
contributing to the total level of human-caused mortality.

Demographic Risks Affecting Extinction Risk for Maui's Dolphins

    In our status review, data and information about demographic risks 
to Maui's dolphins were considered according to four categories--
abundance and trends, population growth/productivity, spatial 
structure/connectivity, and genetic diversity. Each of these 
demographic threat categories was then rated according to the following 
qualitative scale:
    Very low risk: It is unlikely that this factor contributes 
significantly to risk of extinction, either by itself or in combination 
with other demographic factors.
    Low risk: It is unlikely that this factor contributes significantly 
to long-term or near future risk of extinction by itself, but there is 
some concern that it may, in combination with other demographic 
factors.
    Moderate risk: This factor is likely to contribute significantly to 
long-term risk of extinction, but does not by itself constitute a 
danger of extinction in the near future.
    High risk: This factor contributes significantly to long-term risk 
of extinction and is likely to contribute to short-term risk of 
extinction in the near future.
    Very high risk: This factor by itself indicates danger of 
extinction in the near future. (Note: The term ``significantly'' is 
used here as it is generally defined--i.e., in a sufficiently great or 
important way as to be worthy of attention.)
    In the sections below, we present information from Manning and 
Grantz (2016) to summarize the demographic risks facing Maui's 
dolphins.

A. Abundance and Trends

    Based on line-transect aerial surveys conducted in January 2004, 
Slooten et al. 2006a estimated a total population size of 111 Maui's 
dolphins (95 percent CI = 48-252). A more recent abundance estimate, 
derived through genetic mark-recapture analysis of samples collected in 
2010 and 2011, is 55 dolphins over 1 year of age (95 percent CI: 48-69, 
Hamner et al. 2012b). This estimate is based on a genetic mark-
recapture analysis using 37 biopsy samples collected in 2010 and 36 
biopsy samples collected in 2011, which were genotyped across 20 
variable microsatellite loci and analyzed in a closed-sample model 
(Lincoln-Peterson estimator with Chapman correction, Chapman 1951; 
Hamner et al. 2012b). Both of these estimates indicate that the 
abundance of Maui's dolphins is critically low.
    Small populations can face higher risks of extinction from a range 
of factors, including stochastic demographic processes, genetic 
effects, and environmental catastrophes; and various theoretical 
abundance

[[Page 64120]]

thresholds have been proposed as indicators of relative extinction risk 
(Gilpin and Soul[eacute] 1986, Allendorf et al. 1987, Mace et al. 
2008). Both of the most recent abundance estimates for Maui's dolphins 
are well below commonly cited theoretical thresholds indicating a very 
high risk of extinction--e.g., 250 total individuals (Allendorf et al. 
1987) and 250 mature individuals (Mace et al. 2008).
    Although historical abundance estimates are not available, Slooten 
(2007a) estimated population abundances for 1970 by back-calculating, 
using a population estimate of 117 dolphins (CV= 0.44) and estimates of 
fishing effort and rate of dolphin bycatch. Results suggest that the 
abundance of Maui's dolphins in 1970 was about 1,729 dolphins (CV= 
0.51, Slooten 2007, Slooten and Dawson 2010). Martien et al. (1999) 
also projected numbers back to 1970 using an earlier abundance estimate 
published by Dawson and Slooten (1988; i.e., 134 dolphins), and 
estimated there were about 448 Maui's dolphins in 1970. Although there 
are differences in the models, assumptions, input data, and results of 
these two analyses, these estimated abundances for 1970 suggest the 
Maui's dolphin population has declined by about 90 percent or more when 
compared to the current abundance estimate of 55 dolphins over 1 year 
of age.
    Available evidence suggests that abundance of Maui's dolphins will 
continue to decline. For example, an annual rate of decline of 3.0 
percent per year (95 percent CI: -11 percent to +6 percent) and an 
annual survival rate of 84 percent (95 percent CI = 0.75-0.90) was 
estimated by Hamner et al. (2012b). Although this result was somewhat 
equivocal given the large confidence interval, a projected decline is 
supported by the trend analysis conducted by Wade et al. (2012) using 
six different abundance estimates generated from 1985 to 2011. Wade et 
al. (2012) calculated a statistically significant declining trend of -
3.2 percent per year from 1985 to 2011 (90 percent CI = -5.7 percent to 
-0.6 percent, p = 0.029).
    Given a population abundance of fewer than 100 dolphins over one 
year of age, evidence of a very large historical decline, and evidence 
of possible continued decline, this demographic risk category was rated 
as posing a ``very high risk'' for the subspecies.

B. Population Growth

    Fecundity (i.e., the number of female offspring per female per 
breeding season) of Maui's dolphins is relatively low (0.165 to 0.25, 
Secchi et al. 2004b), with females having calves every two to four 
years after reaching maturity at about 7 years of age (Slooten and 
Dawson 1994, Dawson 2009). Due to an estimated lifespan of only about 
22 years, later maturity, and low fecundity, Maui's dolphins are 
considered to have a low intrinsic rate of population growth (Dawson 
2009). The annual mortality rate is estimated to be about 17 percent 
per year for dolphins 1 year of age and older (Hamner et al. 2012b), 
and, as mentioned above, modelling results suggest a declining 
population trend (Wade et al. 2012). Overall, this demographic factor 
was found to constitute a ``high risk'' for Maui's dolphin.

C. Population Structure and Connectivity

    Maui's dolphins are thought to have once ranged along the entire 
coast of the North Island (Russell 1999, Dawson et al. 2001b, Baker et 
al. 2002, Du Fresne 2010). The dolphins now occur only off the west 
coast of the North Island. While there is no indication of spatial 
structuring within the subspecies, data do indicate that home ranges of 
individuals are probably small (e.g. 35.5 km (SE= 4.03), Oremus et al. 
2012), and that movements over 100 km are probably rare (Hamner et al. 
2012b). Overall, the available information indicates that substantial 
range contraction has already occurred, gene flow will be limited among 
populations of Hector's dolphins that are over 100 km apart, and any 
fragmentation of the remaining population would be a serious concern. 
Overall, this demographic factor was rated as posing a ``moderate 
risk'' for Maui's dolphins.

D. Genetic Diversity

    Genetic diversity in Maui's dolphins is currently very low. Pichler 
(2002) analyzed microsatellite DNA for Maui's dolphins across six loci 
(n = 4 to 12) and reported an average of 1.5 alleles per locus, three 
of which were fixed (i.e., 1 allele), and an overall low heterozygosity 
(0.083-0.25). Analyses of contemporary mitochondrial DNA (mtDNA) 
samples also indicate a single maternal lineage (Pichler 2002, Hamner 
et al. 2012a). This level of haplotype diversity (i.e., h = 0) is well 
below the typical range of 0.70-0.92 for other more abundant odontocete 
species (Pichler and Baker 2000) and is only seen in several other rare 
marine mammals (e.g., vaquita (Phocoena sinus), north Atlantic right 
whale (Eubalaena glacialis), Dawson et al. 2001b).
    Maui's dolphins are reproductively isolated from SI Hector's 
dolphins, and there has been no recent gene flow between the subspecies 
(Pichler et al. 2001, Hamner et al. 2012a). Based on analyses of mtDNA, 
the North Island subspecies has been isolated from the South Island 
populations for up to 16,000 years (Pichler et al. 2001). Hamner et al. 
(2012a) noted that some degree of inbreeding is inevitable for such a 
small, isolated population and also suggested that the significant 
deviation from a 1:1 sex ratio they observed for stranded Maui's 
dolphins, due to an excess of females in their sample (41 females of 68 
total Maui's dolphins), may be an indication of deleterious inbreeding 
effects.
    Overall, Maui's dolphins have very low genetic diversity, are 
genetically isolated, and are vulnerable to inbreeding depression and 
the accumulation of deleterious mutations, which are serious concerns 
that can hasten the extinction of small populations (Lunch et al. 1995, 
Frankham 2005, O'Grady et al. 2006). This demographic factor was rated 
as a ``high risk'' for Maui's dolphins.

Demographic Risks Affecting Extinction Risk for SI Hector's Dolphins

    In the sections below, we present information from Manning and 
Grantz (2016) on the demographic risks facing SI Hector's dolphins. As 
with Maui's dolphins, demographic risks to SI Hector's dolphins were 
considered according to the same four categories (abundance and trends, 
population growth/productivity, spatial structure/connectivity, and 
genetic diversity) and rated according to the same qualitative scale as 
defined above.

A. Abundance and Trends

    Various surveys have been completed for portions of the SI Hector's 
dolphin's range, each producing a separate, regional abundance estimate 
for the associated portion of the subspecies' range. (See Manning and 
Grantz (2016) for discussion of older surveys and abundance estimates.) 
The most recent abundance estimate for the west coast of the South 
Island (WCSI) is based on aerial surveys conducted by Mackenzie and 
Clement (2016) in 2014/2015 from Farewell Spit south to Milford Sound. 
These surveys included substantial effort in waters beyond 4 nmi (7.4 
km) from shore and included an ``outer'' survey zone between 12 nmi and 
20 nmi from shore (22.2-37.0 km, MacKenzie and Clement 2016). Based on 
these surveys, summer and winter abundance estimates of 5,490 dolphins 
(95% CI = 3,319-9,079) and 5,802 dolphins (95%

[[Page 64121]]

CI = 3,879-8,679), respectively, were estimated using mark-recapture 
distance sampling after correcting for availability bias (or how 
``available'' the dolphins are at or near the surface where they can be 
observed; Mackenzie and Clement 2016)). The most recent surveys of the 
north (NCSI) and east coasts (ECSI) of the South Island were conducted 
in the summer of 2012/2013 and winter 2013 and extended from Farewell 
Spit to Nugget Point and extended offshore to 20 nm (37.0 km; MacKenzie 
and Clement 2014). These intensive aerial surveys, which had a similar 
design as the WCSI surveys, produced an estimated summer abundance of 
9,728 dolphins (95 percent CI= 7,001-13,517) and an estimated winter 
abundance of 8,208 dolphins (95 percent CI = 4,888-13,785, MacKenzie 
and Clement 2014, Mackenzie and Clement 2016). The most recent surveys 
of the SCSI produced an abundance estimate of 238 dolphins (95 percent 
CI = 113-503, Clement et al. 2011, Mackenzie and Clement 2016). This 
abundance estimate was based on two aerial surveys completed in March 
and August 2010 from Puysegur Point to Nugget Point and extended out to 
the 100-m depth contour (Clement et al. 2011). Following completion of 
the last of these three regional survey efforts, Mackenzie and Clement 
(2016) re-analyzed the data and, using the sum of the averages of the 
summer and winter abundance estimates from these surveys, calculated a 
total population estimate of 14,849 SI Hector's dolphins (95% CI = 
11,923-18,492).
    Despite the large confidence intervals associated with some of 
these recent abundance estimates, the data indicate that the total 
abundance of SI Hector's dolphins is greater than commonly applied 
theoretical abundances used as indicators of a high risk of 
extinction--e.g., 2,500 total individuals (Allendorf et al. 1987) and 
1,000 mature individuals (Mace et al. 2008)--suggesting that SI 
Hector's dolphins are not at high risk of extinction due to abundance 
alone.
    Populations of SI Hector's dolphins have, however, experienced 
substantial declines and available information suggests that the 
subspecies is likely to continue declining (Slooten and Lad 1991, 
Slooten et al. 1992, Burkhart and Slooten 2003). SI Hector's dolphin 
populations are estimated to have experienced declines of 20-73 percent 
since the 1970s following the expansion of commercial gillnetting in 
New Zealand (Slooten 2007, Davies et al. 2008, Slooten and Dawson 
2010). Evidence of a historical decline is also provided by the 
findings of Pichler and Baker (2000), who detected a significant 
decline in mtDNA diversity (from h = 0.65 to h = 0.35, p<0.05) for ECSI 
Hector's dolphins in a comparison of contemporary (n=108) samples to 
historical samples (n=55) dating back to 1870. These authors suggest 
that the high rate of decline in mitochondrial DNA diversity reflects a 
high rate of population decline driven by unsustainable levels of 
bycatch mortality. While there is strong evidence that adult survival 
in the ECSI population has improved following the implementation of 
fishing restrictions at BPMMS (0.863 (95 percent CI = 0.647-0.971) pre-
sanctuary versus 0.917 (95 percent CI = 0.802-0.984) post-sanctuary), 
the improved survival rate still corresponds to an estimated decline of 
0.5 percent per year (Gormley et al. 2012). Results of modelling 
efforts by Slooten and Davies (2012) also suggest continued population 
declines over the next 50 years if fisheries management practices 
remain the same.
    Overall, this demographic factor was rated as posing a ``moderate 
risk'' for SI Hector's dolphins.

B. Population Growth

    Given an estimated lifespan of about 22 years, relatively late 
maturity (at 7-9 years), and low fecundity (0.165 to 0.25), Hector's 
dolphins are considered to have a low intrinsic population growth rate 
(Slooten 1991, Slooten and Lad 1991, Secchi and Fletcher 2004, Secchi 
et al. 2004b, Dawson 2009). Females may produce only four to seven 
calves over their lifetime. Estimates of the survival rate of SI 
Hector's dolphins >= 1 year old have ranged from 0.77 to 0.89 (Slooten 
and Lad 1991, Slooten et al. 1992, Slooten and Dawson 1994, Cameron et 
al. 1999). Based on simple Leslie matrix models, Slooten and Ladd 
(1991) estimated a maximum population growth rate of 0.018 to 0.049; 
whereas, Secchi and Fletcher (2004) estimated a much lower population 
growth rate of 0.0065. Projections of population growth, given 
estimated levels of human-caused mortality, have varied depending on 
the modelling approach and the study population, but results are 
generally consistent in indicating a continuing population decline 
(Slooten and Dawson 2010, Slooten and Davies 2012). Essentially, the 
available information indicates that population growth is too low to 
compensate for current mortality rates, and that mortality needs to be 
reduced in order to allow populations around the South Island to 
recover from past declines due to bycatch (Slooten 2013).
    This demographic factor was rated as posing a ``moderate risk'' for 
SI Hector's dolphins.

C. Population Structure and Connectivity

    Analyses of both mtDNA and microsatellite DNA indicate the 
existence of three distinct regional populations of SI Hector's 
dolphins--east, west, and south coast populations (Pichler et al. 1998, 
Pichler 2002, Hamner et al. 2012a). Each regional population is 
characterized by one or two high frequency mtDNA haplotypes, and 
hierarchical analyses of both mtDNA and microsatellite DNA data 
indicate strong genetic differentiation among the three regional 
populations (mtDNA FST = 0.321, p<0.001; Phi ST = 
0.395; microsatellite FST = 0.058, p<0.001; Hamner et al. 
2012a). There appears to be additional genetic structuring on the south 
coast, as samples from Te W[aelig]w[aelig] Bay and Toetoe Bay, 
locations separated by only about 100 km of coastline, were 
significantly differentiated based on both mtDNA (FST = 
0.136, p = 0.03) and microsatellite DNA (FST = 0.043, p = 
0.005). Fine-scale population structuring has also recently been 
detected in ECSI Hector's dolphins sampled from adjacent populations on 
either side of Kaikoura Canyon (Hamner et al. 2016). Analysis of both 
mtDNA (FST = 0.081, p<0.001) and microsatellite DNA 
(FST = 0.013, p<0.001) indicated a low but statistically 
significant level of genetic differentiation between these adjacent 
populations (Hamner et al. 2016).
    Estimated migration rates for males and females among the three 
main regional populations are low and appear to be asymmetrical 
(Pichler 2002, Hamner et al. 2012a). Based on mtDNA, Pichler (2002) 
estimated long-term migration rates of less than one female per 
generation among regions, except between the west and south coasts 
where female migration rates were estimated to be between 2.7 and 3.7 
female migrants per generation. Based on analyses of both mtDNA and 
microsatellite DNA, there also appears to be a low level of male-
mediated gene flow, with the highest exchange appearing to occur from 
the south coast to the east coast (Hamner et al. 2012a). Analysis of 
levels of genetic differentiation among sample locations within regions 
suggests a ``stepping-stone'' model of gene flow in which there are low 
levels of migration between neighboring populations over distances 
shorter than 100 km and much more limited gene flow among the three 
larger regional populations (Pichler 2002; Hamner et al. 2012a). Hamner 
et al. (2012a) concluded that very rare migration events are 
facilitating gene

[[Page 64122]]

flow across the roughly 100-370 km distances separating the three 
larger regions. Overall, these findings are consistent with a priori 
expectations of low gene flow over larger spatial scales given the 
small estimated home ranges (typically 30 km-60 km) and high degree of 
site fidelity observed in SI Hector's dolphins (Bejder and Dawson 2001, 
Br[auml]ger et al. 2002, Rayment et al. 2009a). Although longer-range 
movements (> 400 km) of SI Hector's dolphins do appear to occur, at 
least on occasion, there is as yet no indication that such movements 
are associated with mating (Hamner et al. 2012b, Hamner et al. 2014a).
    How the existing population structure and connectivity of SI 
Hector's dolphin populations influence extinction risk is unclear. The 
current distribution of SI Hector's dolphins as multiple populations 
with a low level of connectivity could potentially provide protection 
from local extirpation (for example, by a catastrophic event) while 
allowing for local adaptation, which could ultimately benefit long-term 
survival (Franklin 1980). Alternatively, restricted and asymmetrical 
dispersal among populations may mean there is very limited potential 
for one population to buffer against the loss of another local 
population and prevent further fragmentation (Pichler et al. 1998, 
Pichler 2001). The ongoing human-caused mortality and the slow 
population growth rate of SI Hector's dolphins are factors that favor 
this latter interpretation.
    Overall, this demographic factor was rated as posing a ``moderate 
risk'' to SI Hector's dolphins.

D. Genetic Diversity

    Relative to other abundant dolphin species, genetic diversity of SI 
Hector's dolphins is low (Pichler and Baker 2000; Pichler 2002). 
Pichler and Baker (2000) reported haplotype (h) and nucleotide ([pi]) 
diversity estimates of 0.35 and 0.0030, respectively, for ECSI Hector's 
dolphins (n = 46) and 0.66 and 0.0040 for WCSI Hector's dolphins (n = 
47), which are low compared to previously reported estimates for other, 
more abundant odontocetes (e.g., h = 0.70-0.92 and [pi] > 0.01). 
Diversity estimates based on mtDNA analyses by Hamner et al. (2012a) 
were somewhat higher for both the ECSI (h = 0.51, [pi] = 0.0039) and 
WCSI (h = 0.72, [pi] = 0.0049, n = 154) populations, possibly as a 
consequence of larger sample sizes, but they are still relatively low. 
The low genetic diversity observed may reflect restricted gene flow 
among populations and a consequent increase in genetic drift within 
populations.
    As noted above, analysis of mtDNA samples for ECSI Hector's 
dolphins by Pichler and Baker (2000) indicated a significant decline in 
mitochondrial diversity between historical samples from 1870-1987 (h = 
0.65 and [pi] = 0.0084, n = 36) and more contemporary samples from 
1988-1998 (h = 0.35 and [pi] = 0.0030, n = 46). A trend analysis of 
mtDNA diversity also indicated full loss of diversity within the next 
20 years (Pichler and Baker 2000).
    Guidelines commonly cited and applied in conservation biology are 
that, in a finite population and ignoring other ecological 
considerations, a minimum effective population size of at least 50 
individuals is required to prevent the harmful effects of inbreeding, 
and an effective population size of at least 500 individuals is 
required to prevent the accumulation of deleterious recessive alleles 
and maintain genetic diversity over hundreds of years (Franklin 1980, 
Soul[eacute] 1980, Gilpin and Soul[eacute] 1986, Allendorf et al. 
1987). Other theoretical analyses, however, suggests that these 
thresholds are too low and that well over 1,000 breeding adults per 
generation may instead be necessary to avoid extinction by ``mutational 
meltdown'' over time periods of 100 or more generations (Lynch et al. 
1995). Given that effective population size is often about \1/5\ to \1/
3\ of a population's total size (Frankham 1995), a conservative 
estimate of the effective population size for SI Hector's dolphins 
could be roughly estimated as 2,385 to 3,698 dolphins (calculated using 
\1/5\ of the 95 percent CI abundance estimates). Because these rough 
estimates are well above the thresholds of 50, 500, and 1,000 
associated with inbreeding, loss of genetic diversity, and mutational 
meltdown, we conclude that the SI Hector's dolphin is not at high risk 
of extinction in the near-term due to its current genetic health.
    Given the evidence of low and potentially declining genetic 
diversity, this demographic factor was rated as being a ``moderate 
risk.''

Protective Efforts

    In addition to the regulatory measures discussed above (e.g. 
fishing and boating regulations, sanctuary designations), we considered 
other efforts being made to protect Hector's dolphins. We considered 
whether such protective efforts, as summarized below, alter our 
findings regarding the status of Maui's and Hector's dolphins.
    To help raise awareness and educate boaters about the regulations 
governing the operation of vessels around marine mammals, the DOC 
recently initated the `Sustainable Marine Mammal Actions in Recreation 
and Tourism'--or SMART program. Commercial operators who participate in 
the training course through this program are labelled `SMART operators' 
and are promoted to tourists as such. A training course for 
recreational boaters is also available. While this proactive program 
has likely improved boater awareness and on-the-water behavior to some 
degree, we have no data to evaluate the extent to which boater-
associated impacts on Hector's dolphins have been reduced, and the 
available information indicates that dolphin-watching and `swim-with' 
activities are not benign activities even when conducted according to 
the existing regulations.
    To help minimize fisheries interactions and bycatch, some voluntary 
practices have been used in some areas around the South Island since 
2002. These measures include deployment of pingers and other 
modifications to fishing activities. However, the extent to which such 
voluntary measures are being implemented is unclear, and the efficacy 
of pingers in reducing bycatch of Hector's dolphins has not yet been 
clearly established (Dawson 1998, Stone et al. 2000b). The MPI also 
established a hotline for reporting violations of fishing restrictions; 
however, there are no data available to evaluate whether the hotline 
has contributed to improved enforcement or compliance with existing 
fishing regulations.
    Although these efforts may be providing measurable protection for 
Hector's dolphins, there is no indication that these efforts are 
ameliorating threats, particularly the threats of bycatch and disease, 
such that the extinction risk of either subspecies is reduced. 
Therefore, we conclude that these protective efforts do not alter the 
extinction risk for either Maui's or SI Hector's dolphins. We are not 
aware of any other conservation measures for these subspecies and are 
soliciting additional information on any relevant conservation efforts 
through the public comment process on this proposed rule (see Public 
Comments Solicited below).

Proposed Listing Determinations

    Maui's dolphins are currently at critically low abundance, and face 
additional demographic risks due to greatly reduced genetic diversity 
and a low population growth rate. Past declines, on the order of about 
90 percent, have been driven largely by bycatch in gillnets. Maui's 
dolphins continue to face threats of bycatch, disease, and mining and 
seismic disturbances; and available evidence suggests the population 
will continue to

[[Page 64123]]

decline despite existing management protections. We conclude that 
Maui's dolphin is currently facing a high risk of extinction throughout 
its range and is likely to become extinct. Therefore, we find that this 
subspecies meets the definition of an endangered species under the ESA. 
This conclusion is consistent with previous risk assessments for Maui's 
dolphin, which have concluded this subspecies is facing an extremely 
high risk of extinction in the wild and will recover only if sources of 
anthropogenic mortality are eliminated (Slooten et al. 2006; MFish and 
DOC 2007b, Baker et al. 2010). Concern over abundance and trends for 
Maui's dolphin has previously led to its classification as ``nationally 
critical'' under the New Zealand Threat Classification System, which is 
the most threatened status within this classification system (Baker et 
al. 2010).
    Under the New Zealand Threat Classification System, the SI Hector's 
dolphin has been formally classified as ``nationally endangered,'' 
which is the second-most threatened status within this classification 
system (Baker et al. 2010). The qualifier ``conservation dependent'' is 
also applied to SI Hector's dolphins, meaning that the subspecies is 
likely to move to the higher category of ``nationally critical'' if 
current management were to cease (Townsend et al. 2008, Baker et al. 
2010).
    Our review of the best available data indicates that the SI 
Hector's dolphin has experienced substantial population declines since 
the 1970s, has relatively low genetic diversity, a low intrinsic 
population growth rate, and a fragmented population structure. Although 
historical data are lacking, Slooten (2007a) estimated that the SI 
Hector's dolphin population has declined by about 73 percent between 
1970 and 2007, and available population viability analyses indicate 
that the SI Hector's dolphin is likely to continue to decline unless 
bycatch mortality is reduced (Davies et al. 2008, Slooten and Davies 
2012, Slooten 2013). Gormley et al. (2012) estimated that the Banks 
Peninsula population, which has benefited from almost three decades of 
protection, would continue to decline at a rate of about 0.5 percent 
per year despite significantly improved survival rates. Assuming an 
existing population abundance of about 14,849 dolphins (95 percent CI = 
11,923-18,492), a constant rate of decline of 0.5 percent per year for 
the subspecies as a whole could result in a 50 percent decline in the 
population in about 138 years and an 80 percent decline in about 321 
years. These are simply estimates based on the limited data available, 
however, and they do not establish any specific thresholds for 
determining when the subspecies may be in danger of extinction 
throughout all or a significant portion of its range. The actual rate 
of decline of the subspecies remains unclear given the very limited 
bycatch mortality data available. A trend analysis based on survey data 
is also confounded by the fact that surveys have covered different 
portions of the range and have dramatically increased in sophistication 
and geographical scope over time. Thus, a precise analysis of the rate 
of decline and projection of time to extinction given multiple threats 
and demographic considerations is not currently possible.
    Current levels of bycatch are contributing to the decline of this 
subspecies (Slooten and Davies 2012). Additional, lesser threats, such 
as disease and tourism impacts, are likely exacerbating the rate of 
decline and thereby contributing to the overall extinction risk of this 
subspecies. Given recent abundance estimates for the total population 
and evidence of a slowed rate of decline following expanded fisheries 
management measures, we find that this subspecies is not facing an 
imminent risk of extinction. However, historical declines and the 
projected decline for most populations, combined with a low population 
growth rate, low genetic diversity, limited population connectivity, 
and the ongoing threats of bycatch, disease, and tourism, provide a 
strong indication that this subspecies is likely to become an 
endangered species within the foreseeable future assuming a status quo 
in conservation. We therefore propose to list this subspecies as 
threatened under the ESA.

Effects of Listing

    Conservation measures provided for species listed as endangered or 
threatened under the ESA include the development and implementation of 
recovery plans (16 U.S.C. 1533(f)); designation of critical habitat, if 
prudent and determinable (16 U.S.C. 1533(a)(3)(A)); a requirement that 
Federal agencies consult with NMFS under section 7 of the ESA to ensure 
their actions do not jeopardize the species or result in adverse 
modification or destruction of designated critical habitat (16 U.S.C. 
1536); and prohibitions on ``taking'' (16 U.S.C. 1538). The 
prohibitions on ``take,'' including export and import, automatically 
apply to species listed as endangered. Prohibitions on take do not 
apply to species listed as threatened unless protective regulations are 
issued under section 4(d) of the ESA (16 U.S.C. 1533(d)). In the case 
of threatened species, section 4(d) of the ESA leaves it to the 
Secretary's discretion whether, and to what extent, to extend take 
prohibitions to the species. Section 4(d) protective regulations may 
prohibit, with respect to threatened species, some or all of the acts 
which section 9(a) of the ESA prohibits with respect to endangered 
species. We are not proposing such regulations at this time but may 
consider potential protective regulations pursuant to section 4(d) for 
the SI Hector's dolphin in a future rulemaking.
    Recognition of the species' imperiled status through listing may 
also promote conservation actions by Federal and state agencies, 
foreign entities, private groups, and individuals.

Activities That Would Constitute a Violation of Section 9 of the ESA

    On July 1, 1994, NMFS and the U.S. Fish and Wildlife Service 
(USFWS) published a policy (59 FR 34272) that requires us to identify, 
to the maximum extent practicable at the time a species is listed, 
those activities that would or would not constitute a violation of 
section 9 of the ESA. The intent of this policy is to increase public 
awareness of the potential effects of species listings on proposed and 
ongoing activities.
    If the Maui's dolphin is listed as endangered, all of the 
prohibitions of section 9(a)(1) of the ESA will apply to this 
subspecies. Section 9(a)(1) includes prohibitions against the import, 
export, use in foreign commerce, and ``take'' of the listed species. 
These prohibitions apply to all persons subject to the jurisdiction of 
the United States, including in the United States, its territorial sea, 
or on the high seas. Take is defined as ``to harass, harm, pursue, 
hunt, shoot, wound, kill, trap, capture, or collect, or to attempt to 
engage in any such conduct.'' Activities that could result in a 
violation of section 9 prohibitions for Maui's dolphins include, but 
are not limited to, the following:
    (1) Delivering, receiving, carrying, transporting, or shipping in 
interstate or foreign commerce any individual or part, in the course of 
a commercial activity;
    (2) Selling or offering for sale in interstate commerce any part, 
except antique articles at least 100 years old; and
    (3) Importing or exporting Maui's dolphins or any parts of these 
dolphins.
    Whether a violation results from a particular activity is entirely 
dependent upon the facts and circumstances of each incident. Further, 
an activity not

[[Page 64124]]

listed here may in fact constitute a violation.

Section 7 Conference and Consultation Requirements

    Section 7(a)(2) (16 U.S.C. 1536(a)(2)) of the ESA and joint NMFS/
USFWS regulations require Federal agencies to consult with NMFS to 
ensure that activities they authorize, fund, or carry out are not 
likely to jeopardize the continued existence of listed species or 
destroy or adversely modify critical habitat. Section 7(a)(4) (16 
U.S.C. 1536(a)(4)) of the ESA and NMFS/USFWS regulations also require 
Federal agencies to confer with us on actions likely to jeopardize the 
continued existence of species proposed for listing, or that are likely 
to result in the destruction or adverse modification of proposed 
critical habitat of those species. It is unlikely that the listing of 
these subspecies under the ESA will increase the number of section 7 
consultations, because these subspecies occur outside of the United 
States and are unlikely to be affected by Federal actions.

Critical Habitat

    Critical habitat is defined in section 3 of the ESA (16 U.S.C. 
1532(5)) as: (1) The specific areas within the geographical area 
occupied by a species, at the time it is listed in accordance with the 
ESA, on which are found those physical or biological features (a) 
essential to the conservation of the species and (b) that may require 
special management considerations or protection; and (2) specific areas 
outside the geographical area occupied by a species at the time it is 
listed if such areas are determined to be essential for the 
conservation of the species. Section 4(a)(3)(A) of the ESA (16 U.S.C. 
1533(a)(3)(A)) requires that, to the extent prudent and determinable, 
critical habitat be designated concurrently with the listing of a 
species. However, critical habitat cannot be designated in foreign 
countries or other areas outside U.S. jurisdiction (50 CFR 424.12(g)). 
Maui's and SI Hector's dolphins are endemic to New Zealand and do not 
occur within areas under U.S. jurisdiction. There is no basis to 
conclude that any unoccupied areas under U.S. jurisdiction are 
essential for the conservation of either subspecies. Therefore, we do 
not intend to propose any critical habitat designations for either 
subspecies.

Public Comments Solicited

    We must base our final listing determination on the best scientific 
and commercial data available. We cannot consider the economic effects 
of a listing determination. To help ensure that any final action 
resulting from this proposed rule will be accurate and based on the 
best available data, we are soliciting comments from the public, other 
concerned governmental agencies, the scientific community, industry, 
and any other interested parties on the draft status review report and 
proposed rule. See DATES and ADDRESSES for information on how to submit 
comments.
    Promulgation of any final regulation to list these subspecies will 
take into consideration the comments and any additional data we receive 
during the comment period, and this process may lead to a final 
regulation that differs from this proposal. We are especially seeking 
information regarding the following topics:
    (1) New or updated data regarding threats to Maui's and SI Hector's 
dolphins, especially bycatch rates in commercial and recreational 
fisheries, bycatch in fishing gear types other than gillnets, 
compliance with fishing regulations, and trends in disease prevalence;
    (2) New or updated population viability analyses that reflect the 
most recent abundance estimates for the subspecies;
    (3) Current or planned activities within the range of these 
subspecies and their possible impacts on these species; and,
    (4) Conservation efforts that are addressing threats to either 
subspecies.
    We request that all information be accompanied by: (1) Supporting 
documentation, such as maps, bibliographic references, or reprints of 
pertinent publications; and (2) the submitter's name, address, and any 
association, institution, or business that the person represents.

Peer Review

    In December 2004, the Office of Management and Budget (OMB) issued 
a Final Information Quality Bulletin for Peer Review establishing a 
minimum peer review standard. We solicited peer review comments on the 
draft status review report (Manning and Gantz 2016) from three 
scientists with expertise on Hector's dolphins. We received and 
reviewed comments from these scientists, and their comments are 
incorporated into the draft status review report and this proposed 
rule. Their comments on the status review are summarized in the peer 
review report and available at www.cio.noaa.gov/services_programs/prplans/PRsummaries.html.

References

    A complete list of the references used in this proposed rule is 
available upon request (see ADDRESSES).

Classification

National Environmental Policy Act

    Section 4(b)(1)(A) of the ESA restricts the information that may be 
considered when assessing species for listing and sets the basis upon 
which listing determinations must be made. Based on the requirements in 
section 4(b)(1)(A) of the ESA and the opinion in Pacific Legal 
Foundation v. Andrus, 675 F. 2d 825 (6th Cir. 1981), we have concluded 
that ESA listing actions are not subject to the environmental 
assessment requirements of the National Environmental Policy Act 
(NEPA).

Executive Order 12866, Regulatory Flexibility Act, and Paperwork 
Reduction Act

    As noted in the Conference Report on the 1982 amendments to the 
ESA, economic impacts cannot be considered when assessing the status of 
a species. Therefore, the economic analysis requirements of the 
Regulatory Flexibility Act are not applicable to the listing process.
    In addition, this proposed rule is exempt from review under 
Executive Order 12866. This proposed rule does not contain a 
collection-of-information requirement for the purposes of the Paperwork 
Reduction Act.

Executive Order 13132, Federalism

    In accordance with E.O. 13132, we determined that this proposed 
rule does not have significant federalism effects and that a federalism 
assessment is not required. In keeping with the intent of the 
Administration and Congress to provide continuing and meaningful 
dialogue on issues of mutual state and Federal interest, this proposed 
rule will be given to the relevant governmental agencies in New 
Zealand, and they will be invited to comment. We will confer with the 
U.S. Department of State to ensure appropriate notice is given to New 
Zealand. As the process continues, we intend to continue engaging in 
informal and formal contact with the U.S. State Department, giving 
careful consideration to all written and oral comments received.

List of Subjects

50 CFR Part 223

    Endangered and threatened species, Exports, Transportation.

[[Page 64125]]

50 CFR Part 224

    Endangered and threatened species, Exports, Imports, 
Transportation.

     Dated: September 13, 2016.
Samuel D. Rauch, III,
Deputy Assistant Administrator for Regulatory Programs, National Marine 
Fisheries Service.

    For the reasons set out in the preamble, we propose to amend 50 CFR 
parts 223 and 224 as follows:

PART 223--THREATENED MARINE AND ANADROMOUS SPECIES

0
1. The authority citation for part 223 continues to read as follows:

    Authority:  16 U.S.C. 1531-1543; subpart B, Sec.  223.201-202 
also issued under 16 U.S.C. 1361 et seq.; 16 U.S.C. 5503(d) for 
Sec.  223.206(d)(9).

0
2. In Sec.  223.102, amend the table in paragraph (e) by adding an 
entry under ``Marine Mammals'' in alphabetical order, by common name, 
to read as follows:


Sec.  223.102  Enumeration of threatened marine and anadromous species.

* * * * *
    (e) * * *

--------------------------------------------------------------------------------------------------------------------------------------------------------
                                       Species \1\
-----------------------------------------------------------------------------------------  Citation(s) for listing
                                                                  Description of listed       determination(s)       Critical habitat      ESA rules
             Common name                    Scientific name               entity
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                                     Marine Mammals
--------------------------------------------------------------------------------------------------------------------------------------------------------
Dolphin, Hector's....................  Cephalorhynchus hectori   Entire subspecies......  [Federal Register                        NA                 NA
                                        hectori.                                           Citation and Date When
                                                                                           Published as a Final
                                                                                           Rule].
 
                                                                      * * * * * * *
--------------------------------------------------------------------------------------------------------------------------------------------------------
\1\ Species includes taxonomic species, subspecies, distinct population segments (DPSs) (for a policy statement, see 61 FR 4722, February 7, 1996), and
  evolutionarily significant units (ESUs) (for a policy statement, see 56 FR 58612, November 20, 1991).

* * * * *

PART 224--ENDANGERED MARINE AND ANADROMOUS SPECIES

0
3. The authority citation for part 224 continues to read as follows:

    Authority: 16 U.S.C. 1531-1543 and 16 U.S.C 1361 et seq.

0
4. In Sec.  224.101, amend the table in paragraph (h) by adding an 
entry under ``Marine Mammals'' in alphabetical order, by common name, 
to read as follows:


Sec.  224.101   Enumeration of endangered marine and anadromous 
species.

* * * * *
    (h) * * *

--------------------------------------------------------------------------------------------------------------------------------------------------------
                                       Species \1\
-----------------------------------------------------------------------------------------  Citation(s) for listing
                                                                  Description of listed       determination(s)       Critical habitat      ESA rules
             Common name                    Scientific name               entity
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                                     Marine Mammals
--------------------------------------------------------------------------------------------------------------------------------------------------------
 
                                                                      * * * * * * *
Dolphin, Maui's......................  Cephalorhynchus hectori   Entire subspecies......  [Federal Register                        NA                 NA
                                        maui.                                              Citation and Date When
                                                                                           Published as a Final
                                                                                           Rule].
 
                                                                      * * * * * * *
--------------------------------------------------------------------------------------------------------------------------------------------------------
\1\ Species includes taxonomic species, subspecies, distinct population segments (DPSs) (for a policy statement, see 61 FR 4722, February 7, 1996), and
  evolutionarily significant units (ESUs) (for a policy statement, see 56 FR 58612, November 20, 1991).

* * * * *
[FR Doc. 2016-22451 Filed 9-16-16; 8:45 am]
 BILLING CODE 3510-22-P



                                                      64110                  Federal Register / Vol. 81, No. 181 / Monday, September 19, 2016 / Proposed Rules

                                                      intend to continue engaging in informal                      Dated: September 12, 2016.                                   Authority: 16 U.S.C. 1531–1543; subpart
                                                      and formal contacts with the U.S. State                    Samuel D. Rauch, III,                                       B, § 223.201–202 also issued under 16 U.S.C.
                                                      Department, giving careful                                                                                             1361 et seq.; 16 U.S.C. 5503(d) for
                                                                                                                 Deputy Assistant Administrator for
                                                                                                                                                                             § 223.206(d)(9).
                                                      consideration to all written and oral                      Regulatory Programs, National Marine
                                                      comments received.                                         Fisheries Service.                                          ■  2. In § 223.102, paragraph (e), add
                                                                                                                   For the reasons set out in the                            entries for two species in alphabetical
                                                      List of Subjects in 50 CFR Part 223                                                                                    order by common name under the
                                                                                                                 preamble, we propose to amend 50 CFR
                                                        Endangered and threatened species,                       part 223 as follows:                                        ‘‘Fishes’’ table subheading to read as
                                                                                                                                                                             follows:
                                                      Exports, Imports, Transportation.
                                                                                                                 PART 223—THREATENED MARINE
                                                                                                                 AND ANADROMOUS SPECIES                                      § 223.102 Enumeration of threatened
                                                                                                                                                                             marine and anadromous species.
                                                                                                                 ■ 1. The authority citation for part 223                    *       *    *         *      *
                                                                                                                 continues to read as follows:                                   (e) * * *

                                                                                           Species 1
                                                                                                                                                             Citation(s) for listing                    Critical    ESA Rules
                                                              Common                       Scientific                    Description of                        determination(s)                         habitat
                                                               name                         name                          listed entity


                                                                  *                        *                         *                       *                         *                        *                    *

                                                               FISHES

                                                                *                         *                        *                       *                    *                 *                                  *
                                                      Guitarfish, blackchin         Rhinobatos                  Entire species ........... [Federal Register citation and date when                            NA          NA
                                                                                      cemiculus.                                             published as a final rule].
                                                      Guitarfish, common ..         Rhinobatos                  Entire species ........... [Federal Register citation and date when                            NA          NA
                                                                                      rhinobatos.                                            published as a final rule].

                                                                  *                        *                         *                       *                         *                        *                    *
                                                          1 Species
                                                                  includes taxonomic species, subspecies, distinct population segments (DPSs) (for a policy statement, see 61 FR 4722, February 7,
                                                      1996), and evolutionarily significant units (ESUs) (for a policy statement, see 56 FR 58612, November 20, 1991).


                                                      *       *       *       *      *                           and commercial data and completed a                         Therefore, we are not proposing to
                                                      [FR Doc. 2016–22450 Filed 9–16–16; 8:45 am]                comprehensive status review for these                       designate critical habitat. We are
                                                      BILLING CODE 3510–22–P                                     two subspecies of Hector’s dolphin (C.                      soliciting public comments on our
                                                                                                                 hectori). The Maui’s dolphin faces                          status review report and proposal to list
                                                                                                                 serious demographic risks due to                            these two subspecies.
                                                      DEPARTMENT OF COMMERCE                                     critically low abundance, a low                             DATES: Comments on this proposed rule
                                                                                                                 population growth rate, a restricted                        must be received by November 18, 2016.
                                                      National Oceanic and Atmospheric
                                                      Administration                                             range, low genetic diversity, and                           Public hearing requests must be made
                                                                                                                 ongoing threats such as bycatch in                          by November 3, 2016.
                                                      50 CFR Parts 223 and 224                                   commercial and recreational gillnets.                       ADDRESSES: You may submit comments
                                                                                                                 We have determined Maui’s dolphin is                        on this document, identified by NOAA–
                                                      [Docket No. 160614520–6520–01]                             currently in danger of extinction                           NMFS–2016–0118, by either of the
                                                      RIN 0648–XE686                                             throughout its range and, therefore,                        following methods:
                                                                                                                 meets the definition of an endangered                         • Electronic Submissions: Submit all
                                                      Endangered and Threatened Wildlife                         species. The relatively more abundant                       electronic comments via the Federal
                                                      and Plants: Proposed Rule To List the                      and more widely distributed South                           eRulemaking Portal. Go to
                                                      Maui’s Dolphin as Endangered and the                       Island Hector’s dolphin has experienced                     www.regulations.gov/
                                                      South Island Hector’s Dolphin as                           large historical declines and is expected                   #!docketDetail;D=NOAA-NMFS-2016-
                                                      Threatened Under the Endangered                            to continue to slowly decline due to                        0118, click the ‘‘Comment Now!’’ icon,
                                                      Species Act                                                bycatch and other lesser threats, such as                   complete the required fields, and enter
                                                      AGENCY:  National Marine Fisheries                         disease and impacts associated with                         or attach your comments.
                                                      Service (NMFS), National Oceanic and                       tourism. We have determined that this                         • Mail: Submit written comments to
                                                      Atmospheric Administration (NOAA),                         subspecies is not currently in danger of                    Lisa Manning, NMFS Office of Protected
                                                      Commerce.                                                  extinction throughout all or a significant                  Resources (F/PR3), 1315 East West
                                                                                                                 portion of its range, but is likely to                      Highway, Silver Spring, MD 20910,
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS




                                                      ACTION: Proposed rule; request for
                                                      comments.                                                  become so within the foreseeable future;                    USA.
                                                                                                                 and therefore, it meets the definition of                     Instructions: Comments sent by any
                                                      SUMMARY:  We, NMFS, propose to list the                    a threatened species. Both subspecies                       other method, to any other address or
                                                      Maui’s dolphin (Cephalorhynchus                            occur only in New Zealand. We are                           individual, or received after the end of
                                                      hectori maui) as endangered and the                        authorized to designate critical habitat                    the comment period, may not be
                                                      South Island Hector’s dolphin (C.                          within U.S. jurisdiction only, and we                       considered by NMFS. All comments
                                                      hectori hectori) as threatened under the                   are not aware of any areas within U.S                       received are a part of the public record
                                                      Endangered Species Act (ESA). We have                      jurisdiction that may meet the definition                   and will generally be posted for public
                                                      reviewed the best available scientific                     of critical habitat under the ESA.                          viewing on www.regulations.gov


                                                 VerDate Sep<11>2014      18:18 Sep 16, 2016   Jkt 238001   PO 00000      Frm 00036   Fmt 4702   Sfmt 4702   E:\FR\FM\19SEP1.SGM       19SEP1


                                                                          Federal Register / Vol. 81, No. 181 / Monday, September 19, 2016 / Proposed Rules                                           64111

                                                      without change. All personal identifying                   Section 3 of the ESA defines an                    organize and evaluate the forms of risks.
                                                      information (e.g., name, address, etc.),                endangered species as ‘‘any species                   The approach of considering
                                                      confidential business information, or                   which is in danger of extinction                      demographic risk factors to help frame
                                                      otherwise sensitive information                         throughout all or a significant portion of            the consideration of extinction risk has
                                                      submitted voluntarily by the sender will                its range’’ and a threatened species as               been used in many of our previous
                                                      be publicly accessible. NMFS will                       one ‘‘which is likely to become an                    status reviews (see http://
                                                      accept anonymous comments (enter                        endangered species within the                         www.nmfs.noaa.gov/pr/species for links
                                                      ‘‘N/A’’ in the required fields if you wish              foreseeable future throughout all or a                to these reviews). In this approach, the
                                                      to remain anonymous).                                   significant portion of its range.’’ We                collective condition of individual
                                                         You can find the petition, status                    interpret an ‘‘endangered species’’ to be             populations is considered at the species
                                                      review report, Federal Register notices,                one that is presently in danger of                    level (or in this case, the subspecies
                                                      and the list of references electronically               extinction. A ‘‘threatened species,’’ on              level) according to four demographic
                                                      on our Web site at http://                              the other hand, is not presently in                   viability factors: Abundance and trends,
                                                      www.nmfs.noaa.gov/pr/species/                           danger of extinction, but is likely to                population growth rate or productivity,
                                                      petition81.htm.                                         become so in the foreseeable future (that             spatial structure and connectivity, and
                                                                                                              is, at a later time). In other words, the             genetic diversity. These viability factors
                                                      FOR FURTHER INFORMATION CONTACT:  Lisa
                                                                                                              primary statutory difference between a                reflect concepts that are well-founded in
                                                      Manning, NMFS, Office of Protected
                                                                                                              threatened species and endangered                     conservation biology and that
                                                      Resources, lisa.manning@noaa.gov,
                                                                                                              species is the timing of when a species               individually and collectively provide
                                                      (301) 427–8466.
                                                                                                              may be in danger of extinction, either                strong indicators of extinction risk.
                                                      SUPPLEMENTARY INFORMATION:                              presently (endangered) or in the                         Scientific conclusions about the
                                                      Background                                              foreseeable future (threatened).                      overall risk of extinction faced by
                                                                                                                 When we consider whether a species                 Maui’s dolphin and the SI Hector’s
                                                         On July 15, 2013, we received a                      might qualify as threatened under the                 dolphin under present conditions and
                                                      petition from WildEarth Guardians to                    ESA, we must consider the meaning of                  in the foreseeable future are based on
                                                      list 81 marine species or populations as                the term ‘‘foreseeable future.’’ It is                our evaluation of the subspecies’
                                                      endangered or threatened species under                  appropriate to interpret ‘‘foreseeable                demographic risks and section 4(a)(1)
                                                      the ESA. We determined that the                         future’’ as the horizon over which                    threat factors. Our assessment of overall
                                                      petition had sufficient merit for further               predictions about the conservation                    extinction risk considered the
                                                      consideration, and status reviews were                  status of the species can be reasonably               likelihood and contribution of each
                                                      initiated for 27 of the 81 species or                   relied upon. The foreseeable future                   particular factor, synergies among
                                                      populations, including the Hector’s                     considers the life history of the species,            contributing factors, and the cumulative
                                                      dolphin (Cephalorhynchus hectori; 78                    habitat characteristics, availability of              impact of all demographic risks and
                                                      FR 63941, October 25, 2013; 78 FR                       data, particular threats, ability to predict          threats on each subspecies.
                                                      66675, November 6, 2013; 78 FR 69376,                   threats, and the reliability to forecast the             Section 4(b)(1)(A) of the ESA requires
                                                      November 19, 2013; 79 FR 9880,                          effects of these threats and future events            the Secretary, when making a listing
                                                      February 21, 2014; and 79 FR 10104,                     on the status of the species under                    determination for a species, to take into
                                                      February 24, 2014). This document                       consideration. Because a species may be               consideration those efforts, if any, being
                                                      addresses the proposed determination                    susceptible to a variety of threats for               made by any State or foreign nation, or
                                                      for the Hector’s dolphin. The findings                  which different data are available                    any political subdivision of a State or
                                                      and relevant Federal Register notices                   regarding the species’ response to that               foreign nation, to protect the species.
                                                      for the other species and populations                   threat, or which operate across different             Therefore, prior to making a listing
                                                      can be found on our Web site at http://                 time scales, the foreseeable future is not            determination, we also assess such
                                                      www.nmfs.noaa.gov/pr/species/                           necessarily reducible to a particular                 protective efforts to determine if they
                                                      petition81.htm.                                         number of years.                                      are adequate to mitigate the existing
                                                      Listing Determinations Under the ESA                       Section 4(a)(1) of the ESA requires us             threats.
                                                                                                              to determine whether any species is
                                                         We are responsible for determining                                                                         Status Review
                                                                                                              endangered or threatened due to any
                                                      whether species are threatened or                       one or a combination of the following                   Status reviews for Maui’s dolphin and
                                                      endangered under the ESA (16 U.S.C.                     five threat factors: The present or                   the SI Hector’s dolphin were completed
                                                      1531 et seq.). To make this                             threatened destruction, modification, or              by NMFS staff from the Office of
                                                      determination, we first consider                        curtailment of its habitat or range;                  Protected Resources. To complete the
                                                      whether a group of organisms                            overutilization for commercial,                       status reviews, we compiled the best
                                                      constitutes a ‘‘species’’ under the ESA,                recreational, scientific, or educational              available data and information on the
                                                      then whether the status of the species                  purposes; disease or predation; the                   subspecies’ biology, ecology, life
                                                      qualifies it for listing as either                      inadequacy of existing regulatory                     history, threats, and conservation status
                                                      threatened or endangered. Section 3 of                  mechanisms; or other natural or                       by examining the petition and cited
                                                      the ESA defines a ‘‘species’’ to include                manmade factors affecting its continued               references, and by conducting a
                                                      ‘‘any subspecies of fish or wildlife or                 existence. We are also required to make               comprehensive literature search and
                                                      plants, and any distinct population                     listing determinations based solely on                review. We also considered information
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS




                                                      segment of any species of vertebrate fish               the best scientific and commercial data               submitted to us in response to our
                                                      or wildlife which interbreeds when                      available, after conducting a review of               petition finding. A single draft status
                                                      mature.’’ Maui’s dolphin, C. hectori                    the species’ status and after taking into             review report was prepared for the two
                                                      maui, and the South Island (SI) Hector’s                account efforts being made by any state               subspecies and submitted to three
                                                      dolphin, C. hectori hectori, have been                  or foreign nation to protect the species.             independent peer reviewers; comments
                                                      formally recognized as subspecies                          In assessing the extinction risk of                and information received from peer
                                                      (Baker et al. 2002, Pichler 2002); and                  these two subspecies, we considered                   reviewers were addressed and
                                                      thus, each meets the ESA definition of                  demographic risk factors, such as those               incorporated as appropriate into the
                                                      a ‘‘species.’’                                          developed by McElhany et al. (2000), to               draft report. The draft status review


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                                                      64112               Federal Register / Vol. 81, No. 181 / Monday, September 19, 2016 / Proposed Rules

                                                      report (cited as Manning and Grantz                     navigation, for which lower frequency                 have been sighted there on rare
                                                      2016) is available on our Web site (see                 echolocation is required (Dawson 1988a,               occasions (Dawson and Slooten 1988b,
                                                      ADDRESSES section). In the sections                     Dawson 1991a).                                        MFish and DOC 2007a).
                                                      below, we provide information from the                     Available data indicates that Hector’s                Hector’s dolphins are typically
                                                      report regarding threats to and the status              dolphins have small home ranges and                   sighted within about 20 nautical miles
                                                      of each subspecies.                                     high site fidelity (Bedjer and Dawson                 (nmi; 37.0 km) of the shore and in water
                                                                                                              2001, Bräger et al. 2002, Rayment et al.             less than 100 m deep (Slooten et al.
                                                      Subspecies Descriptions                                 2009a, Oremus et al. 2012). Based on                  2005, Mackenzie and Clement 2014,
                                                         The Hector’s dolphin is one of the                   multiple analyses of photo-                           Rayment et al. 2011b, Mackenzie and
                                                      world’s smallest dolphins and occurs                    identification data and genetic recapture             Clement 2016). For the North Island, an
                                                      only in the coastal waters of New                       data, the along-shore home range                      extensive review by Du Fresne (2010) of
                                                      Zealand. Hector’s dolphins have short                   appears to be similar for both subspecies             both published scientific surveys and
                                                      and stocky bodies, no external beak, and                and is typically less than 50 km (Bräger             unpublished opportunistic sightings
                                                      a relatively large fluke. They are easily               et al. 2002, Rayment et al. 2009a,                    data indicates that Maui’s dolphins are
                                                      distinguished by their distinctive black,               Oremus et al. 2012). Home ranges also                 most frequently found within 4 nmi (7.4
                                                      white, and gray color patterns and their                do not appear to differ between males                 km) of the coast but do occasionally
                                                      rounded dorsal fin, which has a                         and females (Bräger et al. 2002, Rayment             occur at least as far as 7 nmi (13.0 km)
                                                      shallowly sloping anterior edge and a                   et al. 2009a).                                        offshore. Off the South Island,
                                                      convex posterior edge, and is unique to                    Historically, Hector’s dolphins are                differences in distribution patterns have
                                                      the genus (Dawson 2009). Lifespan is                    thought to have been present along                    been observed for the west and east
                                                      thought to be about 20 years (Slooten                   almost the entire coastlines of both the              coasts that may be driven in part by
                                                      1991, Secchi et al. 2004b), and several                 North and South Islands of New                        differences in bathymetry or location of
                                                      dolphins have been aged to a minimum                    Zealand (Cawthorn 1988, Russell 1999,                 the shelf break. On the west coast, the
                                                      of 22 years based on photo-                             Pichler 2002, MFish and DOC 2007a).                   100 m isobath is always within 13 nmi
                                                      identification data (Rayment et al.                     The two subspecies probably became                    (24.1 km) of the coast, and in some
                                                      2009a, Webster et al. 2009). Hector’s                   initially separated by the opening of                 places as close as 5 nmi (9.3 km);
                                                      dolphins have a varied diet that                        Cook Strait during the late Pleistocene               whereas, off Banks Peninsula on the east
                                                      includes cephalopods, crustaceans, and                  and Holocene interglacial periods, and                coast, the 100 m isobath is 16 to 30 nmi
                                                      small fish species; however, relatively                 this isolation was likely maintained                  (29.6 to 55.6 km) offshore (Rayment et
                                                      few prey species appear to comprise the                 through behavioral mechanisms such as                 al. 2011b). SI Hector’s dolphins are
                                                      bulk of their diet. Stomach content                     natal philopatry and small home ranges                typically within 8 nmi (14.8 km) from
                                                      analysis indicates that common prey                     (Pichler 2002, Baker et al., 2002,                    shore on the east coast of the South
                                                      species include red cod (Pseudophycis                   Dawson 2009). Currently, Maui’s                       Island and within 3 nmi (5.6 km) from
                                                      bachus), ahuru (Auchenoceros                            dolphins occur along the northwest                    shore on the west coast (Rayment et al.
                                                      punctatus), arrow squid (Nototodarus                    coast of the North Island, between                    2010b, 2011b, Mackenzie and Clement
                                                      sp.), sprat (Sprattus sp.), sole                        Maunganui Bluff in the north and                      2013, Mackenzie and Clement 2016).
                                                      (Peltorhamphus sp.), and stargazer                      Whanganui in the south (Currey et al.                 However, SI Hector’s dolphins have
                                                      (Crapatalus sp., Miller et al. 2013).                   2012). Occasional sightings and                       been sighted at least occasionally as far
                                                         Females typically have their first calf              strandings have also been reported from               as about 20 nmi (37.0 km) from shore on
                                                      at 7–9 years of age, and males likely                   areas farther south along the west coast              both coasts (Rayment et al. 2010b,
                                                      reach sexual maturity at 6–9 years of age               as well as in areas such as Hawke Bay                 2011b, MacKenzie and Clement 2016).
                                                      (Slooten 1991, Gormley 2009). Calving                   on the east coast of the North Island                    Seasonal changes in this nearshore
                                                      occurs in the austral spring and early                  (Baker 1978, Russell 1999, Ferreira and               distribution are evident for at least some
                                                      summer, generally from November to                      Roberts 2003, Slooten et al. 2005, MFish              populations of Hector’s dolphins, with
                                                      February (Slooten and Dawson 1988,                      and DOC 2007a, Du Fresne 2010). The                   distributions often extending farther
                                                      Slooten and Dawson 1994). Calves                        SI Hector’s dolphin currently has a                   from shore in the winter relative to the
                                                      remain with their mothers for 1 to 2                    fragmented distribution around the                    warmer months. For example, based on
                                                      years, although 2 years appears to be                   South Island (Dawson et al. 2004,                     aerial surveys that extended as far as 20
                                                      more common (Slooten and Dawson                         Rayment et al. 2011b) and consists of at              nmi offshore (37.0 km) of Banks
                                                      1994). Females typically produce single                 least three genetically distinct, regional            Peninsula and were conducted over 3
                                                      calves every 2 to 4 years (Slooten and                  populations (Pichler 2001, Pichler 2002,              years (2002, 2004, and 2005), Rayment
                                                      Dawson 1994), which gives a yearly                      Hamner et al. 2012a). SI Hector’s                     et al. (2010b) found that winter sightings
                                                      birth rate between 0.33 and 0.5.                        dolphins are most abundant around                     extended as far as 18.2 nmi (33.6 km)
                                                      Fecundity (i.e., the number of female                   Banks Peninsula, Cloudy Bay, and                      offshore, compared to 16.3 nmi (30.2
                                                      offspring per female per breeding                       Cliffords Bay on the east coast and along             km) in summer; and, while only 7
                                                      season) has been estimated as ranging                   the central west coast. Distinct and                  percent of all dolphins were sighted
                                                      from 0.165 to 0.250 (Secchi et al. 2004b,               localized populations also occur on the               beyond the 50 m isobath in summer, 44
                                                      Gormley 2009).                                          south coast in Te Waewae Bay, Toetoe                  percent of all dolphins were sighted
                                                         Hector’s dolphins make few audible                   Bay, and Porpoise Bay (Dawson and                     beyond the 50 m isobath in winter.
                                                      sounds, and their repertoire consists                   Slooten 1988b, Clement et al. 2011,                   Slooten et al. (2005) report a similar
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS




                                                      mainly of high frequency (112–130k Hz)                  Hamner et al. 2012a, Rodda 2014,                      change in distribution for Maui’s
                                                      clicks of either one or two short pulses                Mackenzie and Clement 2014). The                      dolphins between summer and winter
                                                      (i.e., usually less than 200 ms for single              connectivity between these regional                   aerial surveys conducted in 2004/2005.
                                                      pulses and less than 400 ms for double                  populations, especially the south coast               Similar seasonal changes in SI Hector’s
                                                      pulses, Dawson 1988a). Analyses of                      populations, appears to be limited                    dolphin distribution relative to shore
                                                      recorded vocalizations suggest Hector’s                 (Bejder and Dawson 2001, Hamner et al.                and water depth have also been detected
                                                      dolphins use their vocalizations for fine               2012a). Hector’s dolphins do not appear               in comparisons of summer and winter
                                                      discrimination, locating prey, and                      to occur offshore of or within the deep               sightings data for the west coast of the
                                                      communicating, rather than large-scale                  water fiords of Fiordland, although they              South Island; however, the observed


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                                                                          Federal Register / Vol. 81, No. 181 / Monday, September 19, 2016 / Proposed Rules                                            64113

                                                      seasonal shift on the west coast is less                biological impacts, including endocrine               to greater levels of vessel traffic
                                                      dramatic relative to that on the east                   disruption, reproductive impairment,                  (Thompson 2012). Acoustic disturbance,
                                                      coast (Rayment et al. 2011b, Mackenzie                  immune suppression, and elevated                      such as from seismic surveys, sonar, and
                                                      and Clement 2014).                                      infectious disease (e.g., Fujise et al.               drilling activities, also poses a potential
                                                                                                              1988, Kuiken et al. 1994, Jepson et al.               threat to Maui’s dolphins, because it
                                                      Summary of ESA Section 4(a)(1)
                                                                                                              2005, O’Hara and O’Shea 2001,                         may have negative physical or
                                                      Factors Affecting Maui’s Dolphin
                                                                                                              Schwacke et al. 2002, Wells et al. 2005).             physiological effects, such as shifts in
                                                        Available information regarding                       Stockin et al. (2010) examined PCB and                hearing thresholds, and may disrupt
                                                      historical, current, and potential threats              OC contaminant loads in stranded or                   normal behaviors, including navigating,
                                                      to Maui’s dolphins was thoroughly                       entangled Hector’s dolphins (n=27, SI                 migrating, and feeding (Gordon et al.
                                                      reviewed and is discussed in detail in                  Hector’s dolphins; n=3, Maui’s                        2003; Thompson 2012).
                                                      the status review report (Manning and                   dolphins) sampled from 1997 to 2009.                    The extent to which Maui’s dolphins
                                                      Grantz 2016). We summarize                              Results indicated high concentrations of              are currently being impacted by these
                                                      information regarding these threats                     these chemicals in both subspecies, and               and other habitat-related threats is
                                                      below according to the factors specified                a roughly two-fold increase in levels of              assumed to be small. These threats have
                                                      in section 4(a)(1) of the ESA.                          OC pesticides than had been previously                been characterized as having mainly
                                                        In August 2007, the New Zealand                       reported for Hector’s dolphins by Jones               sub-lethal effects, and combined, may
                                                      Department of Conservation (DOC) and                    et al. (1999). However, as noted by                   currently be responsible for less than 4.5
                                                      the Ministry for Primary Industries                     Stockin et al. (2010), no PCB                         percent of all Maui’s dolphin mortalities
                                                      (MPI, formerly called the Ministry of                   concentrations were above thresholds                  (Currey et al. 2012). However, it is
                                                      Fisheries or MFish) released a draft                    associated with reproductive and                      probable that Maui’s dolphin habitat
                                                      Threat Management Plan (TMP) for                        immunological effects (Stockin et al.                 will become increasingly degraded as a
                                                      Hector’s dolphins. This plan describes                  2010).                                                result of pollution and acoustic and
                                                      the nature and level of actual and                         Pollution in the form of plastic marine            benthic disturbances due to increasing
                                                      potential threats to Maui’s dolphins, as                debris from both marine and land-based                human pressure and demand for
                                                      well as strategies to address those                     sources can accumulate in, and degrade,               mineral and petroleum resources
                                                      threats. In addition, in June 2012, DOC                 Maui’s dolphins’ habitat. Plastics and                (MFish and DOC 2007b).
                                                      and MPI convened a risk assessment                      other synthetic, non-biodegradable
                                                      workshop to inform their review of the                                                                        Overutilization for Commercial,
                                                                                                              materials in the marine environment
                                                      Maui’s dolphin portion of the TMP. The                                                                        Recreational, Scientific or Educational
                                                                                                              create the potential for entanglement,
                                                      results of this semi-quantitative risk                                                                        Purposes
                                                                                                              injury, and ingestion. Although data are
                                                      assessment are available in the report by               lacking to evaluate whether and the                     Overutilization of Maui’s dolphins for
                                                      Currey et al. (2012). The report                        extent to which this threat is impacting              commercial, recreational, scientific, or
                                                      identifies, evaluates, and rates threats to             Maui’s dolphins, Currey et al. (2012) did             educational purposes does not appear to
                                                      Maui’s dolphins based on scoring by an                  identify plastics as being likely to affect           pose a significant threat to Maui’s
                                                      expert panel. Both the TMP and the risk                 population trends over the next 5 years.              dolphin. Maui’s dolphins have not been
                                                      assessment report greatly informed our                  Plastic bags have been identified as a                exploited commercially; although, Baker
                                                      assessment, as summarized below.                        concern in particular, because they may               (1978, citing Abel et al. 1971) noted
                                                                                                              be mistaken for squid, a common prey                  that, between 1969 and 1972, a few
                                                      The Present or Threatened Destruction,                                                                        Hector’s dolphins were taken for live
                                                      Modification, or Curtailment of Its                     item for Maui’s dolphins.
                                                                                                                 Interest in marine minerals mining                 exhibition at Marineland of New
                                                      Habitat or Range                                                                                              Zealand. It’s not clear which subspecies
                                                                                                              along the North Island of New Zealand
                                                        Threats to the habitat of Maui’s                      has been growing in recent years, with                was taken. Hector’s dolphins have also
                                                      dolphins include pollution, mining, oil                 prospecting and exploration occurring                 apparently been taken for food, oil, and
                                                      and gas development activities, acoustic                mainly from Manukua Harbor south to                   bait; however, the extent to which this
                                                      disturbance (Currey et al. 2012).                       New Plymouth (Thompson 2012).                         occurred is unknown (Pichler et al.
                                                        Persistent chemical pollutants are a                  Exploration activities have mainly                    2003).
                                                      concern for many cetacean species,                      targeted iron sands or titanomagnetite                  There is some evidence that
                                                      which theoretically can accumulate                      (Thompson 2012). According to New                     commercial dolphin-watching vessels
                                                      high concentrations of contaminants                     Zealand Petroleum and Minerals                        and swim-with-dolphin operations
                                                      due to their longevity, high trophic-                   (NZPM), which is the government                       cause behavioral changes in Hector’s
                                                      level, and naturally high blubber                       agency responsible for issuing mining                 dolphins (Bejder et al. 1999,
                                                      content (Stockin et al. 2010).                          permits for New Zealand’s oil, gas and                Constantine 1999, Martinez et al. 2012).
                                                      Contaminants are also specifically a                    mineral resources, demand and                         Such tourism activities, however, seem
                                                      concern for Hector’s dolphins due to the                exploration for petroleum (oil and gas)               to occur at a relatively low intensity
                                                      dolphins’ coastal distribution and thus                 is also increasing, and multiple areas                within the range of Maui’s dolphins and
                                                      close proximity to agricultural and                     within the range of Maui’s dolphins are               instead are much more concentrated
                                                      industrial activities. Toxicological                    covered under existing prospecting,                   elsewhere—mainly the Bay of Islands
                                                      studies of contaminants, such as                        exploration, and mining permits.                      and the Bay of Plenty on the east coast
                                                      polychlorinated biphenyls (PCBs) and                    Mineral mining activities involving the               of the North Island and various
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS




                                                      organochlorine (OC) pesticides, are                     large scale removal of sediment from the              locations of the South Island (Martinez
                                                      limited for Maui’s dolphins, and studies                seabed are likely to lead to relatively               2010b). Although tourism and the
                                                      on emerging contaminants, such as                       long term (3–10 year) changes to benthic              potential related impacts of boat strike,
                                                      brominated flame retardant (PBDEs) and                  community composition, thereby                        noise, and displacement were identified
                                                      perfluorinated chemicals, have yet to be                altering prey availability and benthic                as threats in the risk assessment
                                                      done. Numerous studies on other                         topography (Thompson 2012). Other                     completed by Currey et al. (2012), the
                                                      cetacean species have linked                            potential, unintended side-effects                    expert panel did not think these threats
                                                      contaminants, such as heavy metals,                     include the mobilization and accidental               were likely to affect population trends
                                                      PCBs, and OC pesticides, with                           spilling of contaminants and exposure                 within the next 5 years.


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                                                      64114               Federal Register / Vol. 81, No. 181 / Monday, September 19, 2016 / Proposed Rules

                                                      Disease or Predation                                    limited, fishery-related mortality has                Maui’s dolphins by closing waters to set
                                                         Predation of Hector’s dolphins by                    been identified as posing a significant               netting from Maunganui Bluff to
                                                      several shark species, such as seven-gill               threat to Maui’s dolphins. The risk                   Pariokariwa Point out to 4 nmi (7.4 km)
                                                      sharks (Notorhynchus cepedianus) and                    assessment completed by Currey et al.                 and inside the entrance to the Manukau
                                                      blue sharks (Prionace glauca), is known                 (2012) attributed 95.5 percent of the                 Harbor. Trawling was also prohibited
                                                      to occur; however, predation rates are                  estimated human-caused mortalities                    out to 2 nmi (3.7 km) along most of this
                                                      not known (Slooten and Dawson 1988).                    forecasted to occur over the next 5 years             same stretch of coastline and out to 4
                                                      Predation was not considered to be                      to legal and illegal fishing-related                  nmi within a short portion of the Maui’s
                                                      posing a threat to Maui’s dolphins in the               activities. This translated into an                   dolphin’s core range (see Figure 7 in
                                                                                                              estimated median of 4.97 Maui’s                       Manning and Grantz 2016). Commercial
                                                      recent risk assessment by Currey et al.
                                                                                                              dolphin mortalities per year due to                   and recreational gillnetting continued
                                                      (2012).
                                                         Disease is another known source of                   fishing activities (95 percent confidence             within harbors and in the southern
                                                                                                              interval (CI) = 0.28—8.04). To help                   portion of the Maui’s dolphin range.
                                                      mortality for Hector’s dolphins. In their
                                                                                                              inform the risk assessment of Currey et                  In 2007, when the draft TMP was
                                                      evaluation, Currey et al. (2012)
                                                                                                              al. (2012), Wade et al. (2012) calculated             released, the MPI and DOC concluded
                                                      categorized natural disease, stress-                                                                          that bycatch was still the most serious
                                                                                                              the Potential Biological Removal (PBR)
                                                      induced disease, and domestic animal                                                                          threat to Hector’s dolphins. In 2008,
                                                                                                              for Maui’s dolphins and estimated it as
                                                      vectors as posing threats that are likely                                                                     MFish expanded protection for Maui’s
                                                                                                              one dolphin mortality every 10 to 23
                                                      to have population level effects on                                                                           dolphins by extending the set netting
                                                                                                              years. PBR, which is a management tool
                                                      Maui’s dolphins within the next 5 years.                                                                      closure out to 7 nmi (13.0 km; instead
                                                                                                              specific to the U.S. Marine Mammal
                                                      Prevalence of infectious disease and                                                                          of 4 nmi (7.4 km)) and farther into
                                                                                                              Protection Act (MMPA) is used to
                                                      associated behavioral impacts and                                                                             Manukau Harbor. Then, in 2012,
                                                                                                              evaluate allowable levels of human-
                                                      mortality rates have not been well                      caused mortality (Wade 1998; Wade et                  following an entanglement of a Maui’s
                                                      studied in Hector’s dolphins, so the                    al. 2012). (PBR is defined under section              dolphin off Cape Egmont, an interim
                                                      significance of this source of mortality                3 of the MMPA as the maximum                          ban was put in place from Pariokariwa
                                                      remains unclear. Recently, Roe et al.                   number of animals, not including                      Point south to Hawera for all set netting
                                                      (2013) found that 7 of 28 Hector’s                      natural mortalities, that may be removed              out to 2 nmi (Gazette, 28 June 2012) and
                                                      dolphins (25 percent), including 2 of 3                 from a marine mammal stock while                      for commercial set netting between two
                                                      Maui’s dolphins, collected between                      allowing that stock to reach or maintain              and seven nautical miles offshore unless
                                                      2007 and 2011 and later necropsied had                  its optimum sustainable population (16                an MPI observer was on board (see
                                                      died as a result of Toxoplasma gondii                   U.S.C. 1362).) This analysis indicates                Figure 8 in Manning and Grantz 2016).
                                                      infection. Of the 22 dolphins for which                 that the estimated bycatch mortality of               In 2013, the MPI determined that their
                                                      a definitive cause of death was                         Maui’s dolphins greatly exceeds PBR.                  interim measures would be made
                                                      established, a total of ten (45 percent)                   The DOC maintains a database of                    permanent (MPI and DOC 2013).
                                                      were found to have died from infectious                 reports from the public of dead and                      This steady expansion of area-based,
                                                      disease (T. gondii infections, bacterial                stranded Hector’s dolphins, and                       bycatch-reduction measures along the
                                                      infection, or fungal infection). These                  between 1921 and 2008, 45 percent of                  west coast of the North Island has
                                                      findings suggest that infectious disease                the reports for Maui’s dolphins (4 of 11              resulted in a substantial level of
                                                      may be a significant source of mortality                dolphins) for which cause of death                    protection for Maui’s dolphins.
                                                      for Hector’s dolphins. In addition, while               could be determined were found to have                However, bycatch remains a concern for
                                                      toxoplasmosis is typically a secondary                  died due to ‘‘possible,’’ ‘‘probable,’’ or            Maui’s dolphins, because current
                                                      disease in cetaceans, resulting in                      ‘‘known’’ entanglement (http://                       fisheries restrictions do not extend
                                                      symptoms in immunosuppressed                            www.doc.govt.nz/our-work/hectors-and-                 throughout their range and certain forms
                                                      individuals rather than healthy                         maui-dolphin-incident-database/1921–                  of fishing still occur within the core
                                                      individuals, there was no evidence of                   2008/). Between July 2008 and January                 portion of the subspecies’ range. In
                                                      immunosuppression in these cases (Roe                   2016, the DOC Incident Database lists an              particular, commercial and non-
                                                      et al. 2013). This finding suggests that                additional four confirmed Maui’s                      commercial set netting occur within all
                                                      Hector’s dolphins may be particularly                   dolphins, and of the two with                         west coast harbors, with all areas within
                                                      susceptible to toxoplasmosis. Roe et al.                determinable causes of death, one was                 the harbors, from intertidal areas to the
                                                      (2013) also note that toxoplasmosis may                 an adult female found dead in January                 deeper channels, being fished for
                                                      have other effects beyond direct                        2012 from entanglement in a                           species like flounder, mullet, and rig
                                                      mortality and could be an important                     commercial net set (http://                           (MFish and DOC 2007b). Sightings data
                                                      cause of neonatal loss. The source of the               www.doc.govt.nz/our-work/hectors-and-                 (Slooten et al. 2005) and passive
                                                      T. gondii infection could not be                        maui-dolphin-incident-database/). (The                acoustic data (Rayment et al. 2011a)
                                                      determined in this study, but exposure                  other dolphin was recorded as having                  indicate that Maui’s dolphins occur at
                                                      may be occurring through freshwater                     died due to natural causes.)                          least occasionally within west coast
                                                      run-off from terrestrial sources (Roe et                   Bycatch of Maui’s dolphins occurs                  harbors and therefore may be at risk of
                                                      al. 2013). Overall, while data remain                   mainly in gillnet gear, but bycatch in                entanglement in these areas (MFish and
                                                      limited for Maui’s dolphins, the                        trawl gear is likely also posing a threat             DOC 2007b). In addition, the southern
                                                      available data suggest that disease,                    (Bird and Palka 2013). Although                       extension of the gillnetting prohibitions
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS




                                                      especially toxoplasmosis, is posing a                   commercial gillnetting had been                       that was put in place in 2012 only
                                                      threat to Maui’s dolphins.                              practiced in New Zealand since 1930                   extends out to 2 nmi (3.7 km) from
                                                                                                              (DOC and MFish 1994), fishing effort                  shore, as opposed to the 7 nmi (13 km)
                                                      Inadequacy of Existing Regulatory                       was low until the mid-1970s (Dawson                   boundary elsewhere along the west
                                                      Mechanisms                                              1991). By the 1980’s, bycatch of                      coast. Beyond 2 nmi, gillnetting is
                                                        A number of regulatory measures                       dolphins in gillnets became a serious                 permitted in this portion of the range if
                                                      have been put in place to address                       concern in New Zealand (Dawson and                    an MPI observer is on board.
                                                      bycatch of Maui’s dolphins. Although                    Slooten 2005). Eventually, in 2003,                   Furthermore, the extension of the closed
                                                      data on bycatch of Maui’s dolphins are                  MFish began to address bycatch of                     area in the southern portion of the


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                                                                          Federal Register / Vol. 81, No. 181 / Monday, September 19, 2016 / Proposed Rules                                            64115

                                                      dolphin’s range may not extend far                      mitigation requirements. Shortly                      July 2008 to April 2016 are listed with
                                                      enough southward. The risk assessment                   thereafter, in November 2013, the DOC                 boat strike as the cause of death.
                                                      of Currey et al. (2012) used survey and                 and MPI announced a decision to
                                                                                                                                                                    Summary of ESA Section 4(a)(1)
                                                      non-survey sightings data to develop a                  formally regulate seismic surveying and
                                                                                                                                                                    Factors Affecting SI Hector’s Dolphin
                                                      distribution for Maui’s dolphins that                   make the 2012 code of conduct a
                                                      extends to Whanganui, which is about                    mandatory standard. The mandatory                       Available information regarding
                                                      70 km south of the current gillnet closed               code of conduct applies to Territorial                historical, current, and potential threats
                                                      area boundary at Hawera. Trawling also                  waters, the Exclusive Economic Zone                   to SI Hector’s dolphins was thoroughly
                                                      continues in waters past the existing 2                 (EEZ) of New Zealand, and within all                  reviewed and is discussed in detail in
                                                      nmi or 4 nmi offshore boundary for the                  marine mammal sanctuaries, and it                     the status review report (Manning and
                                                      trawling closed area—even in the core                   continues to include requirements for                 Grantz 2016). We summarize
                                                      portion of the Maui’s dolphin’s range.                  planning, operations, monitoring, and                 information regarding these threats
                                                      Currey et al. (2012) concluded that                     reporting. The 2013 code of conduct is                below according to the factors specified
                                                      trawling in this zone was a source of                   currently undergoing review and may be                in section 4(a)(1) of the ESA.
                                                      continued bycatch risk for Maui’s                       further augmented to increase                         The Present or Threatened Destruction,
                                                      dolphins.                                               protections for Maui’s dolphins and                   Modification, or Curtailment of Its
                                                         Before the protected area extensions                 other species of concern.                             Habitat or Range
                                                      in 2012, estimated bycatch was about                       As indicated in the discussion above,
                                                      4.69 to 13.01 dolphins per year or about                there are gaps in the current regulatory                 As discussed earlier for Maui’s
                                                      75 times the PBR of 0.044–0.1 Maui’s                    protections for Maui’s dolphins.                      dolphins, persistent chemical pollutants
                                                      dolphins per year (Currey et al. 2012).).               Population viability analyses performed               are a concern for SI Hector’s dolphins,
                                                      The recent extensions to the protection                 under previous management scenarios                   which can theoretically accumulate
                                                      measures have reduced the estimated                     have predicted continued declines in                  high concentrations of contaminants
                                                      bycatch to 3.28¥4.16 Maui’s dolphin                     abundance of Maui’s dolphins or failure               due to their longevity, high trophic-
                                                      mortalities per year or about 54 times                  to recover (Burkhart and Slooten 2003,                level, and naturally high blubber
                                                      PBR (Slooten 2014).                                     Slooten 2007a), as do more recent                     content (Stockin et al. 2010). In
                                                         A series of regulations have been put                analyses under the current fisheries                  cetaceans, biological impacts resulting
                                                      in place to address some of the threats                 management regime (Slooten 2013).                     from accumulation of contaminants
                                                      associated with mining and petroleum                    More recent modelling work also                       such as heavy metals, PCBs, and
                                                      industry activities. The West Coast                     indicates that recovery of this                       organochlorine (OC) pesticides include
                                                      North Island Marine Mammal Sanctuary                    subspecies will occur only under                      endocrine disruption, reproductive
                                                      (WCNIMMS) was established in 2008 as                    circumstances where human-induced                     impairment, immune suppression, and
                                                      part of the draft TMP, and restrictions                 mortality is extremely minimal (Wade et               elevated infectious disease (e.g., Fujise
                                                      were put in place on seabed mining and                  al. 2012; Slooten 2013). Therefore, we                et al. 1988, Kuiken et al. 1994, O’Hara
                                                      acoustic seismic surveys within the                     conclude that while the protections for               and O’Shea 2001, Schwacke et al. 2002,
                                                      sanctuary. In particular, seabed mineral                Maui’s dolphins have gradually                        Jepson et al. 2005, Wells et al. 2005). As
                                                      mining was prohibited out to 2 nmi (3.7                 increased from 2003 to present, there is              previously mentioned, Stockin et al.
                                                      km) along the full length of the                        insufficient evidence to conclude that                (2010) found high PCB and OC
                                                      sanctuary and out to 4 nmi (7.4 km)                     current regulatory measures are                       contaminant loads in Hector’s dolphins
                                                      south of Raglan Harbor to north of                      adequate in terms of addressing threats               (n=27, SI Hector’s dolphins; n=3, Maui’s
                                                      Manakau Harbor. However, a large                        to this subspecies.                                   dolphins) sampled from 1997 to 2009,
                                                      swath of the sanctuary, which extends                                                                         and a roughly two-fold increase in
                                                      out 12 nmi (22.2 km) from the coast,                    Other Natural or Manmade Factors                      levels of OC pesticides than had been
                                                      remains open to mining. A range of                      Affecting Its Continued Existence                     previously reported for Hector’s
                                                      operational requirements has been                          Other threats identified in the 2012               dolphins by Jones et al. (1999).
                                                      specified for seismic surveying within                  risk assessment and characterized as                  However, no PCB concentrations were
                                                      the sanctuary (Gazette: Gazette, 25                     being likely to affect population trends              above thresholds associated with
                                                      September 2008), including mandatory                    within the next 5 years include fishing               reproductive and immunological effects
                                                      notification prior to conducting surveys                vessel noise, disturbance, and trophic                (Stockin et al. 2010). High levels of
                                                      and mandatory reporting of any                          effects of fishing; however, these threats            polychlorinated dibenzo-p-dioxins
                                                      interactions with dolphins. Qualified                   were considered to collectively make                  (PCDDs) and dibenzofurans (PCDFs),
                                                      marine mammal observers are required                    very limited contributions to the overall             which are two related and ubiquitous
                                                      on all survey ships to help ensure that                 level of human-caused mortality (Currey               chemical contaminants, were also found
                                                      no whales or dolphins are too close to                  et al. 2012). Although vessel traffic and             to occur at unexpected levels in the
                                                      the ship. When visibility is poor,                      its associated impacts of disturbance                 blubber of six SI Hector’s dolphins
                                                      hydrophones must be used to listen for                  and boat strikes were considered to                   (Buckland et al. 1990).
                                                      whale and dolphin sounds (Gazette, 25                   contribute little to annual mortality of                 Plastic marine debris is also a concern
                                                      September 2008). In August 2012, the                    Maui’s dolphins, mortality due to vessel              for SI Hector’s dolphins. Plastics and
                                                      DOC Minister and the Minister of                        traffic was rated as having a 47.8                    other synthetic, non-biodegradable
                                                      Energy and Resources developed a                        percent chance of exceeding PBR                       materials in the marine environment
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS




                                                      voluntary ‘‘Code of Conduct for                         (Currey et al. 2012). Due to their coastal            create the potential for entanglement,
                                                      Minimizing Acoustic Disturbance to                      distribution and apparent attraction to               injury, and ingestion by various marine
                                                      Marine Mammals from Seismic Surveys                     small boats (Baker 1978, Slooten and                  species. As with other marine mammals,
                                                      Operations.’’ This voluntary guidance                   Dawson 1988), the potential for boat                  Hector’s dolphins may become
                                                      was intended to increase protections for                strikes could be considered relatively                entangled and subsequently wounded,
                                                      Maui’s dolphins, in part by identifying                 high, but reports of boat strikes have                or have impaired foraging ability, and/
                                                      their entire historical range out to 100m               been extremely rare (Stone and                        or increased susceptibility to predation.
                                                      water depth as an ‘‘Area of Ecological                  Yoshinaga 2000a). None of the reports                 Ingestion of plastics by marine species
                                                      Significance,’’ which triggers additional               within the DOC Incident Database from                 has been associated with a multitude of


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                                                      64116               Federal Register / Vol. 81, No. 181 / Monday, September 19, 2016 / Proposed Rules

                                                      impacts including blockage of the                       commercial, recreational, scientific, or              some regional dolphin populations, a
                                                      digestive tract, starvation, reduction in               educational purposes; although, as                    relatively large portion of that
                                                      reproductive capacity, drowning, and                    noted earlier, a few Hector’s dolphins                population can be exposed to the tourist
                                                      possible accumulation of toxic                          have been taken for live exhibition.                  activities occurring in a particular
                                                      compounds (Laist 1997, Gregory 2009).                   While Hector’s dolphins have also                     harbor or area. For example, about 80
                                                      Plastic debris was found in the stomach                 apparently been taken for food, oil, and              percent of the SI Hector’s dolphins that
                                                      of a SI Hector’s dolphin that stranded                  bait, the extent to which this occurred               were photo-identified in surveys around
                                                      along the coast of the Canterbury region,               is not known (Pichler et al. 2003).                   Banks Peninsula between 1985 and
                                                      and there are anecdotal reports of SI                      There is growing evidence that                     2006 had alongshore home ranges that
                                                      Hector’s dolphins off Banks Peninsula                   overutilization in the form of                        included Akaroa Harbor, and for half of
                                                      with fishing line or netting entangling                 commercial dolphin-watching and                       these dolphins, Akaroa Harbor served as
                                                      the head or upper body and cutting into                 swim-with-dolphin operations, which                   a core use or ‘‘hub’’ area (Rayment et al.
                                                      the blubber (MFish and DOC 2007b).                      are increasingly popular tourist                      2009a).
                                                         Mining occurs along the west coast of                activities in New Zealand, are a concern                Longer-term impacts of these tourism
                                                      the South Island where there are                        for SI Hector’s dolphins. The majority of             activities on SI Hector’s dolphins are
                                                      significant nearshore and beach deposits                the commercial viewing and encounter                  not yet clear but could include
                                                      of ilmenite (mined mainly for titanium                  operations in New Zealand occur                       physiological stress, reduced energy
                                                      dioxide). The TMP for Hector’s dolphins                 around the South Island and are                       intake, and possibly even reduced
                                                      identified possible impacts of mining                   especially popular along the east coast               calving success. Linkages between
                                                      activity, including loss or reduction in                off Kaikoura and within Akaroa Harbor,                immediate behavioral responses to
                                                      prey species, noise, and vessel                         which have become major eco-tourist                   vessel traffic and longer-term biological
                                                      disturbance (MFish and DOC 2007b).                      destinations in New Zealand (Martinez                 consequences have already been
                                                      Based on a search of the NZPM’s map                     2010b). Within Akaroa Harbor, and as of               established for other species (e.g.,
                                                      in June 2016 (http://                                   2010, there were up to about 18 daily                 Tursiops sp.) and include declines in
                                                      data.nzpam.govt.nz/                                     ‘swim-with’ trips and 14 dolphin-                     abundance and reduced reproductive
                                                      permitwebmaps?commodity=minerals),                      watching trips per day between                        success in females (Bejder et al. 2006a,
                                                      a large portion of the SI Hector’s                      November and March that specifically                  2006b, 2006c). Given this information
                                                      dolphin west coast range is included in                 targeted Hector’s dolphins (Martinez                  and the fact that SI Hector’s dolphin
                                                      a prospecting permit application,                       2010b). In addition to permitted                      populations encounter dolphin-
                                                      indicating the potential for continued                  commercial operations, opportunistic                  watching operations in multiple areas of
                                                      mining activity in this region.                         viewing also occurs by both commercial                their range (e.g., Porpoise Bay, Timaru,
                                                         Prospecting permits for petroleum                    and recreational boaters.                             Akaroa Harbor, and Marlborough
                                                      cover large areas along the southeastern                   Dolphin-watching and swim-with-                    Sounds), dolphin-watching and ‘swim-
                                                      coast of the South Island (http://                      dolphin operations have been shown to                 with’ activities are likely posing a
                                                      data.nzpam.govt.nz/                                     cause behavioral changes in Hector’s                  significant but sub-lethal threat to this
                                                      permitwebmaps?commodity=petroleum,                      dolphins (Bejder et al. 1999,                         subspecies. The actual magnitude of this
                                                      June 2016). Drill ships are also operated               Constantine 1999, Martinez et al. 2012).              threat cannot yet be established, but this
                                                      off Canterbury and along the west coast                 In a study of SI Hector’s dolphins in                 threat is likely to persist given the
                                                      of the South Island. Potential habitat                  Porpoise Bay, Bejder et al. (1999) found              popularity and lucrativeness of the eco-
                                                      impacts from these activities include oil               that while SI Hector’s dolphins were not              tourism industry in New Zealand.
                                                      spills; increased vessel traffic; and                   displaced by dolphin-watching tour
                                                                                                              boats, the dolphins did respond by                    Disease or Predation
                                                      acoustic disturbances from seismic
                                                      surveys, sonar, and drilling activities.                approaching the boats, especially                       As previously mentioned, predation
                                                      Contaminants in oil and gas may impact                  initially, and by forming significantly               of Hector’s dolphins by several shark
                                                      the health of the dolphins, and the                     tighter groupings. A possible                         species, such as broadnose seven-gill
                                                      associated noise may disrupt normal                     interpretation of the behavioral response             sharks (N. cepedianus) and blue sharks
                                                      behaviors, such as navigating, migrating,               of ‘bunching’ is that the boat is                     (P. glauca), is known to occur (Slooten
                                                      and feeding (Gordon et al. 2003,                        perceived as some kind of threat and                  and Dawson 1988). Although seven-gill
                                                      Thompson 2012).                                         may in fact cause the animals some                    sharks are particularly common around
                                                         Overall, it is clear that SI Hector’s                level of stress (Constantine 1999). In                Banks Peninsula, predation rates are not
                                                      dolphins are exposed to multiple                        Akaroa Harbor, Martinez (2010b) found                 known (Slooten and Dawson 1988), and
                                                      habitat-related threats. However, the                   that both diving—which is considered a                there is no evidence to suggest
                                                      extent to which SI Hector’s dolphins are                feeding behavior—and travelling were                  predation is posing a threat to this
                                                      being impacted—both individually and                    significantly disrupted by vessel                     subspecies.
                                                      at a population level—by these habitat-                 interactions. Evidence also indicates                   Prevalence of infectious disease and
                                                      related threats is not yet established due              that the use of sounds to attract Hector’s            associated impacts have not yet been
                                                      to insufficient data (MFish and DOC                     dolphins to swimmers affects the                      well studied in Hector’s dolphins, but
                                                      2007b). It is possible that SI Hector’s                 behavior of the dolphins (Martinez et al.             recent evidence suggests that infectious
                                                      dolphin habitat will become                             2012). For example, both the number                   disease may be a significant source of
                                                      increasingly degraded in the future with                and the duration of close interactions or             mortality for SI Hector’s dolphins. In
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS




                                                      increasing human use of the coastal                     approaches by Hector’s dolphins were                  particular, Roe et al. (2013) found that
                                                      zone and its resources (MFish and DOC                   significantly greater when a swimmer                  out of 22 dolphins collected between
                                                      2007b).                                                 banged two rocks together underwater                  2007 and 2011 for which a definitive
                                                                                                              (Martinez et al. 2012). Such deliberate               cause of death was established, a total
                                                      Overutilization for Commercial,                         efforts to attract Hector’s dolphins could            of ten (45 percent) had died due to
                                                      Recreational, Scientific or Educational                 have behavioral consequences such as                  infectious disease (Toxoplasma gondii
                                                      Purposes                                                disrupted or reduced foraging time,                   infections, bacterial infection, or fungal
                                                        Hector’s dolphins have not been                       which in turn can have biological                     infection). Five of the 22 SI Hector’s
                                                      systematically captured for any                         consequences (Martinez et al. 2012). For              dolphins (23 percent) were found to


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                                                                          Federal Register / Vol. 81, No. 181 / Monday, September 19, 2016 / Proposed Rules                                           64117

                                                      have died as a result of T. gondii                      100 dolphins per year (Davies et al.                     In addition to the expansion of
                                                      infection (toxoplasmosis, Roe et al.                    2007).                                                BPMMS, a series of fishing restrictions
                                                      2013). While toxoplasmosis is typically                    Released in 2007, the TMP for                      were put in place in 2008 to reduce
                                                      a secondary disease in cetaceans,                       Hector’s dolphins identified set                      bycatch of SI Hector’s dolphins
                                                      resulting in symptoms in                                gillnetting as the greatest source of                 elsewhere around the South Island.
                                                      immunosuppressed individuals rather                     human-caused mortality of Hector’s                    Along the east and south coasts, from
                                                      than healthy individuals, there was no                  dolphins but also discussed how SI                    Cape Jackson in the Marlborough
                                                      evidence of immunosuppression in                        Hector’s dolphins are incidentally                    Sounds to Sandhill Point east of
                                                      these cases, suggesting that Hector’s                   captured in other gear types (MFish and               Fiordland, commercial gillnetting was
                                                      dolphins are particularly susceptible to                DOC 2007b). Between 1921 and when                     banned out to 4 nmi (7.4 km) from
                                                      toxoplasmosis (Roe et al. 2013). Beyond                 the TMP was released, the DOC Incident                shore, except at Kaikoura, where it was
                                                      direct mortality, toxoplasmosis can also                Database indicates there had been 19                  banned out to 1 nmi (1.9 km), and in Te
                                                      have other biological consequences,                     reports of Hector’s dolphin mortalities               Waewae Bay, where it is banned out to
                                                      such as behavioral changes, reduced                     due to trawls, which corresponds to 9                 about 9 nmi (16.7 km) from shore
                                                      reproductive rate, and neonatal loss.                   percent of the reported incidents with a              (MFish 2008). Recreational gillnetting
                                                      Because the fatal cases of T. gondii                    known cause of death. All 19 of these                 was allowed to continue in specified
                                                      infection in this study were distributed                reports occurred off the South Island                 harbors and estuaries; and, in the case
                                                      throughout almost the entire range of                   within 2 nmi (3.7 km) of shore (MFish                 of flatfishing (e.g. for Rhombosolea
                                                      the SI Hector’s dolphin, exposure is                    and DOC 2007b). Entanglement deaths                   spp.), gillnetting was permitted from
                                                      probably occurring over broad areas.                    of SI Hector’s dolphins have also                     April through September in the upper
                                                      Overall, the available data suggest that                occurred in pot traps (e.g., rock lobster             reaches of four harbors on Banks
                                                      disease, especially toxoplasmosis, is                   pots). Three such incidents were                      Peninsula, and in a similar area in
                                                      posing a threat to SI Hector’s dolphins.                reported (in 1989, 1997, and 2004) and                Queen Charlotte Sound. Trawling was
                                                                                                              all occurred off Kaikoura, which is                   also prohibited along the east and south
                                                      Inadequacy of Existing Regulatory                                                                             coasts from Cape Jackson to Sandhill
                                                      Mechanisms                                              along the northeast coast of the South
                                                                                                              Island (MFish and DOC 2007b).                         Point out to 2 nmi (3.7 km), with an
                                                                                                                                                                    exception for trawls using a low
                                                         As with Maui’s dolphins, a number of                    In reaction to the growing concern
                                                                                                                                                                    headline net (used to target flatfish,
                                                      regulatory measures have been put in                    over bycatch of Hector’s dolphins, the
                                                                                                                                                                    MFish 2008). On the west coast of the
                                                      place to address bycatch of SI Hector’s                 DOC established the Banks Peninsula
                                                                                                                                                                    South Island, again with some
                                                      dolphins. As previously noted, by the                   Marine Mammal Sanctuary (BPMMS) in
                                                                                                                                                                    exceptions for certain harbors, inlets,
                                                      1980’s, bycatch of Hector’s dolphins in                 1988. When it was first established, the
                                                                                                                                                                    estuaries, river mouths and lagoons,
                                                      commercial and recreational gillnets                    sanctuary extended from Sumner Head
                                                                                                                                                                    recreational set netting was banned
                                                      was recognized as a serious issue in                    to the Rakaia River and out to 4 nmi (7.4
                                                                                                                                                                    year-round in waters out to 2 nmi (3.7
                                                      New Zealand (Dawson and Slooten                         km), covering an area of about 1,140 sq
                                                                                                                                                                    km) and from Cape Farewell on
                                                      2005). In the South Island, a region of                 km. All gillnetting within the sanctuary              Farewell Spit to Awarua Point north of
                                                      particular concern was the Pegasus Bay                  (with some harbor exceptions) was                     Fiordland; and commercial set netting
                                                      and Canterbury Bight area along the east                prohibited from November through                      was banned in the same area from
                                                      coast, where there was a known high                     February, and additional gear                         December through February (MFish
                                                      degree of overlap between inshore                       restrictions that applied throughout the              2008). No trawling prohibitions were
                                                      gillnetting and a locally abundant                      remainder of the year essentially                     implemented for the west coast, and no
                                                      population of SI Hector’s dolphins. To                  resulted in a year-round ban of                       fishing prohibitions were instituted
                                                      begin to quantify the level of bycatch,                 commercial gillnetting within the                     along the north coast of the South
                                                      Dawson (1991b) conducted fisherman                      sanctuary (Dawson and Slooten 1993).                  Island. Since 2008, some amendments
                                                      interviews during 1984–1988 and found                   Additional restrictions on recreational               and changes to these fishery restrictions
                                                      that at least 230 SI Hector’s dolphins                  gillnetting, such as limiting fishing to              have been made for particular fishing
                                                      had died due to entanglement in                         daylight hours only and requiring                     activities and specific locations, but
                                                      commercial and recreational gillnets in                 continuous tending of nets, were also                 these changes are limited in scope and
                                                      the Pegasus Bay and Canterbury Bight                    enacted to help further reduce bycatch                scale and are not discussed in detail
                                                      region during this period. Ages of                      mortality. Based on fisheries observer                here; see Manning and Grantz (2016) for
                                                      entangled dolphins that were physically                 data, bycatch in gillnets continued to                additional detail.
                                                      examined (n=43) ranged from younger                     occur to the immediate north and south                   Recently, in 2013, the DOC
                                                      than 1 year to about 20 years old, but                  of the sanctuary at unsustainable levels              established the Akaroa Harbor Marine
                                                      a high proportion (63 percent) were 3                   (Baird and Bradford 2000, Dawson and                  Reserve at the mouth of Akaroa Harbor
                                                      years old or younger, suggesting that                   Slooten 2005), and there was little                   on Banks Peninsula. This reserve
                                                      younger dolphins are especially                         evidence of improved survival of SI                   includes about 512 hectares of habitat or
                                                      vulnerable to entanglement (Dawson                      Hector’s dolphins within the sanctuary                about 12 percent of the total harbor area
                                                      1991b). Overall, this level of bycatch                  (Cameron et al. 1999). In recognition                 (www.doc.govt.nz/parks-and-recreation/
                                                      (i.e., 230 over 4 years or about 57.5                   that further protection of SI Hector’s                places-to-go/canterbury/places/banks-
                                                      entanglement mortalities per year),                     dolphins was needed, the sanctuary                    peninsula-area/akaroa-marine-reserve/).
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS




                                                      greatly exceeded the estimated                          boundaries were expanded in 2008 to                   As a result of this designation, which
                                                      population growth rate for this regional                the north and south and out to 12 nmi                 provides protection to all marine life
                                                      population (1.8¥4.9 percent or                          (22.2 km) offshore, but no restrictions               within the reserve, fishing and any other
                                                      13.3¥36.3 individuals per year; Dawson                  on fishing activities were applied to the             taking of living or non-living marine
                                                      and Slooten 1988b, Slooten and Lad                      area beyond the original 4 nmi (7.4 km)               resources is prohibited.
                                                      1991). Subsequent analyses based on                     sanctuary boundary (MFish and DOC                        Despite the gradual increase in fishing
                                                      observer data, suggested that bycatch                   2007b, DOC 2008). The sanctuary                       restrictions around the South Island,
                                                      rates during this period (1984¥1988)                    currently encompasses about 4,130 sq.                 exposure of SI Hector’s dolphins to
                                                      were actually much higher, averaging                    km and 389 km of coastline.                           fishing activity remains fairly high


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                                                      64118               Federal Register / Vol. 81, No. 181 / Monday, September 19, 2016 / Proposed Rules

                                                      throughout the South Island. On the                     almost three decades of protection,                   Gormley et al. 2012, Slooten and Davies
                                                      west coast, where the dolphins are                      Gormley et al. (2012) conducted a mark-               2012). Finally, enforcement of the
                                                      known to occur year-round and range to                  recapture analysis of photographically                existing regulations may be insufficient.
                                                      about 6.5 nmi (12.0 km) offshore                        identified dolphins (n=462) from 1986                 Illegal fishing has been reported for
                                                      (Mackenzie and Clement 2016),                           to 2006 to compare annual survival rates              Banks Peninsula (Slooten and Davies
                                                      commercial gillnetting is prohibited                    before and after establishment of the                 2012), and illegal fishing is discussed in
                                                      only out to 2 nmi for just 3 months of                  sanctuary and associated gillnetting                  the TMP (MFish and DOC 2007b). There
                                                      the year, and there are no prohibitions                 restrictions. Results indicated that                  are insufficient data available to
                                                      on trawling. Survey sightings off the                   between the two time periods, mean                    evaluate the level of compliance with
                                                      south coast indicate that the dolphins at               survival probability increased by 5.4                 existing regulations.
                                                      least occasionally occur as far as 9.6 nmi              percent (from 0.863 to 0.917), which                     Several management measures have
                                                      (17.8 km) from shore and outside of                     corresponds to a 6 percent increase in                been implemented to address some of
                                                      protected areas (Clement et al. 2011). On               population growth. However, the                       the threats associated with mining and
                                                      the east coast, a substantial portion of                population projections using the post-                petroleum industry activities. For both
                                                      the population is distributed well                      sanctuary survival rate also                          petroleum and minerals mining
                                                      beyond the current closed areas,                        corresponded to a mean annual                         activities, a permit is generally required
                                                      particularly in winter months (e.g., out                population decrease of 0.5 percent per                from local authorities under the
                                                      to 18.2 nmi (33.7 km), Rayment et al.                   year, with only 41 percent of the model               Resource Management Act 1991 for
                                                      2006, Rayment et al. 2010b); and                        simulations resulting in a population                 mining activities within New Zealand’s
                                                      gillnetting is still allowed within the                 increase (Gormley et al. 2012). As noted              territorial sea (within 12 nmi from the
                                                      BPMMS in waters between the original                    by Gormley et al. (2012), this finding is             coast). For mining activities beyond the
                                                      (4 nmi) and the extended offshore                       consistent with other research                        territorial sea, the Environmental
                                                      boundary (12 nmi).                                      indicating that the BPMMS is too small                Protection Authority (EPA) manages the
                                                         Evidence of continued bycatch                        to allow recovery of this SI Hector’s                 environmental effects of activity under
                                                      around the South Island is available in                 dolphin population (Rayment et al.                    the Exclusive Economic Zone and
                                                      the DOC Incident Database                               2006, Slooten et al. 2006b, Slooten and               Continental Shelf (Environmental
                                                      (www.doc.govt.nz/our-work/hectors-                      Dawson 2008, Rayment et al. 2010b,                    Effects) Act 2012 (EEZ Act) and its
                                                      and-maui-dolphin-incident-database/),                   Slooten and Dawson 2010). A                           regulations, which establish which
                                                      which lists 13 entanglement mortalities                 population viability analysis by Slooten              activities require permits and impact
                                                      between May 2009 and April 2015; and,                   and Dawson (2010), which relied on                    assessments. Seismic surveys are
                                                      in 2012, two Hector’s dolphins were                     commercial gillnet observer data for a                permitted under the EEZ Act if they
                                                      found stranded and wrapped in a gillnet                 portion of the east coast to estimate                 adhere to the Code of Conduct for
                                                      just north of Christchurch (Slooten                     bycatch (from Baird and Bradford 2000),               Minimizing Acoustic Disturbance to
                                                      2013, 2016). Unfortunately, the actual                  projected that the west coast population              Marine Mammals from Seismic Survey
                                                      level of bycatch since 2008 is unknown                  would continue to decline (by just over               Operations (DOC 2013). In 2013, the
                                                      and the database records provide only a                 1,000 individuals by 2050), the Banks                 DOC and MPI updated their seismic
                                                      subset of the total bycatch (Slooten and                Peninsula population would continue to                survey guidelines and announced a
                                                      Dawson 2016). The majority of                           decline, and the remainder of the east                decision to make the code of conduct a
                                                      mortalities captured in the database are                                                                      mandatory standard. The mandatory
                                                                                                              coast population would slowly increase
                                                      also listed as having unknown or                                                                              code of conduct applies to Territorial
                                                                                                              (by 450 individuals by 2050). In a
                                                      indeterminable causes. Pichler et al.                                                                         waters, the EEZ of New Zealand, and
                                                                                                              review of risk assessments for SI
                                                      (2003) reported that of the dolphins                                                                          within all marine mammal sanctuaries,
                                                                                                              Hector’s dolphins, Slooten and Davies
                                                      caught by commercial and recreational                                                                         and includes requirements for planning,
                                                                                                              (2012) found that despite differing
                                                      gillnet fishers and brought in for                                                                            operations, monitoring, and reporting.
                                                                                                              modelling approaches and assumptions
                                                      necropsies, only about half have                                                                              The 2013 code of conduct is currently
                                                                                                              applied, the risk assessments were
                                                      discernable net markings, contributing                                                                        undergoing review and may be further
                                                                                                              highly consistent and were in general
                                                      further to the underestimation of                                                                             augmented to increase protections for
                                                                                                              agreement that recovery of SI Hector’s
                                                      bycatch rates. Some additional data are                                                                       Hector’s dolphins and other species of
                                                                                                              dolphins is unlikely under the current                concern. Discharge management plans
                                                      available from commercial gillnetting
                                                      observer programs. For example, based                   level of protections.                                 associated with mining activities also
                                                      on low observer coverage of commercial                     Overall, based on the available                    must be approved under the Maritime
                                                      gillnet vessels from May 2009 through                   information, the existing measures to                 Rules Part 200, Maritime New Zealand
                                                      April 2010 (about 15.8 percent of fishing               address the threat of bycatch of SI                   prior to drilling.
                                                      days and about 13 percent of total sets),               Hector’s dolphins appear inadequate,                     To help manage non-fishing-related
                                                      three SI Hector’s dolphin mortalities                   and we conclude that bycatch continues                threats to Hector’s dolphins, the DOC
                                                      were recorded from the east coast of the                to pose a significant risk to this                    expanded BPMMS in 2008 and
                                                      South Island (ECSI; MPI 2011b, Slooten                  subspecies. The risk of bycatch in                    established an additional three marine
                                                      and Davies 2012). Slooten and Davies                    commercial and recreational trawl and                 mammal sanctuaries– the Catlins Coast,
                                                      (2012) analyzed these data and                          gillnet fisheries remains high given the              Clifford and Cloudy Bay, and Te
                                                      estimated that 23 SI Hector’s dolphins                  known distribution of the dolphins                    Waewae Bay Marine Mammal
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS




                                                      (range of 4¥48, CV = 0.21) were caught                  relative to areas closed to fishing,                  Sanctuaries (MMS). The Catlins Coast
                                                      off the ECSI in that year.                              especially on the west and north coasts               MMS lies along the south coast of the
                                                         Evidence from multiple modelling                     (Faustino et al. 2013, Slooten 2013).                 South Island (SCSI) between Three
                                                      efforts suggests that SI Hector’s dolphins              Although bycatch of SI Hector’s                       Brother’s Point and Busy Point and
                                                      will continue to decline due to bycatch                 dolphins has been slowed by the                       extends 5 nmi to 6.9 nmi offshore. The
                                                      under the current management                            fisheries restrictions implemented in                 sanctuary encompasses about 660 sq km
                                                      measures. For example, for the most                     2008, available risk analyses indicate                of marine habitat and 161 km of
                                                      recent assessment of the BPMMS                          that population decline is expected to                coastline. The Clifford and Cloudy Bay
                                                      population, which has benefited from                    continue (Slooten and Dawson 2010,                    MMS, which lies on the northeast coast,


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                                                                          Federal Register / Vol. 81, No. 181 / Monday, September 19, 2016 / Proposed Rules                                             64119

                                                      includes about 1,427 sq km and 338 km                   be kept to ‘no wake’ speeds when                      according to four categories—abundance
                                                      of coastline between Cape Campbell to                   within 300 m of any marine mammal;                    and trends, population growth/
                                                      Tory Channel, and extends 12 nmi                        swimmers are prohibited from                          productivity, spatial structure/
                                                      offshore. The Te Waewae Bay MMS                         swimming with dolphin pods with very                  connectivity, and genetic diversity. Each
                                                      includes this entire SCSI bay and                       young calves; and boats are prohibited                of these demographic threat categories
                                                      encompasses about 359 sq km of marine                   from circling, obstructing, or cutting                was then rated according to the
                                                      habitat and 113 km of coastline.                        through any group (MMPR 1992, part 3).                following qualitative scale:
                                                      Protections for SI Hector’s dolphins that               Compliance monitoring is limited and                     Very low risk: It is unlikely that this
                                                      accompanied the expansion of BPMMS                      sufficient quantitative data are not                  factor contributes significantly to risk of
                                                      and the designation of these three                      available to assess compliance by                     extinction, either by itself or in
                                                      additional sanctuaries were specific                    commercial and recreational boaters                   combination with other demographic
                                                      requirements for conducting seismic                     with these regulations (MFish and DOC                 factors.
                                                      surveys. Included among the                             2007b). Thus, it is difficult to determine               Low risk: It is unlikely that this factor
                                                      requirements for seismic surveys are                    whether these regulations, and the                    contributes significantly to long-term or
                                                      mandatory notification prior to                         associated education and enforcement,                 near future risk of extinction by itself,
                                                      conducting surveys, mandatory                           adequately address boat-related                       but there is some concern that it may,
                                                      reporting of any interactions with                      disturbance and boat strikes, which are               in combination with other demographic
                                                      dolphins, and presence of qualified                     discussed further in the section below.               factors.
                                                      marine mammal observers on all survey                                                                            Moderate risk: This factor is likely to
                                                                                                              Other Natural or Manmade Factors                      contribute significantly to long-term risk
                                                      ships (Gazette, 23 September 2008).
                                                                                                              Affecting Its Continued Existence                     of extinction, but does not by itself
                                                      There are no additional restrictions on
                                                      mining activities within the sanctuaries.                  Other potential threats to SI Hector’s             constitute a danger of extinction in the
                                                         Overall, while there is a clear                      dolphins include vessel noise, trophic                near future.
                                                      regulatory process in place for                         effects of fishing, and climate change;                  High risk: This factor contributes
                                                      reviewing and permitting mining                         however, there are no data available to               significantly to long-term risk of
                                                      activities, given the existing                          assess how or whether these factors are               extinction and is likely to contribute to
                                                      information, it is not clear whether                    contributing to the overall level of                  short-term risk of extinction in the near
                                                      existing management measures are                        human-caused mortality or population                  future.
                                                      adequate to minimize acoustic and other                 trends. Boat strikes, however, are a                     Very high risk: This factor by itself
                                                      impacts to SI Hector’s dolphins such                    documented source of mortality for                    indicates danger of extinction in the
                                                      that these activities do not pose a threat              Hector’s dolphins, and the TMP                        near future. (Note: The term
                                                      to the subspecies.                                      identifies vessel traffic as a threat that            ‘‘significantly’’ is used here as it is
                                                         The dolphin-watching industry in                     can result in disturbance and mortality               generally defined—i.e., in a sufficiently
                                                      New Zealand is regulated under the                      (MFish and DOC 2007b). Vessel traffic                 great or important way as to be worthy
                                                      Marine Mammals Protection                               has increased around the South Island,                of attention.)
                                                      Regulations (MMPR), which were                          especially in areas more densely                         In the sections below, we present
                                                      revised in 1992 in response to the                      populated by people, and reports of                   information from Manning and Grantz
                                                      growth in marine mammal-based                           cetaceans with propeller scars have                   (2016) to summarize the demographic
                                                      tourism (Constantine (1999), citing                     increased (Martinez 2010b). Stone and                 risks facing Maui’s dolphins.
                                                      Donoghue 1996). Among other                             Yoshinaga (2000) reported the death of
                                                                                                                                                                    A. Abundance and Trends
                                                      provisions, these regulations govern the                two calves on consecutive days in
                                                      issuance of permits to commercial                       Akaroa Harbor. In 1999, two calves,                      Based on line-transect aerial surveys
                                                      operators and, as discussed above, the                  both estimated to be younger than 4                   conducted in January 2004, Slooten et
                                                      behavior of vessels around dolphins. As                 weeks old, were recovered on                          al. 2006a estimated a total population
                                                      a permit issuance criterion, commercial                 successive days from Akaroa Harbor,                   size of 111 Maui’s dolphins (95 percent
                                                      tour operators are required to ensure                   and autopsy results confirmed that one                CI = 48–252). A more recent abundance
                                                      that their activities have ‘‘no significant             calf was killed by collision with a boat              estimate, derived through genetic mark-
                                                      adverse effect’’ on their targeted                      and the other calf by a propeller strike              recapture analysis of samples collected
                                                      population (MMPR, 1992; Appendix                        (Stone and Yoshinaga 2000). Stone and                 in 2010 and 2011, is 55 dolphins over
                                                      1.4). Given the high level of commercial                Yoshinaga (2000) suggest that mother                  1 year of age (95 percent CI: 48¥69,
                                                      dolphin watching operations in some                     and calf pairs may be less capable of                 Hamner et al. 2012b). This estimate is
                                                      portions of the SI Hector’s dolphin’s                   evading boats if they are approached.                 based on a genetic mark-recapture
                                                      range, the repeat exposure of individual                Although the specific cause of death                  analysis using 37 biopsy samples
                                                      dolphins to vessels and/or ‘swim-with’                  was unknown, the TMP also states that                 collected in 2010 and 36 biopsy samples
                                                      activities, and the potential linkage to                there were an additional nine cases from              collected in 2011, which were
                                                      long-term biological consequences, it is                around the South Island in which cause                genotyped across 20 variable
                                                      possible that the current level of tourism              of death was some form of trauma                      microsatellite loci and analyzed in a
                                                      is having a significant adverse impact                  (MFish and DOC 2007b). Overall, data                  closed-sample model (Lincoln-Peterson
                                                      on the subspecies. We find that there are               are too limited to assess the rate of boat            estimator with Chapman correction,
                                                      insufficient data by which to verify that               strikes, but existing information clearly             Chapman 1951; Hamner et al. 2012b).
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS




                                                      this permit issuance criterion is being                 indicates that boat strikes are                       Both of these estimates indicate that the
                                                      met.                                                    contributing to the total level of human-             abundance of Maui’s dolphins is
                                                         Pursuant to the MMPR, all boaters,                   caused mortality.                                     critically low.
                                                      both recreational and commercial, must                                                                           Small populations can face higher
                                                      adhere to certain rules when operating                  Demographic Risks Affecting Extinction                risks of extinction from a range of
                                                      around marine mammals. For example,                     Risk for Maui’s Dolphins                              factors, including stochastic
                                                      no more than 3 vessels and/or aircraft                    In our status review, data and                      demographic processes, genetic effects,
                                                      are allowed within 300 m of any marine                  information about demographic risks to                and environmental catastrophes; and
                                                      mammal at the same time; speeds must                    Maui’s dolphins were considered                       various theoretical abundance


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                                                      64120               Federal Register / Vol. 81, No. 181 / Monday, September 19, 2016 / Proposed Rules

                                                      thresholds have been proposed as                        low (0.165 to 0.25, Secchi et al. 2004b),                Maui’s dolphins are reproductively
                                                      indicators of relative extinction risk                  with females having calves every two to               isolated from SI Hector’s dolphins, and
                                                      (Gilpin and Soulé 1986, Allendorf et al.               four years after reaching maturity at                 there has been no recent gene flow
                                                      1987, Mace et al. 2008). Both of the most               about 7 years of age (Slooten and                     between the subspecies (Pichler et al.
                                                      recent abundance estimates for Maui’s                   Dawson 1994, Dawson 2009). Due to an                  2001, Hamner et al. 2012a). Based on
                                                      dolphins are well below commonly                        estimated lifespan of only about 22                   analyses of mtDNA, the North Island
                                                      cited theoretical thresholds indicating a               years, later maturity, and low fecundity,             subspecies has been isolated from the
                                                      very high risk of extinction—e.g., 250                  Maui’s dolphins are considered to have                South Island populations for up to
                                                      total individuals (Allendorf et al. 1987)               a low intrinsic rate of population growth             16,000 years (Pichler et al. 2001).
                                                      and 250 mature individuals (Mace et al.                 (Dawson 2009). The annual mortality                   Hamner et al. (2012a) noted that some
                                                      2008).                                                  rate is estimated to be about 17 percent              degree of inbreeding is inevitable for
                                                         Although historical abundance                        per year for dolphins 1 year of age and               such a small, isolated population and
                                                      estimates are not available, Slooten                    older (Hamner et al. 2012b), and, as                  also suggested that the significant
                                                      (2007a) estimated population                            mentioned above, modelling results                    deviation from a 1:1 sex ratio they
                                                      abundances for 1970 by back-                            suggest a declining population trend                  observed for stranded Maui’s dolphins,
                                                      calculating, using a population estimate                (Wade et al. 2012). Overall, this                     due to an excess of females in their
                                                      of 117 dolphins (CV= 0.44) and                          demographic factor was found to                       sample (41 females of 68 total Maui’s
                                                      estimates of fishing effort and rate of                 constitute a ‘‘high risk’’ for Maui’s                 dolphins), may be an indication of
                                                      dolphin bycatch. Results suggest that                   dolphin.                                              deleterious inbreeding effects.
                                                      the abundance of Maui’s dolphins in                                                                              Overall, Maui’s dolphins have very
                                                      1970 was about 1,729 dolphins (CV=                      C. Population Structure and                           low genetic diversity, are genetically
                                                      0.51, Slooten 2007, Slooten and Dawson                  Connectivity                                          isolated, and are vulnerable to
                                                      2010). Martien et al. (1999) also                          Maui’s dolphins are thought to have                inbreeding depression and the
                                                      projected numbers back to 1970 using                    once ranged along the entire coast of the             accumulation of deleterious mutations,
                                                      an earlier abundance estimate published                 North Island (Russell 1999, Dawson et                 which are serious concerns that can
                                                      by Dawson and Slooten (1988; i.e., 134                  al. 2001b, Baker et al. 2002, Du Fresne               hasten the extinction of small
                                                      dolphins), and estimated there were                     2010). The dolphins now occur only off                populations (Lunch et al. 1995,
                                                      about 448 Maui’s dolphins in 1970.                      the west coast of the North Island.                   Frankham 2005, O’Grady et al. 2006).
                                                      Although there are differences in the                                                                         This demographic factor was rated as a
                                                                                                              While there is no indication of spatial
                                                      models, assumptions, input data, and                                                                          ‘‘high risk’’ for Maui’s dolphins.
                                                                                                              structuring within the subspecies, data
                                                      results of these two analyses, these
                                                                                                              do indicate that home ranges of                       Demographic Risks Affecting Extinction
                                                      estimated abundances for 1970 suggest
                                                                                                              individuals are probably small (e.g. 35.5             Risk for SI Hector’s Dolphins
                                                      the Maui’s dolphin population has
                                                                                                              km (SE= 4.03), Oremus et al. 2012), and                 In the sections below, we present
                                                      declined by about 90 percent or more
                                                                                                              that movements over 100 km are                        information from Manning and Grantz
                                                      when compared to the current
                                                                                                              probably rare (Hamner et al. 2012b).                  (2016) on the demographic risks facing
                                                      abundance estimate of 55 dolphins over
                                                                                                              Overall, the available information                    SI Hector’s dolphins. As with Maui’s
                                                      1 year of age.
                                                         Available evidence suggests that                     indicates that substantial range                      dolphins, demographic risks to SI
                                                      abundance of Maui’s dolphins will                       contraction has already occurred, gene                Hector’s dolphins were considered
                                                      continue to decline. For example, an                    flow will be limited among populations                according to the same four categories
                                                      annual rate of decline of 3.0 percent per               of Hector’s dolphins that are over 100                (abundance and trends, population
                                                      year (95 percent CI: ¥11 percent to +6                  km apart, and any fragmentation of the                growth/productivity, spatial structure/
                                                      percent) and an annual survival rate of                 remaining population would be a                       connectivity, and genetic diversity) and
                                                      84 percent (95 percent CI = 0.75–0.90)                  serious concern. Overall, this                        rated according to the same qualitative
                                                      was estimated by Hamner et al. (2012b).                 demographic factor was rated as posing                scale as defined above.
                                                      Although this result was somewhat                       a ‘‘moderate risk’’ for Maui’s dolphins.
                                                                                                                                                                    A. Abundance and Trends
                                                      equivocal given the large confidence                    D. Genetic Diversity
                                                      interval, a projected decline is                                                                                 Various surveys have been completed
                                                      supported by the trend analysis                            Genetic diversity in Maui’s dolphins               for portions of the SI Hector’s dolphin’s
                                                      conducted by Wade et al. (2012) using                   is currently very low. Pichler (2002)                 range, each producing a separate,
                                                      six different abundance estimates                       analyzed microsatellite DNA for Maui’s                regional abundance estimate for the
                                                      generated from 1985 to 2011. Wade et                    dolphins across six loci (n = 4 to 12) and            associated portion of the subspecies’
                                                      al. (2012) calculated a statistically                   reported an average of 1.5 alleles per                range. (See Manning and Grantz (2016)
                                                      significant declining trend of ¥3.2                     locus, three of which were fixed (i.e., 1             for discussion of older surveys and
                                                      percent per year from 1985 to 2011 (90                  allele), and an overall low                           abundance estimates.) The most recent
                                                      percent CI = ¥5.7 percent to ¥0.6                       heterozygosity (0.083¥0.25). Analyses                 abundance estimate for the west coast of
                                                      percent, p = 0.029).                                    of contemporary mitochondrial DNA                     the South Island (WCSI) is based on
                                                         Given a population abundance of                      (mtDNA) samples also indicate a single                aerial surveys conducted by Mackenzie
                                                      fewer than 100 dolphins over one year                   maternal lineage (Pichler 2002, Hamner                and Clement (2016) in 2014/2015 from
                                                      of age, evidence of a very large historical             et al. 2012a). This level of haplotype                Farewell Spit south to Milford Sound.
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS




                                                      decline, and evidence of possible                       diversity (i.e., h = 0) is well below the             These surveys included substantial
                                                      continued decline, this demographic                     typical range of 0.70¥0.92 for other                  effort in waters beyond 4 nmi (7.4 km)
                                                      risk category was rated as posing a ‘‘very              more abundant odontocete species                      from shore and included an ‘‘outer’’
                                                      high risk’’ for the subspecies.                         (Pichler and Baker 2000) and is only                  survey zone between 12 nmi and 20 nmi
                                                                                                              seen in several other rare marine                     from shore (22.2–37.0 km, MacKenzie
                                                      B. Population Growth                                    mammals (e.g., vaquita (Phocoena                      and Clement 2016). Based on these
                                                        Fecundity (i.e., the number of female                 sinus), north Atlantic right whale                    surveys, summer and winter abundance
                                                      offspring per female per breeding                       (Eubalaena glacialis), Dawson et al.                  estimates of 5,490 dolphins (95% CI =
                                                      season) of Maui’s dolphins is relatively                2001b).                                               3,319–9,079) and 5,802 dolphins (95%


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                                                                          Federal Register / Vol. 81, No. 181 / Monday, September 19, 2016 / Proposed Rules                                           64121

                                                      CI = 3,879–8,679), respectively, were                   decline in mtDNA diversity (from h =                  C. Population Structure and
                                                      estimated using mark-recapture distance                 0.65 to h = 0.35, p<0.05) for ECSI                    Connectivity
                                                      sampling after correcting for availability              Hector’s dolphins in a comparison of                     Analyses of both mtDNA and
                                                      bias (or how ‘‘available’’ the dolphins                 contemporary (n=108) samples to                       microsatellite DNA indicate the
                                                      are at or near the surface where they can               historical samples (n=55) dating back to              existence of three distinct regional
                                                      be observed; Mackenzie and Clement                      1870. These authors suggest that the                  populations of SI Hector’s dolphins—
                                                      2016)). The most recent surveys of the                  high rate of decline in mitochondrial                 east, west, and south coast populations
                                                      north (NCSI) and east coasts (ECSI) of                  DNA diversity reflects a high rate of                 (Pichler et al. 1998, Pichler 2002,
                                                      the South Island were conducted in the                  population decline driven by                          Hamner et al. 2012a). Each regional
                                                      summer of 2012/2013 and winter 2013                     unsustainable levels of bycatch                       population is characterized by one or
                                                      and extended from Farewell Spit to                      mortality. While there is strong                      two high frequency mtDNA haplotypes,
                                                      Nugget Point and extended offshore to                   evidence that adult survival in the ECSI              and hierarchical analyses of both
                                                      20 nm (37.0 km; MacKenzie and                           population has improved following the                 mtDNA and microsatellite DNA data
                                                      Clement 2014). These intensive aerial                   implementation of fishing restrictions at             indicate strong genetic differentiation
                                                      surveys, which had a similar design as                  BPMMS (0.863 (95 percent CI = 0.647–                  among the three regional populations
                                                      the WCSI surveys, produced an                           0.971) pre-sanctuary versus 0.917 (95                 (mtDNA FST = 0.321, p<0.001; Phi ST =
                                                      estimated summer abundance of 9,728                     percent CI = 0.802–0.984) post-                       0.395; microsatellite FST = 0.058,
                                                      dolphins (95 percent CI= 7,001–13,517)                  sanctuary), the improved survival rate
                                                                                                                                                                    p<0.001; Hamner et al. 2012a). There
                                                      and an estimated winter abundance of                    still corresponds to an estimated decline
                                                                                                                                                                    appears to be additional genetic
                                                      8,208 dolphins (95 percent CI = 4,888–                  of 0.5 percent per year (Gormley et al.
                                                                                                                                                                    structuring on the south coast, as
                                                      13,785, MacKenzie and Clement 2014,                     2012). Results of modelling efforts by
                                                                                                                                                                    samples from Te W#w# Bay and
                                                      Mackenzie and Clement 2016). The                        Slooten and Davies (2012) also suggest
                                                                                                                                                                    Toetoe Bay, locations separated by only
                                                      most recent surveys of the SCSI                         continued population declines over the
                                                                                                                                                                    about 100 km of coastline, were
                                                      produced an abundance estimate of 238                   next 50 years if fisheries management
                                                                                                                                                                    significantly differentiated based on
                                                      dolphins (95 percent CI = 113–503,                      practices remain the same.
                                                                                                                 Overall, this demographic factor was               both mtDNA (FST = 0.136, p = 0.03) and
                                                      Clement et al. 2011, Mackenzie and
                                                                                                              rated as posing a ‘‘moderate risk’’ for SI            microsatellite DNA (FST = 0.043, p =
                                                      Clement 2016). This abundance estimate
                                                                                                              Hector’s dolphins.                                    0.005). Fine-scale population
                                                      was based on two aerial surveys
                                                      completed in March and August 2010                                                                            structuring has also recently been
                                                                                                              B. Population Growth                                  detected in ECSI Hector’s dolphins
                                                      from Puysegur Point to Nugget Point
                                                      and extended out to the 100-m depth                        Given an estimated lifespan of about               sampled from adjacent populations on
                                                      contour (Clement et al. 2011). Following                22 years, relatively late maturity (at 7–             either side of Kaikoura Canyon (Hamner
                                                      completion of the last of these three                   9 years), and low fecundity (0.165 to                 et al. 2016). Analysis of both mtDNA
                                                      regional survey efforts, Mackenzie and                  0.25), Hector’s dolphins are considered               (FST = 0.081, p<0.001) and microsatellite
                                                      Clement (2016) re-analyzed the data                     to have a low intrinsic population                    DNA (FST = 0.013, p<0.001) indicated a
                                                      and, using the sum of the averages of the               growth rate (Slooten 1991, Slooten and                low but statistically significant level of
                                                      summer and winter abundance                             Lad 1991, Secchi and Fletcher 2004,                   genetic differentiation between these
                                                      estimates from these surveys, calculated                Secchi et al. 2004b, Dawson 2009).                    adjacent populations (Hamner et al.
                                                      a total population estimate of 14,849 SI                Females may produce only four to seven                2016).
                                                      Hector’s dolphins (95% CI = 11,923–                     calves over their lifetime. Estimates of                 Estimated migration rates for males
                                                      18,492).                                                the survival rate of SI Hector’s dolphins             and females among the three main
                                                         Despite the large confidence intervals               ≥ 1 year old have ranged from 0.77 to                 regional populations are low and appear
                                                      associated with some of these recent                    0.89 (Slooten and Lad 1991, Slooten et                to be asymmetrical (Pichler 2002,
                                                      abundance estimates, the data indicate                  al. 1992, Slooten and Dawson 1994,                    Hamner et al. 2012a). Based on mtDNA,
                                                      that the total abundance of SI Hector’s                 Cameron et al. 1999). Based on simple                 Pichler (2002) estimated long-term
                                                      dolphins is greater than commonly                       Leslie matrix models, Slooten and Ladd                migration rates of less than one female
                                                      applied theoretical abundances used as                  (1991) estimated a maximum population                 per generation among regions, except
                                                      indicators of a high risk of extinction—                growth rate of 0.018 to 0.049; whereas,               between the west and south coasts
                                                      e.g., 2,500 total individuals (Allendorf et             Secchi and Fletcher (2004) estimated a                where female migration rates were
                                                      al. 1987) and 1,000 mature individuals                  much lower population growth rate of                  estimated to be between 2.7 and 3.7
                                                      (Mace et al. 2008)—suggesting that SI                   0.0065. Projections of population                     female migrants per generation. Based
                                                      Hector’s dolphins are not at high risk of               growth, given estimated levels of                     on analyses of both mtDNA and
                                                      extinction due to abundance alone.                      human-caused mortality, have varied                   microsatellite DNA, there also appears
                                                         Populations of SI Hector’s dolphins                  depending on the modelling approach                   to be a low level of male-mediated gene
                                                      have, however, experienced substantial                  and the study population, but results are             flow, with the highest exchange
                                                      declines and available information                      generally consistent in indicating a                  appearing to occur from the south coast
                                                      suggests that the subspecies is likely to               continuing population decline (Slooten                to the east coast (Hamner et al. 2012a).
                                                      continue declining (Slooten and Lad                     and Dawson 2010, Slooten and Davies                   Analysis of levels of genetic
                                                      1991, Slooten et al. 1992, Burkhart and                 2012). Essentially, the available                     differentiation among sample locations
                                                      Slooten 2003). SI Hector’s dolphin                      information indicates that population                 within regions suggests a ‘‘stepping-
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS




                                                      populations are estimated to have                       growth is too low to compensate for                   stone’’ model of gene flow in which
                                                      experienced declines of 20–73 percent                   current mortality rates, and that                     there are low levels of migration
                                                      since the 1970s following the expansion                 mortality needs to be reduced in order                between neighboring populations over
                                                      of commercial gillnetting in New                        to allow populations around the South                 distances shorter than 100 km and much
                                                      Zealand (Slooten 2007, Davies et al.                    Island to recover from past declines due              more limited gene flow among the three
                                                      2008, Slooten and Dawson 2010).                         to bycatch (Slooten 2013).                            larger regional populations (Pichler
                                                      Evidence of a historical decline is also                   This demographic factor was rated as               2002; Hamner et al. 2012a). Hamner et
                                                      provided by the findings of Pichler and                 posing a ‘‘moderate risk’’ for SI Hector’s            al. (2012a) concluded that very rare
                                                      Baker (2000), who detected a significant                dolphins.                                             migration events are facilitating gene


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                                                      64122               Federal Register / Vol. 81, No. 181 / Monday, September 19, 2016 / Proposed Rules

                                                      flow across the roughly 100–370 km                         As noted above, analysis of mtDNA                  Recreation and Tourism’—or SMART
                                                      distances separating the three larger                   samples for ECSI Hector’s dolphins by                 program. Commercial operators who
                                                      regions. Overall, these findings are                    Pichler and Baker (2000) indicated a                  participate in the training course
                                                      consistent with a priori expectations of                significant decline in mitochondrial                  through this program are labelled
                                                      low gene flow over larger spatial scales                diversity between historical samples                  ‘SMART operators’ and are promoted to
                                                      given the small estimated home ranges                   from 1870–1987 (h = 0.65 and p =                      tourists as such. A training course for
                                                      (typically 30 km–60 km) and high                        0.0084, n = 36) and more contemporary                 recreational boaters is also available.
                                                      degree of site fidelity observed in SI                  samples from 1988–1998 (h = 0.35 and                  While this proactive program has likely
                                                      Hector’s dolphins (Bejder and Dawson                    p = 0.0030, n = 46). A trend analysis of              improved boater awareness and on-the-
                                                      2001, Bräger et al. 2002, Rayment et al.               mtDNA diversity also indicated full loss              water behavior to some degree, we have
                                                      2009a). Although longer-range                           of diversity within the next 20 years                 no data to evaluate the extent to which
                                                      movements (> 400 km) of SI Hector’s                     (Pichler and Baker 2000).                             boater-associated impacts on Hector’s
                                                      dolphins do appear to occur, at least on                   Guidelines commonly cited and                      dolphins have been reduced, and the
                                                      occasion, there is as yet no indication                 applied in conservation biology are that,             available information indicates that
                                                      that such movements are associated                      in a finite population and ignoring other             dolphin-watching and ‘swim-with’
                                                      with mating (Hamner et al. 2012b,                       ecological considerations, a minimum                  activities are not benign activities even
                                                      Hamner et al. 2014a).                                   effective population size of at least 50              when conducted according to the
                                                         How the existing population structure                individuals is required to prevent the                existing regulations.
                                                      and connectivity of SI Hector’s dolphin                 harmful effects of inbreeding, and an                    To help minimize fisheries
                                                      populations influence extinction risk is                effective population size of at least 500             interactions and bycatch, some
                                                      unclear. The current distribution of SI                 individuals is required to prevent the                voluntary practices have been used in
                                                      Hector’s dolphins as multiple                           accumulation of deleterious recessive                 some areas around the South Island
                                                      populations with a low level of                         alleles and maintain genetic diversity                since 2002. These measures include
                                                      connectivity could potentially provide                  over hundreds of years (Franklin 1980,                deployment of pingers and other
                                                      protection from local extirpation (for                  Soulé 1980, Gilpin and Soulé 1986,                  modifications to fishing activities.
                                                      example, by a catastrophic event) while                 Allendorf et al. 1987). Other theoretical             However, the extent to which such
                                                      allowing for local adaptation, which                    analyses, however, suggests that these                voluntary measures are being
                                                      could ultimately benefit long-term                      thresholds are too low and that well                  implemented is unclear, and the
                                                      survival (Franklin 1980). Alternatively,                over 1,000 breeding adults per                        efficacy of pingers in reducing bycatch
                                                      restricted and asymmetrical dispersal                   generation may instead be necessary to                of Hector’s dolphins has not yet been
                                                      among populations may mean there is                     avoid extinction by ‘‘mutational                      clearly established (Dawson 1998, Stone
                                                      very limited potential for one                          meltdown’’ over time periods of 100 or                et al. 2000b). The MPI also established
                                                      population to buffer against the loss of                more generations (Lynch et al. 1995).                 a hotline for reporting violations of
                                                      another local population and prevent                    Given that effective population size is               fishing restrictions; however, there are
                                                      further fragmentation (Pichler et al.                   often about 1⁄5 to 1⁄3 of a population’s              no data available to evaluate whether
                                                      1998, Pichler 2001). The ongoing                        total size (Frankham 1995), a                         the hotline has contributed to improved
                                                      human-caused mortality and the slow                     conservative estimate of the effective                enforcement or compliance with
                                                      population growth rate of SI Hector’s                   population size for SI Hector’s dolphins              existing fishing regulations.
                                                      dolphins are factors that favor this latter             could be roughly estimated as 2,385 to                   Although these efforts may be
                                                      interpretation.                                         3,698 dolphins (calculated using 1⁄5 of               providing measurable protection for
                                                         Overall, this demographic factor was                 the 95 percent CI abundance estimates).               Hector’s dolphins, there is no indication
                                                      rated as posing a ‘‘moderate risk’’ to SI               Because these rough estimates are well                that these efforts are ameliorating
                                                      Hector’s dolphins.                                      above the thresholds of 50, 500, and                  threats, particularly the threats of
                                                                                                              1,000 associated with inbreeding, loss of             bycatch and disease, such that the
                                                      D. Genetic Diversity
                                                                                                              genetic diversity, and mutational                     extinction risk of either subspecies is
                                                        Relative to other abundant dolphin                    meltdown, we conclude that the SI                     reduced. Therefore, we conclude that
                                                      species, genetic diversity of SI Hector’s               Hector’s dolphin is not at high risk of               these protective efforts do not alter the
                                                      dolphins is low (Pichler and Baker                      extinction in the near-term due to its                extinction risk for either Maui’s or SI
                                                      2000; Pichler 2002). Pichler and Baker                  current genetic health.                               Hector’s dolphins. We are not aware of
                                                      (2000) reported haplotype (h) and                          Given the evidence of low and                      any other conservation measures for
                                                      nucleotide (p) diversity estimates of 0.35              potentially declining genetic diversity,              these subspecies and are soliciting
                                                      and 0.0030, respectively, for ECSI                      this demographic factor was rated as                  additional information on any relevant
                                                      Hector’s dolphins (n = 46) and 0.66 and                 being a ‘‘moderate risk.’’                            conservation efforts through the public
                                                      0.0040 for WCSI Hector’s dolphins (n =                                                                        comment process on this proposed rule
                                                      47), which are low compared to                          Protective Efforts                                    (see Public Comments Solicited below).
                                                      previously reported estimates for other,                   In addition to the regulatory measures
                                                      more abundant odontocetes (e.g., h =                    discussed above (e.g. fishing and                     Proposed Listing Determinations
                                                      0.70–0.92 and p > 0.01). Diversity                      boating regulations, sanctuary                          Maui’s dolphins are currently at
                                                      estimates based on mtDNA analyses by                    designations), we considered other                    critically low abundance, and face
                                                      Hamner et al. (2012a) were somewhat                     efforts being made to protect Hector’s                additional demographic risks due to
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS




                                                      higher for both the ECSI (h = 0.51, p =                 dolphins. We considered whether such                  greatly reduced genetic diversity and a
                                                      0.0039) and WCSI (h = 0.72, p = 0.0049,                 protective efforts, as summarized below,              low population growth rate. Past
                                                      n = 154) populations, possibly as a                     alter our findings regarding the status of            declines, on the order of about 90
                                                      consequence of larger sample sizes, but                 Maui’s and Hector’s dolphins.                         percent, have been driven largely by
                                                      they are still relatively low. The low                     To help raise awareness and educate                bycatch in gillnets. Maui’s dolphins
                                                      genetic diversity observed may reflect                  boaters about the regulations governing               continue to face threats of bycatch,
                                                      restricted gene flow among populations                  the operation of vessels around marine                disease, and mining and seismic
                                                      and a consequent increase in genetic                    mammals, the DOC recently initated the                disturbances; and available evidence
                                                      drift within populations.                               ‘Sustainable Marine Mammal Actions in                 suggests the population will continue to


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                                                                          Federal Register / Vol. 81, No. 181 / Monday, September 19, 2016 / Proposed Rules                                           64123

                                                      decline despite existing management                     limited data available, however, and                  1533(d)). In the case of threatened
                                                      protections. We conclude that Maui’s                    they do not establish any specific                    species, section 4(d) of the ESA leaves
                                                      dolphin is currently facing a high risk                 thresholds for determining when the                   it to the Secretary’s discretion whether,
                                                      of extinction throughout its range and is               subspecies may be in danger of                        and to what extent, to extend take
                                                      likely to become extinct. Therefore, we                 extinction throughout all or a significant            prohibitions to the species. Section 4(d)
                                                      find that this subspecies meets the                     portion of its range. The actual rate of              protective regulations may prohibit,
                                                      definition of an endangered species                     decline of the subspecies remains                     with respect to threatened species, some
                                                      under the ESA. This conclusion is                       unclear given the very limited bycatch                or all of the acts which section 9(a) of
                                                      consistent with previous risk                           mortality data available. A trend                     the ESA prohibits with respect to
                                                      assessments for Maui’s dolphin, which                   analysis based on survey data is also                 endangered species. We are not
                                                      have concluded this subspecies is facing                confounded by the fact that surveys                   proposing such regulations at this time
                                                      an extremely high risk of extinction in                 have covered different portions of the                but may consider potential protective
                                                      the wild and will recover only if sources               range and have dramatically increased                 regulations pursuant to section 4(d) for
                                                      of anthropogenic mortality are                          in sophistication and geographical                    the SI Hector’s dolphin in a future
                                                      eliminated (Slooten et al. 2006; MFish                  scope over time. Thus, a precise                      rulemaking.
                                                      and DOC 2007b, Baker et al. 2010).                      analysis of the rate of decline and                      Recognition of the species’ imperiled
                                                      Concern over abundance and trends for                   projection of time to extinction given                status through listing may also promote
                                                      Maui’s dolphin has previously led to its                multiple threats and demographic                      conservation actions by Federal and
                                                      classification as ‘‘nationally critical’’               considerations is not currently possible.             state agencies, foreign entities, private
                                                      under the New Zealand Threat                               Current levels of bycatch are                      groups, and individuals.
                                                      Classification System, which is the most                contributing to the decline of this
                                                      threatened status within this                           subspecies (Slooten and Davies 2012).                 Activities That Would Constitute a
                                                      classification system (Baker et al. 2010).              Additional, lesser threats, such as                   Violation of Section 9 of the ESA
                                                         Under the New Zealand Threat                         disease and tourism impacts, are likely                  On July 1, 1994, NMFS and the U.S.
                                                      Classification System, the SI Hector’s                  exacerbating the rate of decline and                  Fish and Wildlife Service (USFWS)
                                                      dolphin has been formally classified as                 thereby contributing to the overall                   published a policy (59 FR 34272) that
                                                      ‘‘nationally endangered,’’ which is the                 extinction risk of this subspecies. Given             requires us to identify, to the maximum
                                                      second-most threatened status within                    recent abundance estimates for the total              extent practicable at the time a species
                                                      this classification system (Baker et al.                population and evidence of a slowed                   is listed, those activities that would or
                                                      2010). The qualifier ‘‘conservation                     rate of decline following expanded                    would not constitute a violation of
                                                      dependent’’ is also applied to SI                       fisheries management measures, we find                section 9 of the ESA. The intent of this
                                                      Hector’s dolphins, meaning that the                     that this subspecies is not facing an                 policy is to increase public awareness of
                                                      subspecies is likely to move to the                     imminent risk of extinction. However,                 the potential effects of species listings
                                                      higher category of ‘‘nationally critical’’              historical declines and the projected                 on proposed and ongoing activities.
                                                      if current management were to cease                     decline for most populations, combined                   If the Maui’s dolphin is listed as
                                                      (Townsend et al. 2008, Baker et al.                     with a low population growth rate, low
                                                                                                                                                                    endangered, all of the prohibitions of
                                                      2010).                                                  genetic diversity, limited population
                                                                                                                                                                    section 9(a)(1) of the ESA will apply to
                                                         Our review of the best available data                connectivity, and the ongoing threats of
                                                      indicates that the SI Hector’s dolphin                                                                        this subspecies. Section 9(a)(1) includes
                                                                                                              bycatch, disease, and tourism, provide a
                                                      has experienced substantial population                                                                        prohibitions against the import, export,
                                                                                                              strong indication that this subspecies is
                                                      declines since the 1970s, has relatively                                                                      use in foreign commerce, and ‘‘take’’ of
                                                                                                              likely to become an endangered species
                                                      low genetic diversity, a low intrinsic                                                                        the listed species. These prohibitions
                                                                                                              within the foreseeable future assuming
                                                      population growth rate, and a                                                                                 apply to all persons subject to the
                                                                                                              a status quo in conservation. We
                                                      fragmented population structure.                                                                              jurisdiction of the United States,
                                                                                                              therefore propose to list this subspecies
                                                      Although historical data are lacking,                                                                         including in the United States, its
                                                                                                              as threatened under the ESA.
                                                      Slooten (2007a) estimated that the SI                                                                         territorial sea, or on the high seas. Take
                                                      Hector’s dolphin population has                         Effects of Listing                                    is defined as ‘‘to harass, harm, pursue,
                                                      declined by about 73 percent between                      Conservation measures provided for                  hunt, shoot, wound, kill, trap, capture,
                                                      1970 and 2007, and available                            species listed as endangered or                       or collect, or to attempt to engage in any
                                                      population viability analyses indicate                  threatened under the ESA include the                  such conduct.’’ Activities that could
                                                      that the SI Hector’s dolphin is likely to               development and implementation of                     result in a violation of section 9
                                                      continue to decline unless bycatch                      recovery plans (16 U.S.C. 1533(f));                   prohibitions for Maui’s dolphins
                                                      mortality is reduced (Davies et al. 2008,               designation of critical habitat, if prudent           include, but are not limited to, the
                                                      Slooten and Davies 2012, Slooten 2013).                 and determinable (16 U.S.C.                           following:
                                                      Gormley et al. (2012) estimated that the                1533(a)(3)(A)); a requirement that                       (1) Delivering, receiving, carrying,
                                                      Banks Peninsula population, which has                   Federal agencies consult with NMFS                    transporting, or shipping in interstate or
                                                      benefited from almost three decades of                  under section 7 of the ESA to ensure                  foreign commerce any individual or
                                                      protection, would continue to decline at                their actions do not jeopardize the                   part, in the course of a commercial
                                                      a rate of about 0.5 percent per year                    species or result in adverse modification             activity;
                                                      despite significantly improved survival                 or destruction of designated critical                    (2) Selling or offering for sale in
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS




                                                      rates. Assuming an existing population                  habitat (16 U.S.C. 1536); and                         interstate commerce any part, except
                                                      abundance of about 14,849 dolphins (95                  prohibitions on ‘‘taking’’ (16 U.S.C.                 antique articles at least 100 years old;
                                                      percent CI = 11,923–18,492), a constant                 1538). The prohibitions on ‘‘take,’’                  and
                                                      rate of decline of 0.5 percent per year for             including export and import,                             (3) Importing or exporting Maui’s
                                                      the subspecies as a whole could result                  automatically apply to species listed as              dolphins or any parts of these dolphins.
                                                      in a 50 percent decline in the                          endangered. Prohibitions on take do not                  Whether a violation results from a
                                                      population in about 138 years and an 80                 apply to species listed as threatened                 particular activity is entirely dependent
                                                      percent decline in about 321 years.                     unless protective regulations are issued              upon the facts and circumstances of
                                                      These are simply estimates based on the                 under section 4(d) of the ESA (16 U.S.C.              each incident. Further, an activity not


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                                                      64124               Federal Register / Vol. 81, No. 181 / Monday, September 19, 2016 / Proposed Rules

                                                      listed here may in fact constitute a                    consider the economic effects of a                    References
                                                      violation.                                              listing determination. To help ensure
                                                                                                              that any final action resulting from this               A complete list of the references used
                                                      Section 7 Conference and Consultation                                                                         in this proposed rule is available upon
                                                                                                              proposed rule will be accurate and
                                                      Requirements                                                                                                  request (see ADDRESSES).
                                                                                                              based on the best available data, we are
                                                         Section 7(a)(2) (16 U.S.C. 1536(a)(2))               soliciting comments from the public,                  Classification
                                                      of the ESA and joint NMFS/USFWS                         other concerned governmental agencies,
                                                      regulations require Federal agencies to                 the scientific community, industry, and               National Environmental Policy Act
                                                      consult with NMFS to ensure that                        any other interested parties on the draft
                                                      activities they authorize, fund, or carry                                                                       Section 4(b)(1)(A) of the ESA restricts
                                                                                                              status review report and proposed rule.
                                                      out are not likely to jeopardize the                                                                          the information that may be considered
                                                                                                              See DATES and ADDRESSES for
                                                      continued existence of listed species or                                                                      when assessing species for listing and
                                                                                                              information on how to submit
                                                      destroy or adversely modify critical                                                                          sets the basis upon which listing
                                                                                                              comments.
                                                      habitat. Section 7(a)(4) (16 U.S.C.                                                                           determinations must be made. Based on
                                                                                                                 Promulgation of any final regulation
                                                      1536(a)(4)) of the ESA and NMFS/                                                                              the requirements in section 4(b)(1)(A) of
                                                                                                              to list these subspecies will take into
                                                      USFWS regulations also require Federal                                                                        the ESA and the opinion in Pacific Legal
                                                                                                              consideration the comments and any
                                                      agencies to confer with us on actions                                                                         Foundation v. Andrus, 675 F. 2d 825
                                                                                                              additional data we receive during the
                                                      likely to jeopardize the continued                                                                            (6th Cir. 1981), we have concluded that
                                                                                                              comment period, and this process may
                                                      existence of species proposed for listing,                                                                    ESA listing actions are not subject to the
                                                                                                              lead to a final regulation that differs
                                                      or that are likely to result in the                                                                           environmental assessment requirements
                                                                                                              from this proposal. We are especially
                                                      destruction or adverse modification of                                                                        of the National Environmental Policy
                                                                                                              seeking information regarding the
                                                      proposed critical habitat of those                                                                            Act (NEPA).
                                                                                                              following topics:
                                                      species. It is unlikely that the listing of
                                                                                                                 (1) New or updated data regarding                  Executive Order 12866, Regulatory
                                                      these subspecies under the ESA will
                                                                                                              threats to Maui’s and SI Hector’s                     Flexibility Act, and Paperwork
                                                      increase the number of section 7
                                                                                                              dolphins, especially bycatch rates in                 Reduction Act
                                                      consultations, because these subspecies
                                                                                                              commercial and recreational fisheries,
                                                      occur outside of the United States and                                                                           As noted in the Conference Report on
                                                                                                              bycatch in fishing gear types other than
                                                      are unlikely to be affected by Federal                                                                        the 1982 amendments to the ESA,
                                                                                                              gillnets, compliance with fishing
                                                      actions.                                                                                                      economic impacts cannot be considered
                                                                                                              regulations, and trends in disease
                                                      Critical Habitat                                        prevalence;                                           when assessing the status of a species.
                                                                                                                 (2) New or updated population                      Therefore, the economic analysis
                                                         Critical habitat is defined in section 3                                                                   requirements of the Regulatory
                                                      of the ESA (16 U.S.C. 1532(5)) as: (1)                  viability analyses that reflect the most
                                                                                                              recent abundance estimates for the                    Flexibility Act are not applicable to the
                                                      The specific areas within the                                                                                 listing process.
                                                      geographical area occupied by a species,                subspecies;
                                                      at the time it is listed in accordance                     (3) Current or planned activities                     In addition, this proposed rule is
                                                      with the ESA, on which are found those                  within the range of these subspecies and              exempt from review under Executive
                                                      physical or biological features (a)                     their possible impacts on these species;              Order 12866. This proposed rule does
                                                      essential to the conservation of the                    and,                                                  not contain a collection-of-information
                                                      species and (b) that may require special                   (4) Conservation efforts that are                  requirement for the purposes of the
                                                      management considerations or                            addressing threats to either subspecies.              Paperwork Reduction Act.
                                                      protection; and (2) specific areas outside                 We request that all information be                 Executive Order 13132, Federalism
                                                      the geographical area occupied by a                     accompanied by: (1) Supporting
                                                      species at the time it is listed if such                documentation, such as maps,                            In accordance with E.O. 13132, we
                                                      areas are determined to be essential for                bibliographic references, or reprints of              determined that this proposed rule does
                                                      the conservation of the species. Section                pertinent publications; and (2) the                   not have significant federalism effects
                                                      4(a)(3)(A) of the ESA (16 U.S.C.                        submitter’s name, address, and any                    and that a federalism assessment is not
                                                      1533(a)(3)(A)) requires that, to the                    association, institution, or business that            required. In keeping with the intent of
                                                      extent prudent and determinable,                        the person represents.                                the Administration and Congress to
                                                      critical habitat be designated                          Peer Review                                           provide continuing and meaningful
                                                      concurrently with the listing of a                                                                            dialogue on issues of mutual state and
                                                      species. However, critical habitat cannot                  In December 2004, the Office of                    Federal interest, this proposed rule will
                                                      be designated in foreign countries or                   Management and Budget (OMB) issued                    be given to the relevant governmental
                                                      other areas outside U.S. jurisdiction (50               a Final Information Quality Bulletin for              agencies in New Zealand, and they will
                                                      CFR 424.12(g)). Maui’s and SI Hector’s                  Peer Review establishing a minimum                    be invited to comment. We will confer
                                                      dolphins are endemic to New Zealand                     peer review standard. We solicited peer               with the U.S. Department of State to
                                                      and do not occur within areas under                     review comments on the draft status                   ensure appropriate notice is given to
                                                      U.S. jurisdiction. There is no basis to                 review report (Manning and Gantz 2016)                New Zealand. As the process continues,
                                                      conclude that any unoccupied areas                      from three scientists with expertise on               we intend to continue engaging in
                                                      under U.S. jurisdiction are essential for               Hector’s dolphins. We received and                    informal and formal contact with the
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS




                                                      the conservation of either subspecies.                  reviewed comments from these                          U.S. State Department, giving careful
                                                      Therefore, we do not intend to propose                  scientists, and their comments are                    consideration to all written and oral
                                                      any critical habitat designations for                   incorporated into the draft status review             comments received.
                                                      either subspecies.                                      report and this proposed rule. Their
                                                                                                              comments on the status review are                     List of Subjects
                                                      Public Comments Solicited                               summarized in the peer review report                  50 CFR Part 223
                                                        We must base our final listing                        and available at www.cio.noaa.gov/
                                                      determination on the best scientific and                services_programs/prplans/                              Endangered and threatened species,
                                                      commercial data available. We cannot                    PRsummaries.html.                                     Exports, Transportation.


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                                                                             Federal Register / Vol. 81, No. 181 / Monday, September 19, 2016 / Proposed Rules                                                      64125

                                                      50 CFR Part 224                                              PART 223—THREATENED MARINE                                ‘‘Marine Mammals’’ in alphabetical
                                                        Endangered and threatened species,                         AND ANADROMOUS SPECIES                                    order, by common name, to read as
                                                      Exports, Imports, Transportation.                                                                                      follows:
                                                        Dated: September 13, 2016.
                                                                                                                   ■ 1. The authority citation for part 223
                                                                                                                                                                             § 223.102 Enumeration of threatened
                                                                                                                   continues to read as follows:
                                                      Samuel D. Rauch, III,                                                                                                  marine and anadromous species.
                                                      Deputy Assistant Administrator for                              Authority: 16 U.S.C. 1531–1543; subpart
                                                                                                                   B, § 223.201–202 also issued under 16 U.S.C.              *       *    *       *      *
                                                      Regulatory Programs, National Marine
                                                      Fisheries Service.                                           1361 et seq.; 16 U.S.C. 5503(d) for                           (e) * * *
                                                                                                                   § 223.206(d)(9).
                                                        For the reasons set out in the
                                                      preamble, we propose to amend 50 CFR                         ■ 2. In § 223.102, amend the table in
                                                      parts 223 and 224 as follows:                                paragraph (e) by adding an entry under

                                                                                                 Species 1
                                                                                                                                                          Citation(s) for listing     Critical habitat       ESA rules
                                                                                                                             Description of listed          determination(s)
                                                            Common name                        Scientific name                      entity

                                                                                                                                       Marine Mammals

                                                      Dolphin, Hector’s ..........        Cephalorhynchus                  Entire subspecies ........   [Federal Register Cita-                       NA                 NA
                                                                                            hectori hectori.                                              tion and Date When
                                                                                                                                                          Published as a Final
                                                                                                                                                          Rule].

                                                                  *                          *                         *                       *                       *                      *                 *
                                                          1 Species
                                                                  includes taxonomic species, subspecies, distinct population segments (DPSs) (for a policy statement, see 61 FR 4722, February 7,
                                                      1996), and evolutionarily significant units (ESUs) (for a policy statement, see 56 FR 58612, November 20, 1991).


                                                      *       *       *       *       *                              Authority: 16 U.S.C. 1531–1543 and 16                   order, by common name, to read as
                                                                                                                   U.S.C 1361 et seq.                                        follows:
                                                      PART 224—ENDANGERED MARINE
                                                      AND ANADROMOUS SPECIES                                       ■ 4. In § 224.101, amend the table in                     § 224.101 Enumeration of endangered
                                                                                                                   paragraph (h) by adding an entry under                    marine and anadromous species.
                                                      ■ 3. The authority citation for part 224                     ‘‘Marine Mammals’’ in alphabetical                        *       *    *       *      *
                                                      continues to read as follows:                                                                                              (h) * * *

                                                                                                 Species 1
                                                                                                                                                          Citation(s) for listing     Critical habitat       ESA rules
                                                                                                                             Description of listed          determination(s)
                                                            Common name                        Scientific name                      entity

                                                                                                                                       Marine Mammals


                                                               *                             *                         *                     *                       *                        *                 *
                                                      Dolphin, Maui’s .............       Cephalorhynchus                  Entire subspecies ........   [Federal Register Cita-                       NA                 NA
                                                                                            hectori maui.                                                 tion and Date When
                                                                                                                                                          Published as a Final
                                                                                                                                                          Rule].

                                                                  *                          *                         *                       *                       *                      *                 *
                                                          1 Species
                                                                  includes taxonomic species, subspecies, distinct population segments (DPSs) (for a policy statement, see 61 FR 4722, February 7,
                                                      1996), and evolutionarily significant units (ESUs) (for a policy statement, see 56 FR 58612, November 20, 1991).


                                                      *       *       *       *       *
                                                      [FR Doc. 2016–22451 Filed 9–16–16; 8:45 am]
                                                      BILLING CODE 3510–22–P
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Document Created: 2016-09-17 02:30:26
Document Modified: 2016-09-17 02:30:26
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
ActionProposed rule; request for comments.
DatesComments on this proposed rule must be received by November 18, 2016. Public hearing requests must be made by November 3, 2016.
ContactLisa Manning, NMFS, Office of Protected Resources, [email protected], (301) 427-8466.
FR Citation81 FR 64110 
RIN Number0648-XE68
CFR Citation50 CFR 223
50 CFR 224
CFR AssociatedEndangered and Threatened Species; Exports; Transportation and Imports

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