81_FR_67031 81 FR 66842 - Endangered and Threatened Wildlife and Plants; Endangered Species Status for Chamaecrista lineata var. keyensis (Big Pine Partridge Pea), Chamaesyce deltoidea ssp. serpyllum (Wedge Spurge), and Linum arenicola (Sand Flax), and Threatened Species Status for Argythamnia blodgettii (Blodgett's Silverbush)

81 FR 66842 - Endangered and Threatened Wildlife and Plants; Endangered Species Status for Chamaecrista lineata var. keyensis (Big Pine Partridge Pea), Chamaesyce deltoidea ssp. serpyllum (Wedge Spurge), and Linum arenicola (Sand Flax), and Threatened Species Status for Argythamnia blodgettii (Blodgett's Silverbush)

DEPARTMENT OF THE INTERIOR
Fish and Wildlife Service

Federal Register Volume 81, Issue 189 (September 29, 2016)

Page Range66842-66865
FR Document2016-23546

We, the U.S. Fish and Wildlife Service (Service), determine endangered species status under the Endangered Species Act of 1973 (Act), as amended, for Chamaecrista lineata var. keyensis (Big Pine partridge pea), Chamaesyce deltoidea ssp. serpyllum (wedge spurge), and Linum arenicola (sand flax), and threatened species status for Argythamnia blodgettii (Blodgett's silverbush), all plant species from south Florida. The rule adds these species to the Federal List of Endangered and Threatened Plants.

Federal Register, Volume 81 Issue 189 (Thursday, September 29, 2016)
[Federal Register Volume 81, Number 189 (Thursday, September 29, 2016)]
[Rules and Regulations]
[Pages 66842-66865]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2016-23546]


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DEPARTMENT OF THE INTERIOR

Fish and Wildlife Service

50 CFR Part 17

[Docket No. FWS-R4-ES-2015-0137; 4500030113]
RIN 1018-AZ95


Endangered and Threatened Wildlife and Plants; Endangered Species 
Status for Chamaecrista lineata var. keyensis (Big Pine Partridge Pea), 
Chamaesyce deltoidea ssp. serpyllum (Wedge Spurge), and Linum arenicola 
(Sand Flax), and Threatened Species Status for Argythamnia blodgettii 
(Blodgett's Silverbush)

AGENCY: Fish and Wildlife Service, Interior.

ACTION: Final rule.

-----------------------------------------------------------------------

SUMMARY: We, the U.S. Fish and Wildlife Service (Service), determine 
endangered species status under the Endangered Species Act of 1973 
(Act), as amended, for Chamaecrista lineata var. keyensis (Big Pine 
partridge pea), Chamaesyce deltoidea ssp. serpyllum (wedge spurge), and 
Linum arenicola (sand flax), and threatened species status for 
Argythamnia blodgettii (Blodgett's silverbush), all plant species from 
south Florida. The rule adds these species to the Federal List of 
Endangered and Threatened Plants.

DATES: This rule is effective October 31, 2016.

ADDRESSES: This final rule is available on the Internet at http://www.regulations.gov. Comments and materials we received, as well as 
supporting documentation we used in preparing this rule, are available 
for public inspection at http://www.regulations.gov. Comments, 
materials, and documentation that we considered in this rulemaking will 
be available by appointment, during normal business hours at: U.S. Fish 
and Wildlife Service, South Florida Ecological Services Field Office, 
1339 20th Street, Vero Beach, FL 32960; telephone 772-562-3909; 
facsimile 772-562-4288.

FOR FURTHER INFORMATION CONTACT: Roxanna Hinzman, U.S. Fish and 
Wildlife Service, South Florida Ecological Services Field Office, 1339 
20th Street, Vero Beach, FL 32960; telephone 772-562-3909; facsimile 
772-562-4288. Persons who use a telecommunications device for the deaf 
(TDD) may call the Federal Information Relay Service (FIRS) at 800-877-
8339.

SUPPLEMENTARY INFORMATION: 

Executive Summary

    Why we need to publish a rule. Under the Endangered Species Act, a 
species may warrant protection through listing if it is endangered or 
threatened throughout all or a significant portion of its range. 
Listing a species as an endangered or threatened species can only be 
completed by issuing a rule.
    The basis for our action. Under the Endangered Species Act, we may 
determine that a species is an endangered or threatened species based 
on any of five factors: (A) The present or threatened destruction, 
modification, or curtailment of its habitat or range; (B) 
overutilization for commercial, recreational, scientific, or 
educational purposes; (C) disease or predation; (D) the inadequacy of 
existing regulatory mechanisms; or (E) other natural or manmade factors 
affecting its continued existence. We have determined that the threats 
to Chamaecrista lineata var. keyensis, Chamaesyce deltoidea ssp. 
serpyllum, Linum arenicola, and Argythamnia blodgettii consist 
primarily of:
     Habitat loss and modification through urban and 
agricultural development, and lack of adequate fire management (Factor 
A); and
     The proliferation of nonnative, invasive plants; 
stochastic events (hurricanes and storm surge); maintenance practices 
used on roadsides and disturbed sites; and sea level rise (Factor E).
    Existing regulatory mechanisms have not been adequate to reduce or 
remove these threats (Factor D).
    Peer review and public comment. We sought comments from independent 
specialists to ensure that our determination is based on scientifically 
sound data, assumptions, and analyses. We invited these peer reviewers 
to comment on our listing proposal. We also considered all other 
comments and information we received during the comment period.

Previous Federal Actions

    Please refer to the proposed listing rule for Chamaecrista lineata 
var. keyensis, Chamaesyce deltoidea ssp. serpyllum, Linum arenicola, 
and

[[Page 66843]]

Argythamnia blodgettii (80 FR 58536; September 29, 2015) for a detailed 
description of previous Federal actions concerning these species.

Background

    Please refer to the proposed listing rule (80 FR 58536; September 
29, 2015) for the complete discussion of each plant's description, 
habitat, taxonomy, distribution, population estimates, climate, 
historical range, current range, status, and biology.
    Below, we present only revisions to the discussions in the 
Background section of the proposed listing rule based on new 
information from peer review and public comments; as such, not every 
plant, or every topic for a plant, will be discussed below.
    Chamaecrista lineata var. keyensis (Big Pine partridge pea)

Species Description

    Please refer to the ``Species Description'' section of the proposed 
rule for the complete discussion. We make one minor editorial revision 
to our description of the plant's fruit, as follows: The fruit is an 
elongate pod, roughly similar to that of a pea, 33-45 millimeters (mm) 
(1.3-1.8 inches (in)) long and 4.5-5.0 mm (0.19-0.17 in) wide, with a 
soft fuzzy texture, which turns gray with age and eventually splits 
open to release seeds (Irwin and Barneby 1982, p. 757; Small 1933, pp. 
662-663).

Habitat

    Please refer to the ``Habitat'' section of the proposed rule for 
the complete discussion. In the Pine Rocklands discussion, we correct 
the following names of species: Quercus elliottii (running oak) is 
corrected to Quercus elliottii (running oak), and Psidium longipes 
(longstalked stopper) is corrected to Psidium longipes (longstalked 
stopper). We also correct the reference to hardwoods in the pine 
rocklands of the lower Florida Keys; the hardwoods in the subcanopy 
include species such as Byrsonima lucida and Mosiera longipes (Bradley 
2006, p. 3).

Current Range, Population Estimates, and Status

    Please refer to the ``Current Range, Population Estimates, and 
Status'' section of the proposed rule for the complete discussion. We 
make minor editorial revisions to the first sentence of the third 
paragraph of that section, as follows: A second indicator, the 
frequency with which Chamaecrista lineata var. keyensis occurred in 
sample plots on Big Pine Key from data collected in 2005, 2007, and 
2013, also shows a decline.
Linum arenicola (sand flax)
Habitat
    Please refer to the ``Habitat'' section of the proposed rule for 
the complete discussion. Under Roadsides and Other Disturbed Sites, we 
make minor editorial corrections concerning the plant's persistence on 
roadsides, as follows: Linum arenicola was at one time more common in 
pine rocklands in Miami-Dade County, but a lack of periodic fires in 
most pine rocklands fragments over the last century has pushed this 
species into the more sunny, artificial environments it prefers 
(Bradley and Gann 1999, p. 61).
    Please refer to the ``Current Range, Population Estimates, and 
Status'' section of the proposed rule for the complete discussion. We 
make the following corrections to that discussion:
    (1) We correct the description of the current distribution of Linum 
arenicola in Miami-Dade County, as follows: In Miami-Dade County, the 
current distribution of Linum arenicola is from just north of SW 184 
Street (in the Martinez Pinelands Preserve), south to the intersection 
of Card Sound Road and the C-102 canal, and west to SW 264 Street and 
177 Avenue (Everglades Archery Range at Camp Owaissa Bauer).
    (2) We correct our description of the compilation of all survey 
work to include a missed citation for Possley (2016, pers. comm.). The 
corrected sentence reads: Based on a compilation of all survey work 
through 2016, including Austin (1980), Kernan and Bradley (1996, pp. 1-
30), Bradley and Gann (1999, pp. 61-65), Hodges and Bradley (2006, pp. 
37-41), Bradley and Saha (2009, p. 10), Bradley (2009, p. 3), Hodges 
(2010, pp. 4-5, 15), Bradley and van der Heiden (2013, pp. 6-12, 19), 
Bradley et al. (2015, pp. 28-29), and Possley (2016, pers. comm.), of 
26 historical population records for Linum arenicola, 12 populations 
are extant and 14 are extirpated (see Table 3), a loss of roughly 54 
percent of known populations, from the early 1900s to the present.
    (3) Under Miami-Dade County, we correct the location of the seventh 
population of Linum arenicola, as follows: A seventh small population, 
located in 2014 at Zoo Miami, (Possley 2016, pers. comm.) is located on 
county land.
    (4) As a result of the corrections described in (1) through (3), 
above, we present a revised version of the proposed rule's Table 3 
(note: in the following table, USFWS stands for U.S. Fish and Wildlife 
Service; FWC stands for Florida Fish and Wildlife Conservation 
Commission; HARB stands for Homestead Air Reserve Base; and SOCSOUTH 
stands for Special Operations Command South Headquarters):

              Table 3--Summary of the Status and Trends of the Known Occurrences of Linum arenicola
----------------------------------------------------------------------------------------------------------------
                                                    Most Recent
          Population               Ownership        Population          County                  Trend
                                                     Estimate
----------------------------------------------------------------------------------------------------------------
                                                Extant 12 records
----------------------------------------------------------------------------------------------------------------
Big Pine Key.................  USFWS, FWC, TNC   2,676 (2007) \1\  Monroe..........  declining.
                                \12\, Private.
Upper Sugarloaf Key..........  FDOT \13\, USFWS  73 (2010) \2\...  Monroe..........  insufficient data.
Lower Sugarloaf Key..........  FDOT \13\, USFWS  531 (2010) \2\..  Monroe..........  stable.
Big Torch Key................  FDOT \13\,        1 (2010) \2\....  Monroe..........  declining.
                                Private.
Zoo Miami....................  Miami-Dade        56 (2014) \5\...  Miami-Dade......  insufficient data.
                                County.
Martinez Pineland............  Miami-Dade        100-200 (2013)    Miami-Dade......  insufficient data.
                                County.           \6\.
Everglades Archery Range.....  Miami-Dade        23 (2012) \7\...  Miami-Dade......  insufficient data.
                                County.
HAFB \15\ 1--S of Naizare      DOD \14\, Miami-  24,000 (2013)     Miami-Dade......  stable.
 BLVD.                          Dade County.      \7\.
SOCSOUTH (HAFB 2--NW side of   DOD \14\ (leased  74,000 (2009) 7   Miami-Dade......  stable.
 Bikini BLVD).                  from Miami-Dade   10.
                                County).
HARB (SW 288 St. and 132 Ave)  DOD \14\........  37 (2011) \7\...  Miami-Dade......  insufficient data.
C-102 Canal SW 248 St. to      SFWMD \11\......  1,000-10,000      Miami-Dade......  insufficient data.
 U.S. 1.                                          (2013) \7\.

[[Page 66844]]

 
L-31E canal, from SW 328 St.   SFWMD \11\......  Plants occur      Miami-Dade......  insufficient data.
 to Card Sound Road.                              along 14 km
                                                  (8.7 mi) of
                                                  levee (2013)
                                                  \7\.
----------------------------------------------------------------------------------------------------------------
                                              Extirpated 14 records
----------------------------------------------------------------------------------------------------------------
Middle Torch Key.............  FWC, FDOT\13\...  3 (2005) \3\....  Monroe.           ...........................
Ramrod Key...................  FDOT\13\........  110 (1979) \4\..  Monroe.           ...........................
Park Key.....................  FDOT\13\........  unknown (1961)    Monroe.           ...........................
                                                  \3\.
Boca Chica...................  DOD\14\, other    unknown (1912)    Monroe.           ...........................
                                (unknown).        \3\.
Camp Jackson.................  unknown.........  unknown (1907)    Miami-Dade.       ...........................
                                                  \9\.
Big Hammock Prairie..........  unknown.........  unknown (1911)    Miami-Dade.       ...........................
                                                  \9\.
Camp Owaissa Bauer...........  Miami-Dade        10 (1983) \7\...  Miami-Dade.       ...........................
                                County.
Allapatah Drive and Old        Private.........  256 (1996) \8\..  Miami-Dade.       ...........................
 Cutler Road.
Bauer Drive (Country Ridge     Miami-Dade        8 (1996) \8\....  Miami-Dade.       ...........................
 Estates).                      County.
Silver Green Cemetery........  Private.........  47 (1996) \8\...  Miami-Dade.       ...........................
Palmetto Bay Village Center..  Private.........  12 (1996) \8\...  Miami-Dade.       ...........................
HAFB (Community Partnership    DOD\14\, Miami-   unknown (2010)    Miami-Dade.       ...........................
 Drive).                        Dade County.      \7\.
Coco Plum Circle (corner of    Private.........  75 (1996) \8\...  Miami-Dade.       ...........................
 Robles Street & Vista Mar
 Street).
George Avery Pineland          Private.........  ``small colony''  Miami-Dade.       ...........................
 Preserve.                                        (2002) \7\.
----------------------------------------------------------------------------------------------------------------
\1\ Bradley and Saha 2009, p. 10.
\2\ Hodges 2010, p. 10.
\3\ Hodges and Bradley 2006, pp. 39-48.
\4\ Austin et al. 1980 in FNAI.
\5\ Possley 2016, pers. comm., p. 11.
\6\ Possley 2014, pers. comm.
\7\ Bradley and Van Der Heiden 2013, pp. 6-11.
\8\ Kernan and Bradley 1996, p. 9.
\9\ Bradley and Gann 1999, p. 65.
\10\ Bradley 2009, p. 3.
\11\ South Florida Water Management District (SFWMD).
\12\ The Nature Conservancy (TNC).
\13\ Florida Department of Transportation (FDOT).
\14\ Department of Defense (DOD).
\15\ Homestead Air Force Base (HAFB; decommissioned).

Biology
    Please refer to the ``Biology'' section of the proposed rule for 
the complete discussion.
    We revise the Life History and Reproduction discussion to read:
    Life History and Reproduction: Little is known about the life 
history of Linum arenicola, including pollination biology, seed 
production, or dispersal. Reproduction is sexual, with new plants 
generated from seeds. L. arenicola is apparently self-compatible 
(Harris 2016, pers. comm.). The species produces flowers nearly year 
round, with maximum flowering from April to September, with a peak 
around March and April. L. arenicola population demographics or 
longevity have not been studied (Bradley and Gann, 1999, p. 65; Hodges 
and Bradley 2006, p. 41; Hodges 2007, p. 2; Harris 2016, pers. comm.).
    Argythamnia blodgettii (Blodgett's silverbush)
Species Description
    Please refer to the ``Species Description'' section of the proposed 
rule for the complete discussion. We clarify the description of the 
leaves of Argythamnia blodgettii, as follows: The leaves, arranged 
alternately along the stems, are 1.5 to 4.0 centimeters (cm) (0.6 to 
1.6 in) long, have smooth (or rarely toothed) edges, are oval or 
elliptic in shape, and often are colored a distinctive, metallic bluish 
green when dried.
Taxonomy
    Please refer to the ``Taxonomy'' section of the proposed rule for 
the complete discussion.
    To the end of the first paragraph, we add the following: Ingram 
(1952) indicates the distribution of Argythamnia argothamnoides 
(including Florida material) as Florida and Venezuela. As such, the 
Service accepts the treatment of Argythamnia blodgettii as a distinct 
species and therefore does not find a compelling justification to 
remove the species from consideration for listing under the Act.
Current Range, Population Estimates, and Status
    Please refer to the ``Current Range, Population Estimates, and 
Status'' section of the proposed rule for the complete discussion. We 
make the following corrections to that discussion:
    (1) We correct the data in Table 4, presented below. (Note: In the 
following table, USFWS stands for U.S. Fish and Wildlife Service; FWC 
stands for Florida Fish and Wildlife Conservation Commission; DOD 
stands for Department of Defense; and ENP stands for Everglades 
National Park.)
    (2) Because of the corrections presented below for Table 4, the 
text preceding the table in the proposed rule is now incorrect. Based 
on the data presented below in Table 4, there are 50 records for 
Argythamnia blodgettii in Miami-Dade and Monroe Counties. Twenty 
populations are extant, 15 are extirpated, and the status of 15 is 
uncertain because they have not been surveyed in 15 years or more.

[[Page 66845]]



          Table 4--Summary of the Status and Trends of the Known Occurrences of Argythamnia blodgettii
----------------------------------------------------------------------------------------------------------------
                                                    Most recent
          Population               Ownership        population          County                  Trend
                                                     estimate
----------------------------------------------------------------------------------------------------------------
                                                Extant 20 records
----------------------------------------------------------------------------------------------------------------
Plantation Key, Snake Creek    FWC.............  101-1,000 (2005)  Monroe..........  Insufficient data.
 Hammock.                                         \2\.
Lower Matecumbe Key--Klopp     FDEP \6\........  11-100 (2000)     Monroe..........  Insufficient data.
 Tract.                                           \2\.
Lignumvitae Key..............  FDEP \6\........  101-1,000 (2005)  Monroe..........  Insufficient data.
                                                  \2\.
Big Munson Island............  Private (Boy      1,001-10,000      Monroe..........  Insufficient data.
                                Scouts of         (2005) \2\.
                                America).
North Key Largo..............  DOD, FDOT.......  No estimate       Monroe..........  Insufficient data.
                                                  (2005) \8\.
Key Largo--Dove Creek Hammock  FWC, FDOT.......  11-100 (2005)     Monroe..........  Insufficient data.
                                                  \2\.
Vaca Key (Marathon)--Blue      FWC, FDOT.......  11-100 (2005)     Monroe..........  Insufficient data.
 Heron Hammock.                                   \2\.
Windley Key--State Park......  FDEP \6\........  11-100 (2005)     Monroe..........  Insufficient data.
                                                  \2\.
Boca Chica KWNAS \7\ Runway    DOD.............  1,001-10,000      Monroe..........  Insufficient data.
 25.                                              (2004) \2\.
Boca Chica Key KWNAS \7\       DOD.............  200 (2004) \2\..  Monroe..........  Insufficient data.
 Weapons Hammock.
Big Pine Key.................  USFWS, FWC,       ~2,200 (2005)     Monroe..........  Insufficient data.
                                private.          \2\.
ENP Long Pine Key Deer         NPS \5\.........  2,000 (2015) \4\  Miami-Dade......  Insufficient data.
 Hammock area (Pine Block A),
 Turkey Hammock area (Pine
 Block B), Pine Block E.
Fuch's Hammock...............  Miami-Dade        12 (2008) \ 1\..  Miami-Dade......  Insufficient data.
                                County.
Owaissa Bauer Addition.......  Miami Dade Parks  377 (2014) \9\..  Miami-Dade......  Insufficient data.
                                and Recreation.
Camp Owaissa Bauer...........  Miami Dade Parks  878 (2009) \9\..  Miami-Dade......  Insufficient data.
                                and Recreation.
Ned Glenn Pineland Preserve..  Miami Dade Parks  8 (2016) \10\...  Miami-Dade......  Insufficient data.
                                and Recreation.
Camp Choee...................  Private (Girl     3 (2005) \3\....  Miami-Dade......  Insufficient data.
                                Scout Council
                                of Tropical
                                Florida).
Florida Power and Light        Private.........  7 (2015) \9\....  Miami-Dade......  Insufficient data.
 Easement adjacent to Ludlam
 Preserve.
Larry and Penny Thompson Park  Miami Dade Parks  5,700 (2009) \9\  Miami-Dade......  Insufficient data.
                                and Recreation.
Boystown Pineland............  Private.........  No estimate       Miami-Dade......  Insufficient data.
                                                  (2005) \3\.
----------------------------------------------------------------------------------------------------------------
                                              Uncertain 15 records
----------------------------------------------------------------------------------------------------------------
Crawl Key, Forestiera Hammock  Private.........  10 (1982) \3\...  Monroe..........  Insufficient data.
Long Key State Park..........  FDEP............  No estimate       Monroe..........  Insufficient data.
                                                  (1999) \2\.
Stock Island.................  Private.........  No estimate       Monroe..........  Insufficient data.
                                                  (1981) \2\.
Boot Key.....................  Private.........  11-100 (1998)     Monroe..........  Insufficient data.
                                                  \2\.
Deering Estate...............  State of Florida  11-100 (1991)     Miami-Dade......  Insufficient data.
                                                  \1\.
Castellow Hammock............  Miami Dade Parks  11-100 (1991)     Miami-Dade......  Insufficient data.
                                and Recreation.   \1\.
Pine Ridge Sanctuary.........  Private.........  2-10 (1992) \1\.  Miami-Dade......  Insufficient data.
County Ridge Estates.........  Private.........  11-100 (1999)     Miami-Dade......  Insufficient data.
                                                  \1\.
Epmore Drive pineland........  Private.........  2-10 (1999) \1\.  Miami-Dade......  Insufficient data.
Gifford Arboretum Pineland...  Private.........  2-10 (1999) \1\.  Miami-Dade......  Insufficient data.
Ned Glenn Nature Preserve....  Miami Dade Parks  11-100 (1999)     Miami-Dade......  Insufficient data.
                                and Recreation.   \1\.
Natural Forest Community #317  Private.........  2-10 (1999) \1\.  Miami-Dade......  Insufficient data.
Old Dixie pineland...........  Private.........  11-100 (1999)     Miami-Dade......  Insufficient data.
                                                  \1\.
Castellow #33................  Private.........  12 (1995) \ 3\..  Miami-Dade......  Insufficient data.
Castellow #31................  Private.........  30 -50 (1995)     Miami-Dade......  Insufficient data.
                                                  \3\.
----------------------------------------------------------------------------------------------------------------
                                              Extirpated 15 records
----------------------------------------------------------------------------------------------------------------
Upper Matecumbe Key..........  unknown.........  No estimate       Monroe.           ...........................
                                                  (1967) \ 3\.
Totten Key...................  NPS.............  No estimate       Monroe.           ...........................
                                                  (1904) \1\.
Key West.....................  City of Key West  No estimate       Monroe.           ...........................
                                                  (1965) \1\.
SW 184th St. and 83rd Ave....  Private.........  0 (2016) \10\...  Miami-Dade......  Insufficient data.
Tropical Park Pineland.......  Miami Dade Parks  0 (2016) \9\....  Miami-Dade.       ...........................
                                and Recreation.
Crandon Park--Key Biscayne...  Miami Dade Parks  0 (2008) \9\....  Miami-Dade.       ...........................
                                and Recreation.
Brickell Hammock.............  unknown.........  Extirpated 1937   Miami-Dade.       ...........................
                                                  \1\.
Carribean Park...............  Miami-Dade        Extirpated 1998   Miami-Dade.       ...........................
                                County.           \1\.
Coconut Grove................  Miami-Dade        Extirpated 1901   Miami-Dade.       ...........................
                                County.           \1\.
Coral Gables area............  unknown.........  Extirpated 1967   Miami-Dade.       ...........................
                                                  \1\.
Miller and 72nd Ave..........  unknown.........  Extirpated 1975   Miami-Dade.       ...........................
                                                  \1\.

[[Page 66846]]

 
Orchid Jungle................  Miami-Dade        Extirpated 1930   Miami-Dade.       ...........................
                                County.           \1\.
Palms Woodlawn Cemetery......  Private.........  Extirpated 1992   Miami-Dade.       ...........................
                                                  \1\.
South of Miami River.........  unknown.........  Extirpated 1913   Miami-Dade.       ...........................
                                                  \1\.
Naranja......................  Private.........  No estimate       Miami-Dade.       ...........................
                                                  (1974) \3\.
----------------------------------------------------------------------------------------------------------------
\1\ Bradley and Gann 1999, p. 6.
\2\ Hodges and Bradley 2006, pp. 10-17.
\3\ FNAI 2011b.
\4\ Sadle 2015, pers. comm., p. 1.
\5\ National Park Service (NPS).
\6\ Florida Department of Environmental Protection (FDEP).
\7\ Key West Naval Air Station (KWNAS).
\8\ Henize and Hipes 2005, p. 25.
\9\ Possley 2016, pers. comm.
\10\ Lange 2016, pers. comm.

Summary of Comments and Recommendations

    In the proposed rule published on September 29, 2015 (80 FR 58536), 
we requested that all interested parties submit written comments on the 
proposal by November 30, 2015. We also contacted appropriate Federal 
and State agencies, scientific experts and organizations, and other 
interested parties and invited them to comment on the proposal. 
Newspaper notices inviting general public comment were published in the 
Miami Herald and Key West Citizen. We did not receive any requests for 
a public hearing. All substantive information provided during the 
comment period has either been incorporated directly into this final 
determination or is addressed below.

Peer Reviewer Comments

    In accordance with our peer review policy published on July 1, 1994 
(59 FR 34270), we solicited expert opinion from three knowledgeable 
individuals with scientific expertise that included familiarity with 
Chamaecrista lineata var. keyensis, Chamaesyce deltoidea ssp. 
serpyllum, Linum arenicola, and Argythamnia blodgettii and their 
habitats, biological needs, and threats. We received responses from all 
three peer reviewers.
    We reviewed all comments received from the peer reviewers for 
substantive issues and new information regarding the listing of 
Chamaecrista lineata var. keyensis, Chamaesyce deltoidea ssp. 
serpyllum, Linum arenicola, and Argythamnia blodgettii. The peer 
reviewers generally concurred with our methods and conclusions, and 
provided additional information, clarifications, and suggestions to 
improve this final rule.
    (1) Comment: One peer reviewer and one public commenter provided 
new information about the status of various populations of Linum 
arenicola and Argythamnia blodgettii within Miami-Dade County 
preserves. The peer reviewer suggested that the Service may be 
overestimating the number of extant populations of A. blodgettii, 
referring to outdated data for Tropical Park, Martinez Preserve, and 
Crandon Park. The reviewer also suggested the rule should identify the 
separate parcels within the Richmond Pinelands complex (i.e., Ram 
Development Corporation, Martinez Pineland Preserve, Larry and Penny 
Thompson Park, Zoo Miami, University of Florida, and those owned by the 
Department of Defense (DOD)).
    Our Response: The Service appreciates the new information. We have 
updated the tables, and associated text, summarizing the status and 
trends of the known occurrences of Linum arenicola and Argythamnia 
blodgettii (Tables 3 and 4, above).
    (2) Comment: Two peer reviewers and one public commenter identified 
a recent publication by Ramirez-Amezcua and Steinman (2013) that 
included a treatment of the Argythamnia subgenus Ditaxis in Mexico, 
stating that the range of A. argothamnoides includes Florida, which may 
bring into question the validity of A. blodgettii as a valid taxon. One 
reviewer concluded that after reading the published information on the 
subject, he did not find compelling information to suggest that Florida 
A. blodgettii populations are synonymous with Argythamnia spp. outside 
of Florida. This reviewer also recommended that the Service treat A. 
blodgettii as a distinct species, endemic to Florida.
    Our Response: The Service has reviewed Ramirez-Amezcua and Steinman 
(2013) and additional literature relating to the taxonomy of 
Argythamnia blodgettii. As stated in the ``Taxonomy'' sections of this 
rule and the proposed rule, there is a history of changes to the 
classification of this plant, with many based on studies that do not 
include samples from across the plant's range, including the recent 
publication suggesting that Argythamnia blodgettii is synonymous with 
the wider ranging Ditaxis argothamnoides. However, the Service accepts 
the treatment of A. blodgettii as a distinct species and therefore does 
not find a compelling justification to remove the species from 
consideration for listing under the Act.
    (3) Comment: One reviewer commented on the need to include 
information about genetic studies in the document.
    Our Response: No genetic studies of Chamaecrista lineata var. 
keyensis, Chamaesyce deltoidea ssp. serpyllum, Linum arenicola, or 
Argythamnia blodgettii have been conducted.
    (4) Comment: One reviewer disagreed with our statement that there 
is no regulatory protection for State-listed plants on private lands 
through Florida Administrative Code (FAC) 5B-40.
    Our Response: The Service apologizes for mischaracterizing the 
regulatory protections provided through FAC 5B-40. We have corrected 
this, and describe the protections in detail in this final rule under 
Factor D. The Inadequacy of Existing Regulatory Mechanisms, below.
    (5) Comment: One reviewer suggested future research in best 
practices for mowing areas that support Chamaecrista lineata var. 
keyensis, Chamaesyce deltoidea ssp. serpyllum, Linum arenicola, and 
Argythamnia blodgettii.
    Our Response: The Service agrees that the best mowing practices 
should be investigated to support the species. This is a topic that 
will be addressed in the recovery planning process.

[[Page 66847]]

    (6) Comment: One reviewer provided new information from an ongoing 
study about the direct and indirect effects of mosquito insecticide 
spray on flower visitors and reproductive fitness of Chamaecrista 
lineata var. keyensis and Linum arenicola in the lower Florida Keys. In 
addition, two public commenters took issue with the section of the 
proposed rule that discussed mosquito control pesticide applications as 
a factor affecting pollinators of Chamaecrista lineata var. keyensis, 
Chamaesyce deltoidea ssp. serpyllum, Linum arenicola, and Argythamnia 
blodgettii. They asserted that the Service made incorrect statements 
regarding the frequency and amount of mosquito control adulticide 
treatments in South Florida. These public commenters requested that any 
mention of pesticide effects on pollinators be removed from this final 
rule.
    Our Response: The Service appreciates the new information provided 
by the peer reviewer. Data from ongoing studies in the lower Florida 
Keys of L. arenicola flower visitor observations show that sites not 
treated with adulticides had slightly higher fruit set rates than 
treated sites and pollinator-excluded experimental trials. Several 
species of small bees were observed frequenting flowers at untreated 
sites, while visitation was much less frequent at the treated site. 
Extensive studies in the Florida Keys suggest that broad spectrum 
insecticides negatively affect nontarget invertebrates, including 
pollinators (Hennessey 1991; Eliazar and Emmel 1991; Kevan et al. 1997; 
Salvato 2001; Bargar 2011; Hoang et al. 2011). In addition, pesticides 
have been shown to drift into adjacent undisturbed habitat that serves 
as a refuge for native biota (Hennessey 1992; Pierce et al. 2005; Zhong 
et al. 2010; Bargar 2011). These pesticides can be fatal to nontarget 
invertebrates that move between urban and forest habitats, altering 
ecological processes within forest communities (Kevan and Plowright 
1989, 1995; Liu and Koptur 2003).
    The Service believes that pesticide spraying may be a factor 
affecting the reproductive success of Chamaecrista lineata var. 
keyensis, Chamaesyce deltoidea ssp. serpyllum, Linum arenicola, and 
Argythamnia blodgettii. However, we acknowledge that pesticide spraying 
practices by the Florida Keys Mosquito Control District (FKMCD) at 
National Key Deer Refuge (NKDR) have changed over the years to reduce 
pesticide use. Since 2003, expanded larvicide treatments to surrounding 
islands have significantly reduced adulticide use on Big Pine Key, No 
Name Key, and the Torch Keys. In addition, the number of aerially 
applied naled (Dibrom[supreg]) treatments allowed on NKDR has been 
limited since 2008 (FKMCD 2012, pp. 10-11). Zones that include the core 
habitat used by pine rockland butterflies, and several linear miles of 
pine rocklands habitat within the Refuge-neighborhood interface, were 
excluded from truck spray applications (no-spray zones) (Anderson 2012, 
pers. comm.; Service 2012, p. 32). These exclusions and buffer zones 
encompass over 95 percent of extant croton distribution on Big Pine 
Key, and include the majority of known recent and historical Florida 
leafwing population centers on the island (Salvato 2012, pers. comm.).
    Accordingly, the Service commends the FKMCD for its cooperation in 
recovering endangered butterflies and plants. Nevertheless, we are 
proceeding cautiously and have initiated a multi-year research project 
to further investigate the level of impact pesticides have on these 
four plants.

Federal Agency Comments

    (7) Comment: The U.S. Navy expressed interest and a commitment to 
work proactively with the Service to coordinate on the proposed listing 
of Chamaecrista lineata var. keyensis, Chamaesyce deltoidea ssp. 
serpyllum, Linum arenicola, and Argythamnia blodgettii under the Act. 
Naval Air Station (NAS) Key West, Florida, is subject to the NAS Key 
West Integrated Natural Resources Management Plan (INRMP). The Navy 
noted that the NAS Key West INRMP was acknowledged in the proposed 
listing rule as providing a conservation benefit to Argythamnia 
blodgettii habitat. The 2013 INRMP update identified several Monroe 
County rare species, including Chamaecrista lineata var. keyensis, 
Chamaesyce deltoidea ssp. serpyllum, and Linum arenicola, that do not 
occur on NAS Key West properties. The Navy requested that the Service 
coordinate with it prior to proposing critical habitat on Navy land for 
any of these species and to fully consider the benefits imparted to 
these species through INRMP implementation.
    Our Response: We appreciate the U.S. Navy's interest and commitment 
to work proactively with the Service to conserve Argythamnia 
blodgettii. In particular, NAS Key West has been proactive in surveying 
for these species and updating the NAS Key West INRMP to include 
conservation measures for Argythamnia blodgettii. The Service will 
coordinate early with NAS Key West regarding any critical habitat 
proposal for Chamaecrista lineata var. keyensis, Chamaesyce deltoidea 
ssp. serpyllum, Linum arenicola, or Argythamnia blodgettii.

Comments From the State

    We received comments from a peer reviewer who is employed by the 
Florida Forest Service. Those comments are addressed above under Peer 
Reviewer Comments in our responses to Comments (3) and (4).

Public Comments

    (8) Comment: One commenter opposed the proposed listing of the 
plants on Big Pine Key, Florida. While the commenter generally agreed 
with the field data for the Chamaecrista lineata var. keyensis, 
Chamaesyce deltoidea ssp. serpyllum, Linum arenicola, and Argythamnia 
blodgettii, the commenter asserted the habitat can no longer sustain 
these and other federally protected endangered species going forward. 
The commenter described several alterations, including drainage canals 
and shallow wells for drainage, that they asserted have permanently 
damaged the freshwater lens (convex layer of groundwater on top of a 
layer of denser saltwater) in the Florida Keys. These alterations and 
sea level rise have permanently changed the natural lens and the amount 
of freshwater available to these species, particularly in times of 
drought or following a major hurricane event.
    Our Response: The Service acknowledges the challenges faced by the 
Florida Keys due to salinization and sea level rise. These factors are 
discussed at length in this final rule under Factor E. Other Natural or 
Manmade Factors Affecting Its Continued Existence, below. In addition, 
the Service agrees habitat loss or degradation is a factor that 
threatens Chamaecrista lineata var. keyensis, Chamaesyce deltoidea ssp. 
serpyllum, Linum arenicola, and Argythamnia blodgettii. However, we 
disagree that habitat on Big Pine Key can no longer sustain these or 
other federally protected endangered species going forward. Canals, 
which occur throughout a large portion of Big Pine Key, have allowed 
saltwater intrusion into upland areas of the island for decades, 
threatening upland ecosystems. However, habitat restoration is ongoing 
across Big Pine Key, particularly within the pine rocklands and 
rockland hammocks. These restoration efforts are attempting to protect 
the freshwater lens required by native vegetation; this includes 
filling or plugging drainage canals to reduce or halt seawater 
intrusion into upland areas.

[[Page 66848]]

Summary of Changes From the Proposed Rule

    None of the new information we received during the comment period 
on the proposed rule changes our determinations in this final rule for 
these four plants. Most of the changes are editorial in nature, and are 
described above in the Background section of this rule. However, based 
on comments we received from peer reviewers and the public, we make the 
following substantive changes:
     We update the status of several populations of Linum 
arenicola and Argythamnia blodgettii;
     We update the discussion of the taxonomy of A. blodgettii 
to take into consideration a recent publication; and
     We update our discussion of pesticide applications and 
pollinators to reflect current application limitations now in effect on 
Big Pine Key.

Summary of Factors Affecting the Species

    The Act directs us to determine whether any species is an 
endangered species or a threatened species because of any one of five 
factors affecting its continued existence. In this section, we 
summarize the biological condition of each of the plant species and its 
resources, and the factors affecting them, to assess the species' 
overall viability and the risks to that viability.

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

    Chamaecrista lineata var. keyensis, Chamaesyce deltoidea ssp. 
serpyllum, Linum arenicola, and Argythamnia blodgettii have experienced 
substantial destruction, modification, and curtailment of their 
habitats and ranges. Specific threats to these plants under this factor 
include habitat loss, fragmentation, and modification caused by 
development (i.e., conversion to both urban and agricultural land uses) 
and inadequate fire management. Each of these threats and its specific 
effects on these plants are discussed in detail below.
Human Population Growth, Development, and Agricultural Conversion
    The modification and destruction of the habitats that support 
Chamaecrista lineata var. keyensis, Chamaesyce deltoidea ssp. 
serpyllum, Linum arenicola, and Argythamnia blodgettii has been extreme 
in most areas of Miami-Dade and Monroe Counties, thereby reducing these 
plants' current ranges and abundance in Florida. The pine rocklands 
community of south Florida, in which all four plants primarily occur, 
is critically imperiled locally and globally (FNAI 2012, p. 27). 
Destruction of pine rocklands and rockland hammocks has occurred since 
the beginning of the 1900s. Extensive land clearing for human 
population growth, development, and agriculture in Miami-Dade and 
Monroe Counties has altered, degraded, or destroyed thousands of acres 
of these once abundant ecosystems.
    In Miami-Dade County, development and agriculture have reduced pine 
rocklands habitat by 90 percent in mainland south Florida. Pine 
rocklands habitat decreased from approximately 74,000 hectares (ha) 
(183,000 acres (ac)) in the early 1900s, to only 8,140 ha (20,100 ac) 
in 1996 (Kernan and Bradley 1996, p. 2). The largest remaining intact 
pine rocklands (approximately 2,313 ha (5,716 ac)) is located on Long 
Pine Key in Everglades National Park (ENP). Outside of ENP, only about 
1 percent of the pine rocklands on the Miami Rock Ridge have escaped 
clearing, and much of what is left are small remnants scattered 
throughout the Miami metropolitan area, isolated from other natural 
areas (Herndon 1998, p. 1).
    Similarly, most of the pine rocklands in the Florida Keys (Monroe 
County) have been impacted (Hodges and Bradley 2006, p. 6). Pine 
rocklands historically covered 1,049 ha (2,592 ac) of Big Pine Key 
(Folk 1991, p. 188), the largest area of pine rocklands in the Florida 
Keys. Pine rocklands now cover approximately 582 ha (1,438 ac) of the 
island, a reduction of 56 percent (Bradley and Saha 2009, p. 3). There 
were no estimates of pine rocklands area on the other islands 
historically, but each contained much smaller amounts of the habitat 
than Big Pine Key. Remaining pine rocklands on Cudjoe Key cover 72 ha 
(178 ac), Little Pine has 53 ha (131 ac), No Name has 56 ha (138 ac), 
and Sugarloaf has 38 ha (94 ac). The total area of remaining pine 
rocklands in the Florida Keys is approximately 801 ha (1,979 ac). 
Currently, about 478 ha (1,181 ac) (82 percent) of the pine rocklands 
on Big Pine Key, and most of the pine rocklands on these other islands, 
are protected within the NKDR and properties owned by the Nature 
Conservancy, the State of Florida, and Monroe County (Bradley and Saha 
2009, pp. 3-4). Based on the data presented above, the total remaining 
acreage of pine rocklands in Miami-Dade and Monroe Counties is now 
8,981 ha (22,079 ac) (approximately 8,140 ha (20,100 ac) in Miami-Dade 
County, and 801 ha (1,979 ac) in the Florida Keys (Monroe County)).
    The marl prairies that also support Linum arenicola have similarly 
been destroyed by the rapid development of Miami-Dade and Monroe 
Counties. At least some of the occurrences reported from this habitat 
may be the result of colonization that occurred after they were 
artificially dried-out due to local or regional drainage.
    Likewise, habitat modification and destruction from residential and 
commercial development have severely impacted rockland hammocks, and 
coastal berm, that support Argythamnia blodgettii. Rockland hammocks 
were once abundant in Miami-Dade and Monroe Counties but are now 
considered imperiled locally and globally (FNAI 2010x, pp. 24-26). The 
tremendous development and agricultural pressures in south Florida have 
resulted in significant reductions of rockland hammock, which is also 
susceptible to fire, frost, hurricane damage, and groundwater reduction 
(Phillips 1940, p. 167; Snyder et al. 1990, pp. 271-272; FNAI 2010, pp. 
24-26).
    Pine rocklands, rockland hammock, marl prairie, and coastal 
habitats on private land remain vulnerable to development, which could 
lead to the loss of populations of these four species. As noted 
earlier, all four plants have been impacted by development. The sites 
of Small's 1907 and 1911 L. arenicola collections in Miami-Dade County 
are now agricultural fields (Kernan and Bradley 1996, p. 4). A pine 
rocklands site that supported L. arenicola on Vistalmar Street in Coral 
Gables (Miami-Dade County) was cleared and developed in 2005, as part 
of the growing the Cocoplum housing development. A second pine 
rocklands site that supported L. arenicola, located on private land on 
Old Cutler Road, was developed into the Palmetto Bay Village Center. L. 
arenicola has not been observed at either site since they were 
developed. A former marl prairie site supporting a sizable population 
of L. arenicola near Old Cutler Road and Allapatah Drive (SW 112 Ave) 
in Miami-Dade County was extirpated when the site was developed in the 
1990s (Bradley and van der Heiden 2013, pp. 6-12, 19). The Boca Chica 
Key population of L. arenicola was also likely lost due to development 
(Hodges and Bradley 2006, p. 48).
    Bradley and Gann (1999, p. 6) list 12 populations of Argythamnia 
blodgettii in Miami-Dade County that were lost when the site that 
supported them was developed. An A. blodgettii population on Key West 
was likely lost due to the near complete urbanization of the island 
(Hodges and Bradley 2006, p. 43). Any

[[Page 66849]]

development related to the Boy Scout camp on Big Munson Island is a 
potential threat to the largest population A. blodgettii.
    The largest Linum arenicola population in Miami-Dade County is 
located on property owned by the Miami-Dade County Homeless Trust. U.S. 
Special Operations Command South Headquarters (SOCSOUTH), a unified 
command of all four services of DOD, has entered into a 50-year 
agreement with Miami-Dade County to lease this 90-ac (36.4-ha) area, 
where they are building a permanent headquarters on approximately 28 ac 
(11.3 ha) (DOD 2009, p. 1). As stated above, the population of L. 
arenicola is spread across the site and was estimated at 74,000 plants 
in 2009 (Bradley 2009, p. 3). In consultation with the Service, the DOD 
developed a plan that avoided the majority of the population with 
accompanying protection and management of approximately 57,725 
individuals of sand flax (about 78 percent of the estimated onsite 
population) (Service 2011, p. 13). The plan will manage 5.95 ha (14.7 
ac) of habitat, though most of it is scraped, and only a small portion 
has a pine canopy (Van der Heiden and Johnson 2013, p. 2). An 
additional 1.3 ha (3.2 ac) is being managed and supports 13,184 
individuals of sand flax (about 18 percent of the estimated onsite 
population) (Service 2011, p. 13).
    Currently there are plans to develop a 55-ha (137-ac) privately-
owned portion of the largest remaining area of pine rocklands habitat 
in Miami-Dade County, the Richmond pine rocklands, with a shopping 
center and residential construction (RAM 2014, p. 2). Bradley and Gann 
(1999, p. 4) called the 345-ha (853-ac) Richmond pine rocklands, ``the 
largest and most important area of pine rockland in Miami-Dade County 
outside of Everglades National Park.'' Populations of Argythamnia 
blodgettii and Linum arenicola, along with numerous federally listed 
species, occur in habitat adjacent to the area slated for development. 
The Miami-Dade County Department of Regulatory and Economic Resources 
(RER) has completed a management plan for county-owned portions of the 
Richmond pine rocklands (Martinez Pineland Preserve, Larry and Penny 
Thompson Park) under a grant from the Service and is leading the 
restoration and management of these areas (Bradley and Gann 1999, p. 
4). The developer has proposed to enter into a habitat conservation 
plan in conjunction with their plans to develop their portion of the 
site and was required by Miami-Dade County Natural Forest Community 
(NFC) regulations to set aside and manage 15 ha (39 ac) of pine 
rocklands and 2 ha (4 ac) of rockland hammock. A second project that 
would result in the loss of pine rocklands habitat is also proposed for 
the Richmond pine rocklands. It includes expanding the Miami Zoo 
complex to develop an amusement park and large retail mall.
    Approximately 25 percent of extant Linum arenicola occurrences (3 
of 12 sites), and 40 percent of extant Argythamnia blodgettii 
occurrences (14 of 35 sites), are located on private land; no extant 
populations of Chamaecrista lineata var. keyensis or Chamaesyce 
deltoidea ssp. serpyllum are located entirely on private land. It is 
possible that the plants on private lands will be lost from most of 
these sites in the future with increased pressure from development and 
the other threats described below.
    Argythamnia blodgettii is the only one of the four plant species 
that occurs in ENP, where a population of over 2,000 plants is stable, 
and prescribed fire and other management activities that benefit A. 
blodgettii are conducted on a regular basis.
    Most pine rocklands and rockland hammock habitat is now limited to 
public conservation lands, where future development and habitat 
alteration are less likely than on private lands. However, public lands 
could be sold off (or leased) in the future and become more likely to 
be developed or altered in a way that negatively impacts the habitat. 
For example, at the SOCSOUTH site noted above (leased to DOD by Miami-
Dade County), ongoing development of headquarters buildings SOCSOUTH 
has resulted in the loss of L. arenicola and pine rocklands habitat 
(Bradley and van der Heiden 2013, pp. 8-10). Construction of visitor 
facilities such as parking lots, roads, trails, and buildings can 
result in habitat loss on public lands that are set aside as preserves 
or parks.
    Roadside populations of Chamaecrista lineata var. keyensis, 
Chamaesyce deltoidea ssp. serpyllum, Linum arenicola, and Argythamnia 
blodgettii are vulnerable to habitat loss and modification stemming 
from infrastructure projects such as road widening, and installation of 
underground cable, sewer, and water lines. The Lower Sugarloaf Key 
population of Linum arenicola was impacted by repaving of the road, 
which placed asphalt on top of and adjacent to the population (Hodges 
and Bradley 2006, p. 41).
    Although no entire populations of Chamaecrista lineata var. 
keyensis or Chamaesyce deltoidea ssp. serpyllum have been extirpated by 
habitat loss due to development, the size and extent of these 
populations have been reduced on Big Pine Key (and surrounding islands 
for Chamaecrista lineata var. keyensis). The total area of pine 
rocklands on Big Pine Key has decreased by 56 percent from 1955 to the 
present (Bradley and Saha 2009, p. 3).
    The human population within Miami-Dade County is currently greater 
than 2.4 million people, and is expected to grow to more than 4 million 
by 2060, an annual increase of roughly 30,000 people (Zwick and Carr 
2006, p. 20). Overall, the human population in Monroe County is 
expected to increase from 79,589 to more than 92,287 people by 2060 
(Zwick and Carr 2006, p. 21). All vacant land in the Florida Keys is 
projected to be developed by then, including lands currently 
inaccessible for development, such as islands not attached to the 
Overseas Highway (U.S. 1) (Zwick and Carr 2006, p. 14). However, in an 
effort to address the impact of development on federally listed 
species, Monroe County implemented a habitat conservation plan (HCP) 
for Big Pine and No Name Keys in 2006. In order to fulfill the HCP's 
mitigation requirements, the County has been actively acquiring parcels 
of high-quality pine rocklands, such as The Nature Conservancy's 20-
acre Terrestris Tract on Big Pine Key, and managing them for 
conservation. Although the HCP has helped to limit the impact of 
development, land development pressure and habitat losses may resume 
when the HCP expires in 2023. If the HCP is not renewed, residential or 
commercial development could increase to pre-HCP levels.
    While Miami-Dade and Monroe County both have developed a network of 
public conservation lands that include pine rocklands, rockland 
hammocks, marl prairies, and coastal habitats, much of the remaining 
habitat occurs on private lands as well as publicly owned lands not 
managed for conservation. Species occurrences and suitable habitat 
remaining on these lands are threatened by habitat loss and 
degradation, and threats are expected to accelerate with increased 
development. Further losses will seriously affect the four plant 
species' ability to persist in the wild and decrease the possibility of 
their recovery or recolonization.
Habitat Fragmentation
    The remaining pine rocklands in the Miami metropolitan area are 
severely fragmented and isolated from each other by vast areas of 
development. Remaining pine rockland areas in the Florida Keys are 
fragmented and are located on small islands separated by

[[Page 66850]]

ocean. Habitat fragmentation reduces the size of plant populations and 
increases spatial isolation of remnants. Barrios et al. (2011, p. 1062) 
investigated the effects of fragmentation on a pine rocklands plant, 
Angadenia berteroi (pineland golden trumpet), which is recognized by 
the State of Florida as threatened, and found that abundance and 
fragment size were positively related. Possley et al. (2008, p. 385) 
studied the effects of fragment size on species composition in south 
Florida pine rocklands, and found that plant species richness and 
fragment size were positively correlated (although some small fragments 
supported nearly as many species as the largest fragment). Composition 
of fragmented habitat typically differs from that of intact forests; as 
isolation and edge effects increase, there is increased abundance of 
disturbance-adapted species (weedy species; nonnative, invasive 
species) and lower rates of pollination and propagule dispersal 
(Laurence and Bierregaard 1997, pp. 347-350; Noss and Csuti 1997, pp. 
284-299). The degree to which fragmentation threatens the dispersal 
abilities of Chamaecrista lineata var. keyensis, Chamaesyce deltoidea 
ssp. serpyllum, Linum arenicola, and Argythamnia blodgettii is unknown. 
In the historical landscape, where pine rocklands occurred within a 
mosaic of wetlands, water may have acted as a dispersal vector for all 
pine rocklands seeds. In the current, fragmented landscape, this type 
of dispersal would no longer be possible for any of the Miami-Dade 
populations. While additional dispersal vectors may include animals and 
(in certain locations) mowing equipment, it is likely that 
fragmentation has effectively reduced these plants' ability to disperse 
and exchange genetic material.
    While pollination research has not been conducted for Chamaesyce 
deltoidea ssp. serpyllum, Linum arenicola, and Argythamnia blodgettii, 
research regarding other species and ecosystems, including Chamaecrista 
lineata var. keyensis (discussed below), provides valuable information 
regarding potential effects of fragmentation on these plants. Effects 
of fragmentation on pollinators may include changes to the pollinator 
community as a result of limitation of pollinator-required resources 
(e.g., reduced availability of rendezvous plants, nesting and roosting 
sites, and nectar/pollen); these changes may include changes to 
pollinator community composition, species abundance and diversity, and 
pollinator behavior (Rathcke and Jules 1993, pp. 273-275; Kremen and 
Ricketts 2000, p. 1227; Harris and Johnson 2004, pp. 30-33). As a 
result, plants in fragmented habitats may experience lower visitation 
rates, which in turn may result in reduced seed production of the 
pollinated plant (which may lead to reduced seedling recruitment), 
reduced pollen dispersal, increased inbreeding, reduced genetic 
variability, and ultimately reduced population viability (Rathcke and 
Jules 1993, p. 275; Goverde et al. 2002, pp. 297-298; Harris and 
Johnson 2004, pp. 33-34).
    In addition to affecting pollination, fragmentation of natural 
habitats often alters other ecosystems' functions and disturbance 
regimes. Fragmentation results in an increased proportion of ``edge'' 
habitat, which in turn has a variety of effects, including changes in 
microclimate and community structure at various distances from the edge 
(Margules and Pressey 2000, p. 248), altered spatial distribution of 
fire (greater fire frequency in areas nearer the edge) (Cochrane 2001, 
pp. 1518-1519), and increased pressure from nonnative, invasive plants 
and animals that may out-compete or disturb native plant populations. 
Liu and Koptur (2003, p. 1184) reported decreases in Chamaecrista 
lineata var. keyensis's seed production in urban areas of Big Pine Key 
due to increased seed predation, compared with areas away from 
development.
    The effects of fragmentation on fire go beyond edge effects and 
include reduced likelihood and extent of fires, and altered behavior 
and characteristics (e.g., intensity) of those fires that do occur. 
Habitat fragmentation encourages the suppression of naturally occurring 
fires, and has prevented fire from moving across the landscape in a 
natural way, resulting in an increased amount of habitat suffering from 
these negative impacts. High fragmentation of small habitat patches 
within an urban matrix discourages the use of prescribed fire as well 
due to logistical difficulties (see ``Fire Management,'' below). Forest 
fragments in urban settings are also subject to increased likelihood of 
certain types of human-related disturbance, such as the dumping of 
trash (Chavez and Tynon 2000, p. 405). The many effects of habitat 
fragmentation may work in concert to threaten the local persistence of 
a species; when a species' range of occurrence is limited, threats to 
local persistence increase extinction risk.
Fire Management
    One of the primary threats to Chamaecrista lineata var. keyensis, 
Chamaesyce deltoidea ssp. serpyllum, Linum arenicola, and Argythamnia 
blodgettii is habitat modification and degradation through inadequate 
fire management, which includes both the lack of prescribed fire and 
suppression of natural fires. Where the term ``fire-suppressed'' is 
used below, it describes degraded pine rocklands conditions resulting 
from a lack of adequate fire (natural or prescribed) in the landscape. 
Historically, frequent (approximately twice per decade), lightning-
induced fires were a vital component in maintaining native vegetation 
and ecosystem functioning within south Florida pine rocklands. A period 
of just 10 years without fire may result in a marked decrease in the 
number of herbaceous species due to the effects of shading and litter 
accumulation (FNAI 2010, p. 63). Exclusion of fire for approximately 25 
years will likely result in gradual hammock development over that time 
period, leaving a system that is very fire-resistant if additional pre-
fire management (e.g., mechanical hardwood removal) is not undertaken.
    Today, natural fires are unlikely to occur or are likely to be 
suppressed in the remaining, highly fragmented pine rocklands habitat. 
The suppression of natural fires has reduced the size of the areas that 
burn, and habitat fragmentation has prevented fire from moving across 
the landscape in a natural way. Without fire, successional climax from 
pine rocklands to rockland hammock is rapid, and displacement of native 
species by invasive, nonnative plants often occurs. Understory plants 
such as Chamaecrista lineata var. keyensis, Chamaesyce deltoidea ssp. 
serpyllum, Linum arenicola, and Argythamnia blodgettii are shaded out 
by hardwoods and nonnatives alike. Shading may also be caused by a 
fire-suppressed pine canopy that has evaded the natural thinning 
effects that fire has on seedlings and smaller trees. Whether the dense 
canopy is composed of pine, hardwoods, nonnatives, or a combination, 
seed germination and establishment are inhibited in fire-suppressed 
habitat due to accumulated leaf litter, which also changes soil 
moisture and nutrient availability (Hiers et al. 2007, pp. 811-812). 
This alteration to microhabitat can also inhibit seedling establishment 
as well as negatively influence flower and fruit production 
(Wendelberger and Maschinski 2009, pp. 849-851), thereby reducing 
sexual reproduction in fire-adapted species such as Chamaecrista 
lineata var. keyensis, Chamaesyce deltoidea ssp. serpyllum, L. 
arenicola, and A. blodgettii (Geiger 2002, pp. 78-79, 81-83).
    After an extended period of inadequate fire management in pine

[[Page 66851]]

rocklands, it becomes necessary to control invading native hardwoods 
mechanically, as excess growth of native hardwoods would result in a 
hot fire, which can kill mature pines. Mechanical treatments cannot 
entirely replace fire because pine trees, understory shrubs, grasses, 
and herbs all contribute to an ever-increasing layer of leaf litter, 
covering herbs and preventing germination, as discussed above. Leaf 
litter will continue to accumulate even if hardwoods are removed 
mechanically. In addition, the ashes left by fires provide important 
post-fire nutrient cycling, which is not provided via mechanical 
removal.
    Federal (Service, NPS, FFS (Florida Forest Service)), State (FDEP, 
FWC), and County land managers (Miami-Dade RER and NAM (the Natural 
Areas Management division of Department of Parks, Recreation and Open 
Spaces), and nonprofit organizations (Institute for Regional 
Conservation (IRC), The Nature Conservancy (TNC)) implement prescribed 
fire on public and private lands within the ranges of these four 
plants. While management of some County conservation lands includes 
regular burning, other lands remain severely fire-suppressed. Even in 
areas under active management, some portions are typically fire-
suppressed.
    Miami-Dade County: Implementation of a prescribed fire program in 
Miami-Dade County has been hampered by a shortage of resources, as well 
as by logistical difficulties and public concern related to burning 
next to residential areas. Many homes have been built in a mosaic of 
pine rocklands, so the use of prescribed fire in many places has become 
complicated because of potential danger to structures and smoke 
generated from the burns. Nonprofit organizations such as IRC have 
similar difficulties in conducting prescribed burns due to difficulties 
with permitting and obtaining the necessary permissions as well as 
hazard insurance limitations (Gann 2013a, pers. comm.). Few private 
landowners have the means or desire to implement prescribed fire on 
their property, and doing so in a fragmented urban environment is 
logistically difficult and may be costly.
    All occurrences of Linum arenicola and Argythamnia blodgettii in 
Miami-Dade County are affected by some degree of inadequate fire 
management of pine rocklands and marl prairie habitat, with the primary 
threat being the modification and loss of habitat due to an increase in 
shrub and hardwood dominance, eliminating suitable conditions for the 
four plants, and eventual succession to rockland hammock.
    In Miami-Dade County, Linum arenicola occurred along the south edge 
of Bauer Drive on the northern border of a pine rockland owned by 
Miami-Dade County. The property is occupied by a communications tower, 
and is not a managed preserve. Kernan and Bradley (1996) reported eight 
plants. At the time (1992 through 1996), the road shoulder was 
dominated by native grasses. Since then, native canopy hardwoods have 
invaded the site and eliminated the sunny conditions required by L. 
arenicola. It has not been seen since, despite multiple surveys between 
1997 and 2012, and is considered to be extirpated. L. arenicola was 
discovered at Camp Owaissa Bauer by George N. Avery in 1983. Since that 
time, the pine rocklands habitat where he found the plants in the park 
suffered extremely heavy hardwood recruitment due to fire suppression. 
Despite recent hardwood control and reintroduction of fire, no plants 
have been relocated. Bradley and Gann (1999, pp. 71-72) suggested that 
the lack of fires in most forest fragments in Miami-Dade County during 
the last century may be one of the reasons why L. arenicola occurs 
primarily in disturbed areas.
    Monroe County (Florida Keys): Fire management of pine rocklands of 
the lower Florida Keys, most of which are within NKDR, is hampered by a 
shortage of resources, technical challenges, and expense of conducting 
prescribed fire in a matrix of public and private ownership. 
Residential and commercial properties are embedded within or in close 
proximity to pine rocklands habitat (Snyder et al. 2005, p. 2; C. 
Anderson 2012a, pers. comm.). As a result, hand or mechanical 
vegetation management may be necessary at select locations on Big Pine 
Key (Emmel et al. 1995, p. 11; Minno 2009, pers. comm.; Service 2010, 
pp. 1-68) to maintain or restore pine rocklands. Mechanical treatments 
may be less beneficial than fire because they do not quickly convert 
debris to nutrients, and remaining leaf litter may suppress seedling 
development; fire has also been found to stimulate seedling germination 
(C. Anderson 2010, pers. comm.). Because mechanical treatments may not 
provide the same ecological benefits as fire, NKDR continues to focus 
efforts on conducting prescribed fire where possible (C. Anderson 
2012a, pers. comm.). However, the majority of pine rocklands within 
NKDR are several years behind the ideal fire return interval (5-7 
years) suggested for this ecosystem (Synder et al. 2005, p. 2; Bradley 
and Saha 2011, pp. 1-16). Tree ring and sediment data show that pine 
rocklands in the lower Keys have burned at least every 5 years and 
sometimes up to three times per decade historically (Albritton 2009, p. 
123; Horn et al. 2013, pp. 1-67; Harley 2012, pp. 1-246). From 1985 to 
1992, prescribed burns were conducted in the NKDR mainly for fuel 
reduction. There was no prescribed burning by Service staff in the NKDR 
from 1992-1997, in part because not enough was known about the 
ecological effects of prescribed fire in this system (Snyder et al. 
1990, p. 2).
    All occurrences of Chamaecrista lineata var. keyensis, Chamaesyce 
deltoidea ssp. serpyllum, Linum arenicola, and Argythamnia blodgettii 
in the Florida Keys are affected by some degree of inadequate fire 
management of pine rocklands habitat, with the primary threat being the 
modification and loss of habitat due to an increase in shrub and 
hardwood dominance, eliminating suitable conditions for the four 
plants, and eventual succession to rockland hammock.
    Prescribed fire management over the past decade has not been 
sufficient to reverse long-term declines in Chamaecrista lineata var. 
keyensis, Chamaesyce deltoidea ssp. serpyllum, or Linum arenicola on 
Big Pine Key. Prescribed fire activity on Big Pine Key and adjacent 
islands within NKDR appears to be insufficient to prevent loss of pine 
rocklands habitat (Carlson et al. 1993, p. 914; Bergh and Wisby 1996, 
pp. 1-2; O'Brien 1998, p. 209; Bradley and Saha 2009, pp. 28-29; 
Bradley et al. 2011, pp. 1-16). As a result, many of the pine rocklands 
across NKDR are being compromised by succession to rockland hammock 
(Bradley and Saha 2009, pp. 28-29; Bradley et al. 2011, pp. 1-16).
Conservation Efforts To Reduce the Present or Threatened Destruction, 
Modification, or Curtailment of Habitat or Range
    Miami-Dade County Environmentally Endangered Lands (EEL) Covenant 
Program: In 1979, Miami-Dade County enacted the Environmentally 
Endangered Lands (EEL) Covenant Program, which reduces taxes for 
private landowners of natural forest communities (NFCs; pine rocklands 
and tropical hardwood hammocks) who agree not to develop their property 
and manage it for a period of 10 years, with the option to renew for 
additional 10-year periods (Service 1999, p. 3-177). Although these 
temporary conservation easements provide valuable protection for their 
duration, they are not considered under the discussion of Factor D, 
below, because they are voluntary agreements and not regulatory

[[Page 66852]]

in nature. Miami-Dade County currently has approximately 59 pine 
rocklands properties enrolled in this program, preserving 69.4 ha (172 
ac) of pine rocklands habitat (Johnson 2012, pers. comm.). The program 
also has approximately 21 rockland hammocks properties enrolled in this 
program, preserving 20.64 ha (51 ac) of rockland hammock habitat 
(Joyner 2013b, pers. comm.). The vast majority of these properties are 
small, and many are in need of habitat management such as prescribed 
fire and removal of nonnative, invasive plants. Thus, while EEL 
covenant lands have the potential to provide valuable habitat for these 
plants and reduce threats in the near term, the actual effect of these 
conservation lands is largely determined by whether individual 
landowners follow prescribed EEL management plans and NFC regulations 
(see ``Local'' under Factor D discussion, below).
    Fee Title Properties: In 1990, Miami-Dade County voters approved a 
2-year property tax to fund the acquisition, protection, and 
maintenance of natural areas by the EEL Program. The EEL Program 
purchases and manages natural lands for preservation. Land uses deemed 
incompatible with the protection of the natural resources are 
prohibited by current regulations; however, the County Commission 
ultimately controls what may happen with any County property, and land 
use changes may occur over time (Gil 2013b, pers. comm.). To date, the 
Miami-Dade County EEL Program has acquired a total of approximately 313 
ha (775 ac) of pine rocklands, and 95 ha (236 ac) of rockland hammocks 
(Guerra 2015, pers. comm.; Gil 2013b, pers. comm.). The EEL Program 
also manages approximately 314 ha (777 ac) of pine rocklands, and 639 
ha (1,578 ac) of tropical hardwood and rockland hammocks owned by the 
Miami-Dade County Parks, Recreation and Open Spaces Department, 
including some of the largest remaining areas of pine rocklands habitat 
on the Miami Rock Ridge outside of ENP (e.g., Larry and Penny Thompson 
Park, Zoo Miami pinelands, Navy Wells Pineland Preserve), and some of 
the largest remaining areas of tropical hardwood and rockland hammocks 
(e.g., Matheson Hammock Park, Castellow Hammock Park, Deering Estate 
Park and Preserves).
    Conservation efforts in Miami's EEL Preserves have been underway 
for many years. In Miami-Dade County, conservation lands are and have 
been monitored by Fairchild Tropical Botanic Garden (FTBG) and IRC, in 
coordination with the EEL Program, to assess habitat status and 
determine any changes that may pose a threat to or alter the abundance 
of these species. Impacts to habitat (e.g., canopy) via nonnative 
species and natural stochastic events are monitored and actively 
managed in areas where the taxon is known to occur. These programs are 
long-term and ongoing in Miami-Dade County; however, programs are 
limited by the availability of annual funding.
    Since 2005, the Service has funded IRC to facilitate restoration 
and management of privately owned pine rocklands habitats in Miami-Dade 
County. These programs included prescribed burns, nonnative plant 
control, light debris removal, hardwood management, reintroduction of 
pines where needed, and development of management plans. One of these 
programs, called the Pine Rockland Initiative, includes 10-year 
cooperative agreements between participating landowners and the 
Service/IRC to ensure restored areas will be managed appropriately 
during that time. Although most of these objectives have been achieved, 
IRC has not been able to conduct the desired prescribed burns, due to 
logistical difficulties as discussed earlier (see ``Fire Management,'' 
above).
    Connect to Protect Program: FTBG, with the support of various 
Federal, State, and local agencies and nonprofit organizations, has 
established the ``Connect to Protect Network.'' The objective of this 
program is to encourage widespread participation of citizens to create 
corridors of healthy pine rocklands by planting stepping stone gardens 
and rights-of-way with native pine rocklands species, and restoring 
isolated pine rocklands fragments. By doing this, FTBG hopes to 
increase the probability that pollination and seed dispersal vectors 
can find and transport seeds and pollen across developed areas that 
separate pine rocklands fragments to improve gene flow between 
fragmented plant populations and increase the likelihood that these 
plants will persist over the long term. Although these projects may 
serve as valuable components toward the conservation of pine rocklands 
species and habitat, they are dependent on continual funding, as well 
as participation from private landowners, both of which may vary 
through time.
    National Wildlife Refuges: The National Wildlife Refuge System 
Improvement Act of 1997 (16 U.S.C. 668dd note) and the Fish and 
Wildlife Service Manual (601 FW 3, 602 FW 3) require maintaining 
biological integrity and diversity, require comprehensive conservation 
planning for each refuge, and set standards to ensure that all uses of 
refuges are compatible with their purposes and the Refuge System's 
wildlife conservation mission. The comprehensive conservation plans 
(CCPs) address conservation of fish, wildlife, and plant resources and 
their related habitats, while providing opportunities for compatible 
wildlife-dependent recreation uses. An overriding consideration 
reflected in these plans is that fish and wildlife conservation has 
first priority in refuge management, and that public use be allowed and 
encouraged as long as it is compatible with, or does not detract from, 
the Refuge System mission and refuge purpose(s). The CCP for the Lower 
Florida Keys National Wildlife Refuges (NKDR, Key West National 
Wildlife Refuge, and Great White Heron National Wildlife Refuge) 
provides a description of the environment and priority resource issues 
that were considered in developing the objectives and strategies that 
guide management over the next 15 years. The CCP promotes the 
enhancement of wildlife populations by maintaining and enhancing a 
diversity and abundance of habitats for native plants and animals, 
especially imperiled species that are found only in the Florida Keys. 
The CCP also provides for obtaining baseline data and monitoring 
indicator species to detect changes in ecosystem diversity and 
integrity related to climate change. The CCP provides specifically for 
maintaining and expanding populations of candidate plant species, 
including Chamaecrista lineata var. keyensis, Chamaesyce deltoidea ssp. 
serpyllum, Linum arenicola, and Argythamnia blodgettii, all four of 
which are found in this refuge complex.
    Department of Defense Lands: The Sikes Act requires the DOD to 
develop and implement integrated natural resources management plans 
(INRMPs) for military installations across the United States (see also 
Factor D discussion, below). INRMPs are prepared in cooperation with 
the Service and State fish and wildlife agencies to ensure proper 
consideration of fish, wildlife, and habitat needs. The DOD has an 
approved INRMP for Key West Naval Air Station (KWNAS) on Boca Chica Key 
that includes measures that will protect and enhance Argythamnia 
blodgettii habitat, including nonnative species control (DOD 2014, p. 
69). Furthermore, DOD is currently preparing an INRMP for Homestead Air 
Reserve Base (HARB) and SOCSOUTH. A previous biological opinion 
(Service 2011, entire) required SOCSOUTH to protect and manage 7.4 ha 
(18.3 ac) of pine rocklands habitat

[[Page 66853]]

and 70,909 individuals of Linum arenicola (approximately 96 percent of 
the estimated onsite population) based on 2009 survey data. A 
conservation easement was established over the protected areas, and DOD 
has provided funds for management of the site, including fencing and 
nonnative species control.
Summary of Factor A
    We have identified a number of threats to the habitat of 
Chamaecrista lineata var. keyensis, Chamaesyce deltoidea ssp. 
serpyllum, Linum arenicola, and Argythamnia blodgettii that have 
operated in the past, are impacting these species now, and will 
continue to impact them in the future. Habitat loss, fragmentation, and 
degradation, and associated pressures from increased human population, 
are major threats; these threats are expected to continue, placing 
these plants at greater risk. All four plants may be impacted when pine 
rocklands are converted to other uses or when lack of fire causes the 
conversion to hardwood hammocks or other unsuitable habitat conditions. 
Any populations of these species found on private property could be 
destroyed by development; the limited pine rocklands, rockland hammock, 
and coastal berm habitat on public lands can also be affected by 
development of recreational facilities or infrastructure projects. 
Although efforts are being made to conserve publicly and privately 
owned natural areas and apply prescribed fire, the long-term effects of 
large-scale and wide-ranging habitat modification, destruction, and 
curtailment will last into the future, while ongoing habitat loss due 
to population growth, development, and agricultural conversion 
continues to pose a threat. Therefore, based on the best information 
available, we have determined that the threats to the four plants from 
habitat destruction, modification, or curtailment are occurring 
throughout the entire range of the species and are expected to continue 
into the future.

Factor B. Overutilization for Commercial, Recreational, Scientific, or 
Educational Purposes

    The best available data do not indicate that overutilization for 
commercial, recreational, scientific, or educational purposes is a 
threat to Chamaecrista lineata var. keyensis, Chamaesyce deltoidea ssp. 
serpyllum, Linum arenicola, or Argythamnia blodgettii. Threats to these 
plants related to other aspects of recreation and similar human 
activities (i.e., not related to overutilization) are discussed under 
Factor E, below.

Factor C. Disease or Predation

    No diseases or incidences of predation have been reported for 
Chamaesyce deltoidea ssp. serpyllum or Argythamnia blodgettii.
    Key deer are known to occasional browse plants indiscriminately, 
including Chamaecrista lineata var. keyensis and Linum arenicola. Key 
deer do not appear to feed on Argythamnia blodgettii, probably due to 
potential toxicity (Hodges and Bradley 2006, p. 19).
    Seed predation by an insect occurs in Chamaecrista lineata var. 
keyensis, and seems to be exacerbated by habitat fragmentation. 
Individuals at the urban edge suffer higher insect seed predation than 
those inside the forest (Liu and Koptur 2003, p. 1184).
    While seed predation and occasional Key deer browsing may be a 
stressor, they do not appear to rise to the level of threat at this 
time. Therefore, the best available data do not indicate that disease 
or predation is a threat to Chamaecrista lineata var. keyensis or Linum 
arenicola.

Factor D. The Inadequacy of Existing Regulatory Mechanisms

    Under this factor, we examine whether threats to these plants are 
discussed under the other factors are continuing due to an inadequacy 
of an existing regulatory mechanism. Section 4(b)(1)(A) of the Act 
requires the Service to take into account ``those efforts, if any, 
being made by any State or foreign nation, or any political subdivision 
of a State or foreign nation, to protect such species.'' In relation to 
Factor D under the Act, we interpret this language to require the 
Service to consider relevant Federal, State, and tribal laws, 
regulations, and other such mechanisms that may minimize any of the 
threats we describe in threat analyses under the other four factors, or 
otherwise enhance conservation of the species. We give strongest weight 
to statutes and their implementing regulations and to management 
direction that stems from those laws and regulations. Examples are 
State governmental actions enforced under a State statute or 
constitution, and Federal actions authorized by statute.
    Having evaluated the impact of the threats as mitigated by any such 
conservation efforts, we analyze under Factor D the extent to which 
existing regulatory mechanisms are inadequate to address the specific 
threats to the species. Regulatory mechanisms, if they exist, may 
reduce or eliminate the impacts from one or more identified threats. In 
this section, we review existing Federal, State, and local regulatory 
mechanisms to determine whether they effectively reduce or remove 
threats to Chamaecrista lineata var. keyensis, Chamaesyce deltoidea 
ssp. serpyllum, Linum arenicola, and Argythamnia blodgettii.
Federal
    As Federal candidate species, the four plants are afforded some 
protection through sections 7 and 10 of the Act and associated policies 
and guidelines. Service policy requires that candidate species be 
treated as proposed species for purposes of intra-Service consultations 
and conferences where the Service's actions may affect candidate 
species. Other Federal action agencies (e.g., NPS) are to consider the 
potential effects (e.g., prescribed fire, pesticide treatments) to 
these plants and their habitat during the consultation and conference 
process. Applicants and Federal action agencies are encouraged to 
consider candidate species when seeking incidental take for other 
listed species and when developing habitat conservation plans. However, 
candidate species do not receive the same level of protection that a 
listed species does under the Act.
    Populations of Argythamnia blodgettii within ENP are protected by 
NPS regulations at 36 CFR 2.1, which prohibit visitors from harming or 
removing plants, listed or otherwise, from ENP. However, the 
regulations do not address actions taken by NPS that cause habitat loss 
or modification.
    As discussed above under Factor A, the CCPs for the Lower Florida 
Keys National Wildlife Refuge and the Crocodile Lake National Wildlife 
Refuge provide for Chamaecrista lineata var. keyensis, Chamaesyce 
deltoidea ssp. serpyllum, Linum arenicola, and Argythamnia blodgettii. 
Linum arenicola occurs on DOD lands at HARB and SOCSOUTH. L. arenicola 
and A. blodgettii may occur on Federal lands within the Richmond Pine 
rocklands, including lands owned by the U.S. Coast Guard.
    As discussed under Factor A, above, the DOD has an approved INRMP 
for KWNAS on Boca Chica Key that includes measures that will protect 
and enhance Argythamnia blodgettii habitat, including nonnative species 
control (DOD 2014, p. 69). Furthermore, as also discussed above, DOD is 
currently preparing an INRMP for HARB and SOCSOUTH, and a 2011 Service 
biological opinion requires SOCSOUTH to protect and manage 7.4 ha (18.3 
ac)

[[Page 66854]]

of pine rocklands habitat and 70,909 individuals of Linum arenicola.
    However, certain populations of the four plants occur on State- or 
county-owned properties, and development of these areas will likely 
require no Federal permit or other authorization. Therefore, projects 
that affect the plants on State- and county-owned lands do not have 
Federal oversight, such as complying with the National Environmental 
Policy Act (NEPA; 42 U.S.C. 4321 et seq.), unless the project has a 
Federal nexus (Federal funding, permits, or other authorizations). 
Therefore, the four plants have no direct Federal regulatory protection 
in these areas.
State
    Chamaecrista lineata var. keyensis, Chamaesyce deltoidea ssp. 
serpyllum, Linum arenicola, and Argythamnia blodgettii are listed on 
the Regulated Plant Index (Index) as endangered under chapter 5B-40, 
Florida Administrative Code. This listing provides little or no habitat 
protection beyond the State's development of a regional impact process, 
which discloses impacts from projects, but provides only limited 
regulatory protection for State-listed plants on private lands.
    Florida Statutes 581.185 sections (3)(a) and (3)(b) prohibit any 
person from willfully destroying or harvesting any species listed as 
endangered or threatened on the Index, or growing such a plant on the 
private land of another, or on any public land, without first obtaining 
the written permission of the landowner and a permit from the Florida 
Department of Plant Industry. The statute further provides that any 
person willfully destroying or harvesting; transporting, carrying, or 
conveying on any public road or highway; or selling or offering for 
sale any plant listed in the Index as endangered must have a permit 
from the State at all times when engaged in any such activities. 
Further, Florida Statutes 581.185 section (10) provides for 
consultation similar to section 7 of the Act for listed species, by 
requiring the Department of Transportation to notify the Florida 
Department of Agriculture and Consumer Services and the Endangered 
Plant Advisory Council of planned highway construction at the time bids 
are first advertised, to facilitate evaluation of the project for 
listed plant populations, and to provide ``for the appropriate disposal 
of such plants'' (i.e., transplanting).
    However, this statute provides no substantive protection of habitat 
or protection of potentially suitable habitat at this time. Florida 
Statutes 581.185 section (8) waives State regulation for certain 
classes of activities for all species on the Index, including the 
clearing or removal of regulated plants for agricultural, forestry, 
mining, construction (residential, commercial, or infrastructure), and 
fire-control activities by a private landowner or his or her agent.
Local
    In 1984, section 24-49 of the Code of Miami-Dade County established 
regulation of County-designated NFCs. These regulations were placed on 
specific properties throughout the County by an act of the Board of 
County Commissioners in an effort to protect environmentally sensitive 
forest lands. The Miami-Dade County RER has regulatory authority over 
these County-designated NFCs and is charged with enforcing regulations 
that provide partial protection of remaining upland forested areas 
designated as NFC on the Miami Rock Ridge. NFC regulations are designed 
to prevent clearing or destruction of native vegetation within 
preserved areas. Miami-Dade County Code typically allows up to 20 
percent of pine rocklands designated as NFC to be developed, and 
requires that the remaining 80 percent be placed under a perpetual 
covenant. The code requires that no more than 10 percent of a rockland 
hammock designated as NFC may be developed for properties greater than 
5 acres and that the remaining 90 percent be placed under a perpetual 
covenant for preservation purposes (Joyner 2013a, 2014, pers. comm.; 
Lima 2014, pers. comm.). However, for properties less than 5 acres, up 
to one-half an acre may be cleared if the request is deemed a 
reasonable use of property; this allowance often may be greater than 20 
percent (for pine rocklands) or 10 percent (for rockland hammock) of 
the property (Lima 2014, pers. comm.). NFC landowners are also required 
to obtain an NFC permit for any work, including removal of nonnatives 
within the boundaries of the NFC on their property. When RER discovers 
unpermitted work, it takes appropriate enforcement action and seeks 
restoration when possible. The NFC program is responsible for ensuring 
that NFC permits are issued in accordance with the limitations and 
requirements of the county code and that appropriate NFC preserves are 
established and maintained in conjunction with the issuance of an NFC 
permit when development occurs. The NFC program currently regulates 
approximately 600 pine rocklands or pine rocklands/hammock properties, 
comprising approximately 1,200 ha (3,000 ac) of habitat (Joyner 2013, 
pers. comm.).
    Although the NFC program is designed to protect rare and important 
upland (non-wetlands) habitats in south Florida, the strategy has 
limitations. For example, in certain circumstances where landowners can 
demonstrate that limiting development to 20 percent (for pine 
rocklands) or 10 percent (for rockland hammock) does not allow for 
``reasonable use'' of the property, additional development may be 
approved. Furthermore, Miami-Dade County Code provides for up to 100 
percent of the NFC to be developed in limited circumstances for parcels 
less than 2.02 ha (5 ac) in size and only requires coordination with 
landowners if they plan to develop property or perform work within the 
NFC-designated area. Therefore, many of the existing private forested 
NFC parcels remain fragmented, without management obligations or 
preserve designation, as development has not been proposed at a level 
that would trigger the NFC regulatory requirements. Often, nonnative 
vegetation over time begins to dominate and degrade the undeveloped and 
unmanaged NFC landscape until it no longer meets the legal threshold of 
an NFC, which applies only to land dominated by native vegetation. When 
development of such degraded NFCs is proposed, Miami-Dade County Code 
requires delisting of the degraded areas as part of the development 
process. Property previously designated as NFC is removed from the list 
even before development is initiated because of the abundance of 
nonnative species, making it no longer considered to be jurisdictional 
or subject to the NFC protection requirements of Miami-Dade County Code 
(Grossenbacher 2013, pers. comm.).
Summary of Factor D
    Currently, Chamaecrista lineata var. keyensis, Chamaesyce deltoidea 
ssp. serpyllum, Linum arenicola, and Argythamnia blodgettii are found 
on Federal, State, and county lands; however, there is no regulatory 
mechanism in place that provides substantive protection of habitat or 
protection of potentially suitable habitat at this time. NPS and 
Service Refuge regulations provide protection at ENP and the Florida 
Keys Wildlife Refuge Complex, respectively. The Act provides some 
protection for candidate species on National Wildlife Refuges and 
during intra-Service section 7 consultations. State regulations provide 
protection against trade, but allow private landowners or their agents 
to

[[Page 66855]]

clear or remove species on the Florida Regulated Plant Index. State 
Park regulations provide protection for plants within Florida State 
Parks. The NFC program in Miami is designed to protect rare and 
important upland (non-wetlands) habitats in south Florida; however, 
this regulatory strategy has several limitations (as described above) 
that reduce its ability to protect the four plants and their habitats.
    Although many populations of the four plants are afforded some 
level of protection because they are on public conservation lands, 
existing regulatory mechanisms have not led to a reduction or removal 
of threats posed to these plants by a wide array of sources (see 
discussions under Factor A, above, and Factor E, below).

Factor E. Other Natural or Manmade Factors Affecting Its Continued 
Existence

    Other natural or manmade factors affect Chamaecrista lineata var. 
keyensis, Chamaesyce deltoidea ssp. serpyllum, Linum arenicola, and 
Argythamnia blodgettii to varying degrees. Specific threats to these 
plants included in this factor consist of the spread of nonnative, 
invasive plants; potentially incompatible management practices (such as 
mowing and herbicide use); small population size and isolation; effects 
of pesticide spraying on pollinators; climate change and sea level rise 
(SLR); and risks from environmental stochasticity (extreme weather) on 
these small populations. Each of these threats and its specific effect 
on these plants is discussed in detail below.
Nonnative Plant Species
    Nonnative, invasive plants compete with native plants for space, 
light, water, and nutrients, and make habitat conditions unsuitable for 
Chamaecrista lineata var. keyensis, Chamaesyce deltoidea ssp. 
serpyllum, Linum arenicola, and Argythamnia blodgettii, which prefer 
open conditions. Bradley and Gann (1999, pp. 13, 71-72) indicated that 
the control of nonnative plants is one of the most important 
conservation actions for these plants and a critical part of habitat 
maintenance.
    Nonnative plants have significantly affected pine rocklands, and 
threaten all occurrences of these four species to some degree (Bradley 
2006, pp. 25-26; Bradley and Gann 1999, pp. 18-19; Bradley and Saha 
2009, p. 25; Bradley and van der Heiden 2013, pp. 12-16). As a result 
of human activities, at least 277 taxa of nonnative plants have invaded 
pine rocklands throughout south Florida (Service 1999, p. 3-175). 
Neyraudia neyraudia (Burma reed) and Schinus terebinthifolius 
(Brazilian pepper) threaten all four species (Bradley and Gann 1999, 
pp. 13, 72). S. terebinthifolius, a nonnative tree, is the most 
widespread and one of the most invasive species. It forms dense 
thickets of tangled, woody stems that completely shade out and displace 
native vegetation (Loflin 1991, p. 19; Langeland and Craddock Burks 
1998, p. 54). Acacia auriculiformis (earleaf acacia), Rhynchelytrum 
repens (natal grass), Lantana camara (shrub verbena), and Albizia 
lebbeck (tongue tree) are some of the other nonnative species in pine 
rocklands. More species of nonnative plants could become problems in 
the future, such as Lygodium microphyllum (Old World climbing fern), 
which is a serious threat throughout south Florida. Nonnative plants in 
pine rocklands can also affect the characteristics of a fire when it 
does occur. Historically, pine rocklands had an open, low understory 
where natural fires remained patchy with low temperature intensity, 
thus sparing many native plants such as Chamaecrista lineata var. 
keyensis, Chamaesyce deltoidea ssp. serpyllum, Linum arenicola, and 
Argythamnia blodgettii. Dense infestations of Neyraudia neyraudia and 
Schinus terebinthifolius cause higher fire temperatures and longer 
burning periods. With the presence of invasive, nonnative species, it 
is uncertain how fire, even under a managed situation, will affect 
these plants.
    At least 162 nonnative plant species are known to invade rockland 
hammocks; impacts are particularly severe on the Miami Rock Ridge 
(Service 1999, pp. 3-135). Nonnative plant species have significantly 
affected rockland hammocks where Argythamnia blodgettii occurs and are 
considered one of the threats to the species (Snyder et al. 1990, p. 
273; Hodges and Bradley 2006, p. 14). In many Miami-Dade County parks, 
nonnative plant species comprise 50 percent of the flora in hammock 
fragments (Service 1999, pp. 3-135). Horvitz (et al. 1998, p. 968) 
suggests the displacement of native species by nonnative species in 
conservation and preserve areas is a complex problem with serious 
impacts to biodiversity conservation, as management in these areas 
generally does not protect native species and ecological processes, as 
intended. Problematic nonnative, invasive plants associated with 
rockland hammocks include Leucaena leucocephala (lead tree), Schinus 
terebinthifolius, Bischofia javanica (bishop wood), Syngonium 
podophyllum (American evergreen), Jasminum fluminense (Brazilian 
jasmine), Rubus niveus (mysore raspberry), Nephrolepis brownii (Asian 
swordfern), Schefflera actinophylla (octopus tree), Jasminum dichotomum 
(Gold Coast jasmine), Epipremnum pinnatum (centipede tongavine), and 
Nephrolepis cordifolia (narrow swordfern) (Possley 2013h-i, pers. 
comm.).
    Management of nonnative, invasive plants in pine rocklands and 
rockland hammocks in Miami-Dade County is further complicated because 
the vast majority of pine rocklands and rockland hammocks are small, 
fragmented areas bordered by urban development. In the Florida Keys, 
larger fragments are interspersed with development. Developed or 
unmanaged areas that contain nonnative species can act as a seed source 
for nonnatives, allowing them to continue to invade managed pine 
rocklands or rockland hammocks (Bradley and Gann 1999, p. 13).
    Nonnative plant species are also a concern on private lands, where 
often these species are not controlled due to associated costs, lack of 
interest, or lack of knowledge of detrimental impacts to the ecosystem. 
Undiscovered populations of the four plants on private lands could 
certainly be at risk. Overall, active management is necessary to 
control for nonnative species and to protect unique and rare habitats 
where the four plants occur (Snyder et al. 1990, p. 273).
Management of Roadsides and Disturbed Areas
    All four plants occur in disturbed areas such as roadsides and 
areas that formerly were pine rocklands. Linum arenicola is 
particularly vulnerable to management practices in these areas because 
nearly all populations of the species are currently found on disturbed 
sites. The large L. arenicola population at HARB and SOCSOUTH is 
located largely in areas that are regularly mowed. Similarly, the small 
population of L. arenicola at the Everglades Archery Range, which is 
owned by Miami-Dade County and managed as a part of Camp Owaissa Bauer, 
is growing along the edges of the unimproved perimeter road that is 
regularly mowed. Finally, the two populations of L. arenicola on canal 
banks are subject to mowing, herbicide treatments, and revegetation 
efforts (sodding) (Bradley and van der Heiden 2013, pp. 8-10). The 
population of Argythamnia blodgettii at Lignumvitae Key Botanical State 
Park grows around the perimeter of the large lawn around the residence. 
Maintenance activities

[[Page 66856]]

and encroachment of exotic lawn grasses are potential threats to this 
population (Hodges and Bradley 2006, p. 14). At Windley Key State Park, 
A. blodgettii grows in two quarry bottoms. In the first, larger quarry, 
to the east of the visitor center, plants apparently persist only in 
natural areas not being mowed. However, the majority of the plants are 
in the farthest quarry, which is not mowed (Hodges and Bradley 2006, p. 
15).
    While no studies have investigated the effect of mowing on the four 
plants, research has been conducted on the federally endangered Linum 
carteri var. carteri (Carter's small-flowered flax, a close relative of 
Linum arenicola that also occurs in pine rocklands and disturbed 
sites). The study found significantly higher densities of plants at the 
mown sites where competition with other plants is decreased (Maschinski 
and Walters 2007, p. 56). However, plants growing on mown sites were 
shorter, which may affect fruiting magnitude. While mowing did not 
usually kill adult plants, if mowing occurred prior to plants reaching 
reproductive status, it could delay reproduction (Maschinski and 
Walters 2007, pp. 56-57). If such mowing occurs repeatedly, 
reproduction of those plants would be entirely eliminated. If, instead, 
mowing occurs at least 3 weeks after flowering, there would be a higher 
probability of adults setting fruit prior to mowing; mowing may then 
act as a positive disturbance by both scattering seeds and reducing 
competition (Maschinski and Walters 2007, p. 57). The exact impacts of 
mowing thus depend on the timing of the mowing event, rainfall prior to 
and following mowing, and the numbers of plants in the population that 
have reached a reproductive state.
    Herbicide applications, the installation of sod, and dumping may 
affect populations of the four plants that occur on roadsides, canals 
banks, and other disturbed sites. Signs of herbicide application were 
noted at the site of the Big Torch Key roadside population of Linum 
arenicola in 2010 (Hodges 2010, p. 2). At the L-31 E canal site, plants 
of L. arenicola were lost on the levee close to Card Sound Road due to 
the installation of Bahia grass (Paspalum conjugatum) sod in recent 
years, an activity associated with the installation of new culverts. If 
similar projects are planned, other erosion control measures should be 
investigated that do not pose a threat to L. arenicola (Bradley and Van 
Der Heiden 2013, p. 10). Illegal dumping of storm-generated trash after 
Hurricane Wilma had a large impact on roadside populations of plants in 
the lower Florida Keys (Hodges and Bradley 2006, pp. 11-12, 19, 39).
    All populations of the four plants that occur on disturbed sites 
are vulnerable to regular maintenance activities such as mowing and 
herbicide applications, and dumping. This includes portions of all 
populations of Chamaecrista lineata var. keyensis and Chamaesyce 
deltoidea ssp. serpyllum, 10 of 12 Linum arenicola populations, and 5 
of 34 Argythamnia blodgettii populations. All roadside populations are 
also vulnerable to infrastructure projects such as road widening and 
installation of underground cable, sewer, and water lines.
Pesticide Effects on Pollinators
    Another potential anthropogenic threat to the four plants is 
current application of insecticides throughout these plants' ranges to 
control mosquito populations. Currently, an aerial insecticide (1,2-
dibromo-2,2-dichloroethyl dimethyl phosphate) and ground insecticide 
(Permethrin) are applied during the May through November timeframe in 
many parts of south Florida. Nontarget effects of mosquito control may 
include the loss of pollinating insects upon which certain plants 
depend.
    Koptur and Liu (2003, p. 1184) reported a decrease in Chamaecrista 
lineata var. keyensis pollinator activity following mosquito spraying 
on Big Pine Key. Mosquito spraying remains a factor on Big Pine Key, 
and its suppression of pollinator populations may have a long-term 
impact on reproduction rates. Extensive studies in the Florida Keys 
suggest that broad spectrum insecticides negatively affect nontarget 
invertebrates, including pollinators (Hennessey 1991; Eliazar and Emmel 
1991; Kevan et al. 1997; Salvato 2001; Bargar 2011; Hoang et al. 2011). 
In addition, pesticides have been shown to drift into adjacent 
undisturbed habitat that serves as a refuge for native biota (Hennessey 
1992; Pierce et al. 2005; Zhong et al. 2010; Bargar 2011). These 
pesticides can be fatal to nontarget invertebrates that move between 
urban and forest habitats, altering ecological processes within forest 
communities (Kevan and Plowright 1989, 1995; Liu and Koptur 2003).
    Pesticide spraying practices by the Monroe County Mosquito Control 
District within NKDR have changed to reduce pesticide use and limit 
insecticide drift into pine rocklands habitat as a result of agreements 
between the Service and Florida Keys Mosquito Control District (FKMCD) 
after critical habitat was designated in 2014 for the Florida leafwing 
(Anaea troglodyta floridalis) and Bartram's scrub-hairstreak (Strymon 
acis bartrami) butterflies (79 FR 47180; August 12, 2014). This 
designation includes all pine rockland within NKDR where its sole 
larval host, Croton linearis, can potentially occur.
    Since 2003, expanded larvicide treatments to surrounding islands 
have significantly reduced adulticide use on Big Pine Key, No Name Key, 
and the Torch Keys. In addition, the number of aerially applied Naled 
treatments allowed on NKDR has been limited since 2008 (Florida Key 
Mosquito Control District 2012, pp. 10-11). Designated ``No spray 
zones'' that include the core habitat used by pine rockland butterflies 
and several linear miles of pine rocklands habitat within the Refuge-
neighborhood interface are now excluded from truck spray applications 
(Anderson 2012, pers. comm.; Service 2012, p. 32). These exclusions and 
buffer zones encompass over 95 percent of extant croton distribution on 
Big Pine Key, and include the majority of known recent and historical 
Florida leafwing population centers on the island (Salvato 2012, pers. 
comm.). The area largely coincides with the range of these four plants 
in the lower Florida Keys. Therefore, the effects of mosquito control 
pesticide application on the pollinators of the four plants have been 
minimized at NKDR.
    In summary, critical habitat regulations for Bartram's scrub-
hairstreak butterfly and Florida leafwing have extended benefits to 
populations of these four plants and their pollinator guild by limiting 
mosquito insecticide activity in pine rocklands habitat in the Florida 
Keys. Nevertheless, we are proceeding cautiously and have initiated a 
multi-year research project to further investigate the level of impact 
pesticides have on these four plants and their pollinators throughout 
their ranges.
Environmental Stochasticity
    Endemic species whose populations exhibit a high degree of 
isolation and narrow geographic distribution, such as Chamaecrista 
lineata var. keyensis, Chamaesyce deltoidea ssp. serpyllum, Linum 
arenicola, and Argythamnia blodgettii, are extremely susceptible to 
extinction from both random and nonrandom catastrophic natural or 
human-caused events. Of the four species, Argythamnia blodgettii is 
probably less vulnerable because of the larger number of sites where it 
occurs throughout Miami-Dade and Monroe Counties. Small populations of 
species,

[[Page 66857]]

without positive growth rates, are considered to have a high extinction 
risk from site-specific demographic and environmental stochasticity 
(Lande 1993, pp. 911-927).
    The climate of south Florida is driven by a combination of local, 
regional, and global weather events and oscillations. There are three 
main ``seasons'': (1) The wet season, which is hot, rainy, and humid 
from June through October; (2) the official hurricane season that 
extends one month beyond the wet season (June 1 through November 30), 
with peak season being August and September; and (3) the dry season, 
which is drier and cooler, from November through May. In the dry 
season, periodic surges of cool and dry continental air masses 
influence the weather with short-duration rain events followed by long 
periods of dry weather.
    Florida is considered the most vulnerable State in the United 
States to hurricanes and tropical storms (Florida Climate Center, 
http://coaps.fsu.edu/climate_center). Based on data gathered from 1856 
to 2008, Klotzbach and Gray (2009, p. 28) calculated the climatological 
probabilities for each State being impacted by a hurricane or major 
hurricane in all years over the 152-year timespan. Of the coastal 
States analyzed, Florida had the highest climatological probabilities, 
with a 51 percent probability of a hurricane (Category 1 or 2) and a 21 
percent probability of a major hurricane (Category 3 or higher). From 
1856 to 2008, Florida experienced 109 hurricanes, 36 of which were 
considered major hurricanes. Given the few isolated populations and 
restricted range of the four plants in locations prone to storm 
influences (i.e., Miami-Dade and Monroe Counties), they are at 
substantial risk from hurricanes, storm surges, and other extreme 
weather events.
    Hurricanes, storm surge, and extreme high tide events are natural 
events that can pose a threat to the four plants. Hurricanes and 
tropical storms can modify habitat (e.g., through storm surge) and have 
the potential to destroy entire populations. Climate change may lead to 
increased frequency and duration of severe storms (Golladay et al. 
2004, p. 504; McLaughlin et al. 2002, p. 6074; Cook et al. 2004, p. 
1015). The four plants experienced these disturbances historically, but 
had the benefit of more abundant and contiguous habitat to buffer them 
from extirpations. With most of the historical habitat having been 
destroyed or modified, the few remaining populations of these plants 
could face local extirpations due to stochastic events.
    The Florida Keys were impacted by three hurricanes in 2005: Katrina 
on August 26, Rita on September 20, and Wilma on October 24. Hurricane 
Wilma had the largest impact, with storm surges flooding much of the 
landmass of the Keys. In some places, this water impounded and sat for 
days. The vegetation in many areas was top-killed due to salt water 
inundation (Hodges and Bradley 2006, p. 9). Flooding kills plants that 
do not have adaptations to tolerate anoxic soil conditions that persist 
after flooding; the flooding and resulting high salinities might also 
impact soil seed banks of the four plants (Bradley and Saha 2009, pp. 
27-28). After hurricane Wilma, the herb layer in pine rocklands in 
close proximity to the coast was brown with few plants having live 
material above ground (Bradley 2006, p. 11). Subsequent surveys found 
no Linum arenicola and little Chamaecrista lineata var. keyensis or 
Chamaesyce deltoidea ssp. serpyllum in areas where they previously 
occurred. Not only did the storm surge kill the vegetation, but many of 
the roadside areas were heavily disturbed by dumping and removal of 
storm debris (Bradley 2006, p. 37). Estimates of the population sizes 
pre- and post-Wilma were calculated for Chamaesyce deltoidea ssp. 
serpyllum and Chamaecrista lineata var. keyensis. Each declined in the 
months following the storm, by 41.2 percent and 48.0 percent, 
respectively (Bradley and Saha 2009, p. 2). L. arenicola was not found 
at all in surveys 8 to 9 weeks after the hurricane (Bradley 2006, p. 
36). The Middle Torch Key population was extirpated after Hurricane 
Wilma, and the population on Big Torch Key declined drastically, with 
only one individual located. Both of these areas were heavily affected 
by storm surges during Hurricane Wilma (Hodges 2010, p. 2). As of 2013, 
populations of Chamaecrista lineata var. keyensis, Chamaesyce deltoidea 
ssp. serpyllum, and L. arenicola in the Florida Keys have not returned 
to pre-Hurricane Wilma levels (Bradley et al. 2015, pp. 21, 25, 29).
    Some climate change models predict increased frequency and duration 
of severe storms, including hurricanes and tropical storms (McLaughlin 
et al. 2002, p. 6074; Cook et al. 2004, p. 1015; Golladay et al. 2004, 
p. 504). Other models predict hurricane and tropical storm frequencies 
in the Atlantic are expected to decrease between 10 and 30 percent by 
2100 (Knutson et al. 2008, pp. 1-21). For those models that predict 
fewer hurricanes, predictions of hurricane wind speeds are expected to 
increase by 5 to 10 percent due to an increase in available energy for 
intense storms. Increases in hurricane winds can elevate the chances of 
damage to existing canopy and increase storm surge heights.
    All populations of the four plants are vulnerable to hurricane wind 
damage. Populations close to the coast and all populations of the four 
plants in the Florida Keys are vulnerable to inundation by storm surge. 
Historically, the four plant species may have benefitted from more 
abundant and contiguous habitat to buffer them from storm events. The 
small size of many populations of these plants makes them especially 
vulnerable, in which the loss of even a few individuals could reduce 
the viability of a single population. The destruction and modification 
of native habitat, combined with small population size, has likely 
contributed over time to the stress, decline, and, in some instances, 
extirpation of populations or local occurrences due to stochastic 
events.
    Due to the small size of some existing populations of Chamaecrista 
lineata var. keyensis, Linum arenicola, and Argythamnia blodgettii (see 
below) and the narrow geographic range of all four plant species, their 
overall resilience to these factors is likely low. These factors, 
combined with additional stress from habitat loss and modification 
(e.g., inadequate fire management) may increase the inherent risk of 
stochastic events that impact these plants. For these reasons, all four 
plants are at risk of extirpation during extreme stochastic events. Of 
the four species, Argythamnia blodgettii is probably less vulnerable 
because of the larger number of sites where it occurs throughout Miami-
Dade and Monroe Counties.
Small Population Size and Isolation
    Endemic species whose populations exhibit a high degree of 
isolation are extremely susceptible to extinction from both random and 
nonrandom catastrophic natural or human-caused events. Species that are 
restricted to geographically limited areas are inherently more 
vulnerable to extinction than widespread species because of the 
increased risk of genetic bottlenecks, random demographic fluctuations, 
climate change, and localized catastrophes such as hurricanes and 
disease outbreaks (Mangel and Tier 1994, p. 607; Pimm et al. 1998, p. 
757). These problems are further magnified when populations are few and 
restricted to a very small geographic area, and when the number of 
individuals is very small. Populations with these

[[Page 66858]]

characteristics face an increased likelihood of stochastic extinction 
due to changes in demography, the environment, genetics, or other 
factors (Gilpin and Soule 1986, pp. 24-34). Small, isolated populations 
often exhibit reduced levels of genetic variability, which diminishes 
the species' capacity to adapt and respond to environmental changes, 
thereby decreasing the probability of long-term persistence (e.g., 
Barrett and Kohn 1991, p. 4; Newman and Pilson 1997, p. 361). Very 
small plant populations may experience reduced reproductive vigor due 
to ineffective pollination or inbreeding depression. Isolated 
individuals have difficulty achieving natural pollen exchange, which 
limits the production of viable seed. The problems associated with 
small population size and vulnerability to random demographic 
fluctuations or natural catastrophes are further magnified by 
synergistic interactions with other threats, such as those discussed 
above (see Factors A and C).
    Chamaecrista lineata var. keyensis and Chamaesyce deltoidea ssp. 
serpyllum both have large populations on Big Pine Key. The other extant 
occurrence of Chamaecrista lineata var. keyensis in the Florida Keys, 
on Cudjoe Key, is small. Five out of 12 extant Linum arenicola 
populations, and 20 of 34 Argythamnia blodgettii populations, have 
fewer than 100 individuals. These small populations are at risk of 
adverse effects from reduced genetic variation, an increased risk of 
inbreeding depression, and reduced reproductive output. Many of these 
populations are small and isolated from each other, decreasing the 
likelihood that they could be naturally reestablished in the event that 
extinction from one location would occur. Argythamnia blodgettii is the 
only one of the four plants species that occurs in ENP, where a 
population of over 2,000 plants is stable and prescribed fire and other 
management activities that benefit A. blodgettii are conducted on a 
regular basis.
Climate Change and Sea Level Rise
    Climatic changes, including sea level rise (SLR), are occurring in 
the State of Florida and are impacting associated plants, animals, and 
habitats. Our analyses under the Act include consideration of ongoing 
and projected changes in climate. The term ``climate,'' as defined by 
the Intergovernmental Panel on Climate Change (IPCC), refers to the 
mean and variability of different types of weather conditions over 
time, with 30 years being a typical period for such measurements, 
although shorter or longer periods also may be used (IPCC 2013, p. 
1450). The term ``climate change'' thus refers to a change in the mean 
or variability of one or more measures of climate (e.g., temperature or 
precipitation) that persists for an extended period, typically decades 
or longer, whether the change is due to natural variability, human 
activity, or both (IPCC 2013, p. 1450). A recent compilation of climate 
change and its effects is available from IPCC reports (IPCC 2013, 
entire).
    Scientific measurements spanning several decades demonstrate that 
changes in climate are occurring, and that the rate of change has been 
faster since the 1950s. Examples include warming of the global climate 
system, and substantial increases in precipitation in some regions of 
the world and decreases in other regions. (For these and other 
examples, see IPCC 2007a, p. 30; Solomon et al. 2007, pp. 35-54, 82-
85). Results of scientific analyses presented by the IPCC show that 
most of the observed increase in global average temperature since the 
mid-20th century cannot be explained by natural variability in climate, 
and is ``very likely'' (defined by the IPCC as 90 percent or higher 
probability) due to the observed increase in greenhouse gas (GHG) 
concentrations in the atmosphere as a result of human activities, 
particularly carbon dioxide emissions from use of fossil fuels (IPCC 
2007a, pp. 5-6 and figures SPM.3 and SPM.4; Solomon et al. 2007, pp. 
21-35). Further confirmation of the role of GHGs comes from analyses by 
Huber and Knutti (2011, p. 4), who concluded it is extremely likely 
that approximately 75 percent of global warming since 1950 has been 
caused by human activities.
    Scientists use a variety of climate models, which include 
consideration of natural processes and variability, as well as various 
scenarios of potential levels and timing of GHG emissions, to evaluate 
the causes of changes already observed and to project future changes in 
temperature and other climate conditions (e.g., Meehl et al. 2007, 
entire; Ganguly et al. 2009, pp. 11555, 15558; Prinn et al. 2011, pp. 
527, 529). All combinations of models and emissions scenarios yield 
very similar projections of increases in the most common measure of 
climate change, average global surface temperature (commonly known as 
global warming), until about 2030. Although projections of the 
magnitude and rate of warming differ after about 2030, the overall 
trajectory of all the projections is one of increased global warming 
through the end of this century, even for the projections based on 
scenarios that assume that GHG emissions will stabilize or decline. 
Thus, there is strong scientific support for projections that warming 
will continue through the 21st century, and that the magnitude and rate 
of change will be influenced substantially by the extent of GHG 
emissions (IPCC 2007a, pp. 44-45; Meehl et al. 2007, pp. 760-764, 797-
811; Ganguly et al. 2009, pp. 15555-15558; Prinn et al. 2011, pp. 527, 
529). (See IPCC 2007b, p. 8, for a summary of other global projections 
of climate-related changes, such as frequency of heat waves and changes 
in precipitation. Also see IPCC 2011 (entire) for a summary of 
observations and projections of extreme climate events.)
    Various changes in climate may have direct or indirect effects on 
species. These effects may be positive, neutral, or negative, and they 
may change over time, depending on the species and other relevant 
considerations, such as interactions of climate with other variables 
(e.g., habitat fragmentation) (IPCC 2007, pp. 8-14, 18-19). Identifying 
likely effects often involves aspects of climate change vulnerability 
analysis. Vulnerability refers to the degree to which a species (or 
system) is susceptible to, and unable to cope with, adverse effects of 
climate change, including climate variability and extremes. 
Vulnerability is a function of the type, magnitude, and rate of climate 
change and variation to which a species is exposed, its sensitivity, 
and its adaptive capacity (IPCC 2007a, p. 89; see also Glick et al. 
2011, pp. 19-22). There is no single method for conducting such 
analyses that applies to all situations (Glick et al. 2011, p. 3). We 
use our expert judgment and appropriate analytical approaches to weigh 
relevant information, including uncertainty, in our consideration of 
various aspects of climate change.
    As is the case with all stressors that we assess, even if we 
conclude that a species is currently affected or is likely to be 
affected in a negative way by one or more climate-related impacts, it 
does not necessarily follow that the species meets the definition of an 
``endangered species'' or a ``threatened species'' under the Act. If a 
species is listed as endangered or threatened, knowledge regarding the 
vulnerability of the species to, and known or anticipated impacts from, 
climate-associated changes in environmental conditions can be used to 
help devise appropriate strategies for its recovery.
    Global climate projections are informative, and, in some cases, the 
only or the best scientific information available for us to use. 
However, projected changes in climate and related

[[Page 66859]]

impacts can vary substantially across and within different regions of 
the world (e.g., IPCC 2007a, pp. 8-12). Therefore, we use 
``downscaled'' projections when they are available and have been 
developed through appropriate scientific procedures, because such 
projections provide higher resolution information that is more relevant 
to spatial scales used for analyses of a given species (see Glick et 
al. 2011, pp. 58-61, for a discussion of downscaling).
    With regard to our analysis for Chamaecrista lineata var. keyensis, 
Chamaesyce deltoidea ssp. serpyllum, Linum arenicola, and Argythamnia 
blodgettii, downscaled projections suggest that SLR is the largest 
climate-driven challenge to low-lying coastal areas in the subtropical 
ecoregion of southern Florida (U.S. Climate Change Science Program 
(USCCSP) 2008, pp. 5-31, 5-32). All populations of the four plants 
occur at elevations from 2.83-4.14 meters (m) (9.29-13.57 feet (ft)) 
above sea level, making these plants highly susceptible to increased 
storm surges and related impacts associated with SLR.
    We acknowledge that the drivers of SLR (especially contributions of 
melting glaciers) are not completely understood, and there is 
uncertainty with regard to the rate and amount of SLR. This uncertainty 
increases as projections are made further into the future. For this 
reason, we examine threats to the species within the range of 
projections found in recent climate change literature.
    The long-term record at Key West shows that sea level rose on 
average 0.229 cm (0.090 in) annually between 1913 and 2013 (National 
Oceanographic and Atmospheric Administration (NOAA) 2013, p. 1). This 
equates to approximately 22.9 cm (9.02 in) over the last 100 years. 
IPCC (2008, p. 28) emphasized it is very likely that the average rate 
of SLR during the 21st century will exceed the historical rate. The 
IPCC Special Report on Emission Scenarios (2000, entire) presented a 
range of scenarios based on the computed amount of change in the 
climate system due to various potential amounts of anthropogenic 
greenhouse gases and aerosols in 2100. Each scenario describes a future 
world with varying levels of atmospheric pollution leading to 
corresponding levels of global warming and corresponding levels of SLR. 
The IPCC Synthesis Report (2007, entire) provided an integrated view of 
climate change and presented updated projections of future climate 
change and related impacts under different scenarios.
    Subsequent to the 2007 IPCC Report, the scientific community has 
continued to model SLR. Recent peer-reviewed publications indicate a 
movement toward increased acceleration of SLR. Observed SLR rates are 
already trending along the higher end of the 2007 IPCC estimates, and 
it is now widely held that SLR will exceed the levels projected by the 
IPCC (Rahmstorf et al. 2012, p. 1; Grinsted et al. 2010, p. 470). Taken 
together, these studies support the use of higher end estimates now 
prevalent in the scientific literature. Recent studies have estimated 
global mean SLR of 1.0-2.0 m (3.3-6.6 ft) by 2100 as follows: 0.75-1.90 
m (2.50-6.20 ft; Vermeer and Rahmstorf 2009, p. 21530); 0.8-2.0 m (2.6-
6.6 ft; Pfeffer et al. 2008, p. 1342); 0.9-1.3 m (3.0-4.3 ft; Grinsted 
et al. 2010, pp. 469-470); 0.6-1.6 m (2.0-5.2 ft; Jevrejeva et al. 
2010, p. 4); and 0.5-1.4 m (1.6-4.6 ft; National Research Council 2012, 
p. 2).
    Other processes expected to be affected by projected warming 
include temperatures, rainfall (amount, seasonal timing, and 
distribution), and storms (frequency and intensity) (see 
``Environmental Stochasticity'', above). Models where sea surface 
temperatures are increasing also show a higher probability of more 
intense storms (Maschinski et al. 2011, p. 148). The Massachusetts 
Institute of Technology (MIT) modeled several scenarios combining 
various levels of SLR, temperature change, and precipitation 
differences with human population growth, policy assumptions, and 
conservation funding changes. All of the scenarios, from small climate 
change shifts to major changes, indicate significant effects on coastal 
Miami-Dade County. The Science and Technology Committee of the Miami-
Dade County Climate Change Task Force (Wanless et al. 2008, p. 1) 
recognize that significant SLR is a serious concern for Miami-Dade 
County in the near future. In a January 2008 statement, the committee 
warned that sea level is expected to rise at least 0.9-1.5 m (3.0-5.0 
ft) within this century (Wanless et al. 2008, p. 3). With a 0.9-1.2 m 
(3.0-4.0 ft) rise in sea level (above baseline) in Miami-Dade County, 
spring high tides would be at about 1.83-2.13 m (6.0-7.0 ft); 
freshwater resources would be gone; the Everglades would be inundated 
on the west side of Miami-Dade County; the barrier islands would be 
largely inundated; storm surges would be devastating to coastal habitat 
and associated species; and landfill sites would be exposed to erosion, 
contaminating marine and coastal environments. Freshwater and coastal 
mangrove wetlands will be unable to keep up with or offset SLR of 0.61 
m (2.0 ft) per century or greater. With a 1.52 m (5.0 ft) rise, Miami-
Dade County will be extremely diminished (Wanless et al. 2008, pp. 3-
4).
    SLR projections from various scenarios have been downscaled by TNC 
(2011, entire) and Zhang et al. (2011, entire) for the Florida Keys. 
Using the IPCC best-case, low-pollution scenario, a rise of 18 cm (7 
in) (a rate close to the historical average reported above) would 
result in the inundation of 23,796 ha (58,800 acres) or 38.2 percent of 
the Florida Keys upland area by the year 2100 (TNC 2011, p. 25). Under 
the IPCC worst-case, high-pollution scenario, a rise of 59 cm (23.2 in) 
would result in the inundation of 46,539 ha (115,000 acres) or 74.7 
percent of the Florida Keys upland area by the year 2100 (TNC 2011, p. 
25). Using Rahmstorf et al.'s (2007; p. 368) SLR projections of 100 to 
140 cm, 80.5 to 92.2 percent of the Florida Keys land area would be 
inundated by 2100. The Zhang et al. (2011, p. 136) study models SLR up 
to 1.8 m (5.9 ft) for the Florida Keys, which would inundate 93.6 
percent of the current land area of the Keys.
    Prior to inundations from SLR, there will likely be habitat 
transitions related to climate change, including changes to hydrology 
and increasing vulnerability to storm surge. Hydrology has a strong 
influence on plant distribution in coastal areas (IPCC 2008, p. 57). 
Such communities typically grade from salt to brackish to freshwater 
species. From the 1930s to 1950s, increased salinity contributed to the 
decline of cabbage palm forests in southwest Florida (Williams et al. 
1999, pp. 2056-2059), expansion of mangroves into adjacent marshes in 
the Everglades (Ross et al. 2000, pp. 101, 111), and loss of pine 
rocklands in the Keys (Ross et al. 1994, pp. 144, 151-155). In Florida, 
pine rocklands transition into rockland hammocks, and, as such, these 
habitat types are closely associated in the landscape. A study 
conducted in one pine rocklands location on Sugar Loaf Key (with an 
average elevation of 0.89 m (2.90 ft)) found an approximately 65 
percent reduction in an area occupied by South Florida slash pine over 
a 70-year period, with pine mortality and subsequent increased 
proportions of halophytic (salt-loving) plants occurring earlier at the 
lower elevations (Ross et al. 1994, pp. 149-152). During this same time 
span, local sea level had risen by 15 cm (6 in), and Ross et al. (1994, 
p. 152) found evidence of groundwater and soil water salinization. 
Extrapolating this situation to hardwood hammocks is

[[Page 66860]]

not straightforward, but it suggests that changes in rockland hammock 
species composition may not be an issue in the immediate future (5-10 
years); however, over the long term (within the next 10-50 years), it 
may be an issue if current projections of SLR occur and freshwater 
inputs are not sufficient to maintain high humidities and prevent 
changes in existing canopy species through salinization (Saha et al. 
2011, pp. 22-25). Ross et al. (2009, pp. 471-478) suggested that 
interactions between SLR and pulse disturbances (e.g., storm surges) 
can cause vegetation to change sooner than projected based on sea level 
alone.
    Impacts from climate change including regional SLR have been 
studied for coastal hammocks but not rockland hammock habitat. Saha (et 
al. 2011, pp. 24-25) conducted a risk assessment on rare plant species 
in ENP and found that impacts from SLR have significant effects on 
imperiled taxa. This study also predicted a decline in the extent of 
coastal hammocks with initial SLR, coupled with a reduction in 
freshwater recharge volume and an increase in pore water (water filling 
spaces between grains of sediment) salinity, which will push hardwood 
species to the edge of their drought (freshwater shortage and 
physiological) tolerance, jeopardizing critically imperiled or endemic 
species, or both, with possible extirpation. In south Florida, SLR of 
1-2 m (3.3-6.6 ft) is estimated by 2100, which is on the higher end of 
global estimates for SLR. These projected increases in sea level pose a 
threat to coastal plant communities and habitats from mangroves at sea 
level to salinity-intolerant, coastal rockland hammocks where 
elevations are generally less than 2.0 m (6.1 ft) above sea level (Saha 
et al. 2011, p. 2). Loss or degradation of these habitats can be a 
direct result of SLR or in combination of several other factors, 
including diversion of freshwater flow, hurricanes, and exotic plant 
species infestations, which can ultimately pose a threat to rare plant 
populations (Saha et al. 2011, p. 24).
    Habitats for these species are restricted to relatively immobile 
geologic features separated by large expanses of flooded, inhospitable 
wetland or ocean, leading us to conclude that these habitats will 
likely not be able to migrate as sea level rises (Saha et al. 2011, pp. 
103-104). Because of the extreme fragmentation of remaining habitat and 
isolation of remaining populations, and the accelerating rate at which 
SLR is projected to occur (Grinsted et al. 2010, p. 470), it will be 
particularly difficult for these species to disperse to suitable 
habitat once existing sites that support them are lost to SLR. Patterns 
of development will also likely be significant factors influencing 
whether natural communities can move and persist (IPCC 2008, p. 57; 
CCSP 2008, pp. 7-6). The plant species face significant risks from 
coastal squeeze that occurs when habitat is pressed between rising sea 
levels and coastal development that prevents landward migration of 
species. The ultimate effect of these impacts is likely to result in 
reductions in reproduction and survival, with corresponding decreases 
in population numbers.
    Saha (et al. 2011, p. 4) suggested that the rising water table 
accompanying SLR will shrink the vadose zone (the area which extends 
from the top of the ground surface to the water table); increase 
salinity in the bottom portion of the freshwater lens, thereby 
increasing brackishness of plant-available water; and influence tree 
species composition of coastal hardwood hammocks based upon species-
level tolerance to salinity or drought or both. Evidence of population 
declines and shifts in rare plant communities, along with multi-trophic 
effects, already have been documented on the low-elevation islands of 
the Florida Keys (Maschinski et al. 2011, p. 148).
    Direct losses to extant populations of all four plants are expected 
due to habitat loss and modification from SLR by 2100. We analyzed 
existing sites that support populations of the four plants using the 
National Oceanic and Atmospheric Administration (NOAA) Sea Level Rise 
and Coastal Impacts viewer. Below, we discuss general implications of 
sea level rise within the range of projections discussed above on the 
current distribution of these species. The NOAA tool uses 1-foot 
increments, so the analysis is based on 0.91 m (3 ft) and 1.8 m (6 ft).
    Chamaecrista lineata var. keyensis: A 0.91-m (3-ft) rise would 
inundate most areas of Big Pine Key, and all areas of Cudjoe Key, that 
support Chamaecrista lineata var. keyensis, and reduce both Keys to 
several much smaller islands. The remaining uplands on these islands 
would likely transition to buttonwoods and saltmarshes, and would be 
extremely vulnerable to storm surge. This will further reduce and 
fragment these populations. A 1.8-m (6-ft) rise would completely 
inundate all areas that support C. lineata var. keyensis and eliminate 
all pine rocklands habitat within the historic range of the species.
    Chamaesyce deltoidea var. serpyllum: A 0.91-m (3-ft) rise would 
inundate most areas of Big Pine Key that support Chamaesyce deltoidea 
var. serpyllum, and reduce the Key to three to five much smaller 
islands. The remaining uplands would likely transition to buttonwoods 
and saltmarshes, and would be extremely vulnerable to storm surge. This 
will further reduce and fragment the population. A 1.8-m (6-ft) rise 
would completely inundate all areas that support C. deltoidea var. 
serpyllum and eliminate all pine rocklands habitat within the historic 
range of the species.
    Linum arenicola: In Miami-Dade County, a 0.91-m (3-ft) rise would 
inundate the area that supports a large extant population of Linum 
arenicola along L-31E canal. While other areas that support the species 
are located in higher elevation areas along the coastal ridge, changes 
in the salinity of the water table and soils, along with additional 
vegetation shifts in the region, are likely. Remaining uplands may 
transition to wetter, more salt-tolerant plant communities. This will 
further reduce and fragment the populations. A 1.8-m (6-ft) rise would 
inundate portions of the largest known population (HARB), as well the 
population along L-31E canal. The areas that support Linum arenicola at 
the Richmond pinelands to the north would not be inundated, but pine 
rocklands in these areas may be reduced through transition to wetter, 
more salt-tolerant plant communities, as discussed above.
    In the Florida Keys, a 0.91-m (3-ft) rise would inundate most areas 
of Big Pine Key and Lower Sugarloaf Key, and all of the areas on Upper 
Sugarloaf Key and Big Torch Key, that support Linum arenicola, and 
reduce these Keys to numerous much smaller islands. The remaining 
uplands on these small islands would likely transition to buttonwoods 
and saltmarshes, and would be extremely vulnerable to further losses 
due to storm surge. This would further reduce and fragment the 
populations. A 1.8-m (6-ft) rise would completely inundate all areas 
that support Linum arenicola in the Florida Keys and eliminate all pine 
rocklands habitat within the historic range of the species in Monroe 
County.
    Argythamnia blodgettii: In Miami-Dade County, a 0.91-m (3-ft) rise 
would not inundate any extant populations of Argythamnia blodgettii 
because these habitats are located in higher elevation areas along the 
coastal ridge. However, changes in the salinity of the water table and 
soils, along with additional vegetation shifts in the region, are 
likely. Remaining uplands may likely transition to wetter, more salt-
tolerant plant communities. This will further

[[Page 66861]]

reduce and fragment the populations. A 1.8-m (6-ft) rise would inundate 
portions of Crandon Park, making it unsuitable for A. blodgettii. Other 
areas that support A. blodgettii, including the Richmond pinelands to 
the north, and Long Pine Key in ENP, would not be inundated, but 
habitats in these areas may be reduced through transition to wetter, 
more salt-tolerant plant communities, as discussed above.
    In the Florida Keys, a 0.91-m (3-ft) rise would reduce the area of 
islands in the upper Keys, but extant populations on Key Largo, Windley 
Key, and Lignumvitae Key are less vulnerable than the Middle and Lower 
Keys, which are at lower elevations. Lower Matecumbe Key, Plantation 
Key, Vaca Key, Big Pine Key, and Big Munson Island would be fragmented 
and reduced to numerous much smaller islands. The remaining uplands on 
these small islands would likely transition to buttonwoods and 
saltmarshes, and would be extremely vulnerable further losses to storm 
surge. This would further reduce and fragment the populations. A 1.8-m 
(6-ft) rise would completely inundate all areas that support 
Argythamnia blodgettii south of Lignumvitae Key. Key Largo, Windley 
Key, and Lignumvitae Key are the only existing areas supporting extant 
populations that could continue to support a population given a 1.8-m 
(6-ft) sea level rise.
Conservation Efforts To Reduce Other Natural or Manmade Factors 
Affecting Its Continued Existence
    NPS, the Service, Miami-Dade County, and the State of Florida have 
ongoing nonnative plant management programs to reduce threats on public 
lands, as funding and resources allow. In Miami-Dade County, nonnative, 
invasive plant management is very active, with a goal to treat all 
publicly owned properties at least once a year and more often in many 
cases. IRC and FTBG conduct research and monitoring in various natural 
areas within Miami-Dade County and the Florida Keys for various 
endangered plant species and nonnative, invasive species.
Summary of Factor E
    We have analyzed threats from other natural or manmade factors 
including: Nonnative, invasive plants; management practices used on 
roadsides and disturbed sites (such as mowing, sodding, and herbicide 
use); pesticide spraying and its effects on pollinators; environmental 
stochasticity; effects from small population size and isolation; and 
the effects of climate change, including SLR. The related risks from 
hurricanes and storm surge act together to impact populations of all 
four plants. Some of these threats (e.g., nonnative species) may be 
reduced on public lands due to active programs by Federal, State, and 
county land managers. Many of the remaining populations of these plants 
are small and geographically isolated, and genetic variability is 
likely low, increasing the inherent risk due to overall low resilience 
of these plants.

Cumulative Effects of Threats

    When two or more threats affect populations of the four plants, the 
effects of those threats could interact or become compounded, producing 
a cumulative adverse effect that is greater than the impact of either 
threat alone. The most obvious cases in which cumulative adverse 
effects would be significant are those in which small populations 
(Factor E) are affected by threats that result in destruction or 
modification of habitat (Factor A). The limited distributions and small 
population sizes of many populations of the four plants make them 
extremely susceptible to the detrimental effects of further habitat 
modification, degradation, and loss, as well as other anthropogenic 
threats. Mechanisms leading to the decline of the four plants, as 
discussed above, range from local (e.g., agriculture) to regional 
(e.g., development, fragmentation, nonnative species) to global (e.g., 
climate change, SLR) influences. The synergistic effects of threats, 
such as impacts from hurricanes on a species with a limited 
distribution and small populations, make it difficult to predict 
population viability. While these stressors may act in isolation, it is 
more probable that many stressors are acting simultaneously (or in 
combination) on populations of these four plants, making them more 
vulnerable.

Determination

    We have carefully assessed the best scientific and commercial data 
available regarding the past, present, and future threats to 
Chamaecrista lineata var. keyensis, Chamaesyce deltoidea ssp. 
serpyllum, Linum arenicola, and Argythamnia blodgettii. Numerous 
populations of all four plants have been extirpated from these species' 
historical ranges, and the primary threats of habitat destruction and 
modification resulting from human population growth and development, 
agricultural conversion, and inadequate fire management (Factor A); 
competition from nonnative, invasive species (Factor E); changes in 
climatic conditions, including SLR (Factor E); and natural stochastic 
events (Factor E) remain threats for existing populations. Existing 
regulatory mechanisms have not led to a reduction or removal of threats 
posed to the four plants from these factors (see Factor D discussion, 
above). These threats are ongoing, rangewide, and expected to continue 
in the future. A significant percentage of populations of Chamaecrista 
lineata var. keyensis, Linum arenicola, and Argythamnia blodgettii are 
relatively small and isolated from one another, and their ability to 
recolonize suitable habitat is unlikely without human intervention, if 
at all. The threats have had and will continue to have substantial 
adverse effects on the four plants and their habitats. Although 
attempts are ongoing to alleviate or minimize some of these threats at 
certain locations, all populations appear to be impacted by one or more 
threats.
    The Act 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 ``any species which is likely to 
become an endangered species within the foreseeable future throughout 
all or a significant portion of its range.'' As described in detail 
above, Chamaecrista lineata var. keyensis, Chamaesyce deltoidea ssp. 
serpyllum, and Linum arenicola are currently at risk throughout all of 
their range due to the immediacy, severity, significance, timing, and 
scope of those threats. Impacts from these threats are ongoing and 
increasing; singly or in combination, these threats place these three 
plants in danger of extinction. The risk of extinction is high because 
the populations are small, are isolated, and have limited to no 
potential for recolonization. Numerous threats are currently ongoing 
and are likely to continue in the foreseeable future, at a high 
intensity and across the entire range of these plants. Furthermore, 
natural stochastic events and changes in climatic conditions pose a 
threat to the persistence of these plants, especially in light of the 
fact these events cannot be controlled and mitigation measures have yet 
to be addressed. Individually and collectively, all these threats can 
contribute to the local extirpation and potential extinction of these 
plant species. Because these threats are placing them in danger of 
extinction throughout their ranges, we have determined that each of 
these three plants meets the definition of an endangered species 
throughout their ranges.
    Throughout its range, Argythamnia blodgettii faces threats similar 
to the

[[Page 66862]]

other three plant species that are the subjects of this rule. However, 
we find that endangered species status is not appropriate for A. 
blodgettii. While we have evidence of threats under Factors A, D, and E 
affecting the species, insufficient data are available to identify the 
trends in extant populations. Twenty populations are extant, 15 are 
extirpated, and we are uncertain of the status of 15 populations that 
have not been surveyed in 15 years or more. Additionally, data show 
that the threat of habitat loss from sea level rise is not as severe 
for this species. Also, A. blodgettii is likely less vulnerable because 
of the larger number of sites where it occurs throughout Miami-Dade and 
Monroe Counties. Further, A. blodgettii is the only one of the four 
plants species that occurs in ENP, where a population of over 2,000 
plants is stable and where prescribed fire and other management 
activities that benefit A. blodgettii are conducted on a regular basis. 
Therefore, based on the best available information,

Significant Portion of the Range (SPR)

    Under the Act and our implementing regulations, a species may 
warrant listing if it is endangered or threatened throughout all or a 
significant portion of its range. The threats to the survival of 
Chamaecrista lineata var. keyensis, Chamaesyce deltoidea ssp. 
serpyllum, Linum arenicola, and Argythamnia blodgettii occur throughout 
these species' ranges and are not restricted to any particular 
significant portion of those ranges. Accordingly, our assessment and 
determination applies to each of the four plants throughout its entire 
range. Because we have determined that Chamaecrista lineata var. 
keyensis, Chamaesyce deltoidea ssp. serpyllum, and Linum arenicola meet 
the definition of endangered species, and Argythamnia blodgettii meets 
the definition of a threatened species, throughout their ranges, no 
portion of their ranges can be ``significant'' for purposes of the 
definitions of ``endangered species'' and ``threatened species.'' See 
the Service's SPR Policy (79 FR 37578; July 1, 2014).
    Therefore, on the basis of the best available scientific and 
commercial information, we list Chamaecrista lineata var. keyensis, 
Chamaesyce deltoidea ssp. serpyllum, and Linum arenicola as endangered 
species in accordance with sections 3(6) and 4(a)(1) of the Act. We 
find that threatened species status is not appropriate for Chamaecrista 
lineata var. keyensis, Chamaesyce deltoidea ssp. serpyllum, and Linum 
arenicola because of the contracted range of each species and because 
the threats are occurring rangewide, are ongoing, and are expected to 
continue into the future. We find that A. blodgettii is likely to 
become an endangered species within the foreseeable future throughout 
all or a significant portion of its range, and we list the species as a 
threatened species in accordance with sections 3(20) and 4(a)(1) of the 
Act.

Available Conservation Measures

    Conservation measures provided to species listed as endangered or 
threatened under the Act include recognition, recovery actions, 
requirements for Federal protection, and prohibitions against certain 
practices. Recognition through listing results in public awareness, and 
conservation by Federal, State, Tribal, and local agencies; private 
organizations; and individuals. The Act encourages cooperation with the 
States and other countries and calls for recovery actions to be carried 
out for listed species. The protection required by Federal agencies and 
the prohibitions against certain activities are discussed, in part, 
below.
    The primary purpose of the Act is the conservation of endangered 
and threatened species and the ecosystems upon which they depend. The 
ultimate goal of such conservation efforts is the recovery of these 
listed species, so that they no longer need the protective measures of 
the Act. Subsection 4(f) of the Act calls for the Service to develop 
and implement recovery plans for the conservation of endangered and 
threatened species. The recovery planning process involves the 
identification of actions that are necessary to halt or reverse the 
species' decline by addressing the threats to its survival and 
recovery. The goal of this process is to restore listed species to a 
point where they are secure, self-sustaining, and functioning 
components of their ecosystems.
    Recovery planning includes the development of a recovery outline 
shortly after a species is listed and preparation of a draft and final 
recovery plan. The recovery outline guides the immediate implementation 
of urgent recovery actions and describes the process to be used to 
develop a recovery plan. Revisions of the plan may be done to address 
continuing or new threats to the species, as new substantive 
information becomes available. The recovery plan also identifies 
recovery criteria for review of when a species may be ready for 
downlisting or delisting, and methods for monitoring recovery progress. 
Recovery plans also establish a framework for agencies to coordinate 
their recovery efforts and provide estimates of the cost of 
implementing recovery tasks. Recovery teams (composed of species 
experts, Federal and State agencies, nongovernmental organizations, and 
stakeholders) are often established to develop recovery plans. If these 
four plant species are listed, a recovery outline, draft recovery plan, 
and the final recovery plan will be available on our Web site (http://www.fws.gov/endangered), or from our South Florida Ecological Services 
Field Office (see FOR FURTHER INFORMATION CONTACT).
    Implementation of recovery actions generally requires the 
participation of a broad range of partners, including other Federal 
agencies, States, Tribes, nongovernmental organizations, businesses, 
and private landowners. Examples of recovery actions include habitat 
restoration (e.g., restoration of native vegetation), research, captive 
propagation and reintroduction, and outreach and education. The 
recovery of many listed species cannot be accomplished solely on 
Federal lands because their range may occur primarily or solely on non-
Federal lands. To achieve recovery of these species requires 
cooperative conservation efforts on private, State, and Tribal lands. 
If these four plant species are listed, funding for recovery actions 
will be available from a variety of sources, including Federal budgets, 
State programs, and cost share grants for non-Federal landowners, the 
academic community, and nongovernmental organizations. In addition, 
pursuant to section 6 of the Act, the State of Florida would be 
eligible for Federal funds to implement management actions that promote 
the protection or recovery of the four plants. Information on our grant 
programs that are available to aid species recovery can be found at: 
http://www.fws.gov/grants.
    Please let us know if you are interested in participating in 
recovery efforts for Chamaecrista lineata var. keyensis, Chamaesyce 
deltoidea ssp. serpyllum, Linum arenicola, and Argythamnia blodgettii. 
Additionally, we invite you to submit any new information on these 
plants whenever it becomes available and any information you may have 
for recovery planning purposes (see FOR FURTHER INFORMATION CONTACT).
    Section 7(a) of the Act requires Federal agencies to evaluate their 
actions with respect to any species that is listed as an endangered or 
threatened species and with respect to its critical habitat, if any is 
designated. Regulations implementing this interagency cooperation 
provision of the Act are codified at 50 CFR part 402. Section

[[Page 66863]]

7(a)(2) of the Act requires Federal agencies to ensure that activities 
they authorize, fund, or carry out are not likely to jeopardize the 
continued existence of the species or destroy or adversely modify its 
critical habitat. If a Federal action may affect a listed species or 
its critical habitat, if designated, the responsible Federal agency 
must enter into consultation with the Service.
    Federal agency actions within the species' habitat that may require 
consultation as described in the preceding paragraph include management 
and any other landscape-altering activities on Federal lands 
administered by the Service, NPS, and Department of Defense; issuance 
of section 404 Clean Water Act (33 U.S.C. 1251 et seq.) permits by the 
U.S. Army Corps of Engineers; construction and management of gas 
pipeline and power line rights-of-way by the Federal Energy Regulatory 
Commission; construction and maintenance of roads or highways by the 
Federal Highway Administration; and disaster relief efforts conducted 
by the Federal Emergency Management Agency.
    With respect to endangered plants, prohibitions outlined at 50 CFR 
17.61 make it illegal for any person subject to the jurisdiction of the 
United States to import or export, transport in interstate or foreign 
commerce in the course of a commercial activity, sell or offer for sale 
in interstate or foreign commerce, or to remove and reduce to 
possession any such plant species from areas under Federal 
jurisdiction. In addition, for endangered plants, the Act prohibits 
malicious damage or destruction of any such species on any area under 
Federal jurisdiction, and the removal, cutting, digging up, or damaging 
or destroying of any such species on any other area in knowing 
violation of any State law or regulation, or in the course of any 
violation of a State criminal trespass law. Exceptions to these 
prohibitions are outlined at 50 CFR 17.62. With respect to threatened 
plants, 50 CFR 17.71 provides that, with certain exceptions, all of the 
prohibitions outlined at 50 CFR 17.61 for endangered plants also apply 
to threatened plants. Permit exceptions to the prohibitions for 
threatened plants are outlined at 50 CFR 17.72.
    Preservation of native flora of Florida through Florida Statutes 
581.185, sections (3)(a) and (3)(b), provide limited protection to 
species listed in the State of Florida Regulated Plant Index including 
Chamaecrista lineata var. keyensis, Chamaesyce deltoidea ssp. 
serpyllum, Linum arenicola, and Argythamnia blodgettii, as described 
under the Factor D discussion, above. Federal listing will increase 
protection for these plants by making violations of section 3 of the 
Florida Statute punishable as a Federal offense under section 9 of the 
Act. This would provide increased protection from unauthorized 
collecting and vandalism for the plants on State and private lands, 
where they might not otherwise be protected by the Act, and would 
increase the severity of the penalty for unauthorized collection, 
vandalism, or trade in these plants.
    The Service acknowledges that it cannot fully address some of the 
natural threats facing Chamaecrista lineata var. keyensis, Chamaesyce 
deltoidea ssp. serpyllum, Linum arenicola, and Argythamnia blodgettii, 
(e.g., hurricanes, storm surge) or even some of the other significant, 
long-term threats (e.g., climatic changes, SLR). However, through 
listing, we can provide protection to the known populations and any new 
population of these plants that may be discovered (see discussion 
below). With listing, we can also influence Federal actions that may 
potentially impact these plants (see discussion below); this is 
especially valuable if these plants are found at additional locations. 
With listing, we will also be better able to deter illicit collection 
and trade.
    We may issue permits to carry out otherwise prohibited activities 
involving endangered or threatened plants under certain circumstances. 
Regulations governing permits for endangered plants are codified at 50 
CFR 17.62, and for threatened plants at 50 CFR 17.72. With regard to 
endangered plants, the Service may issue a permit authorizing any 
activity otherwise prohibited by 50 CFR 17.61 for scientific purposes 
or for enhancing the propagation or survival of endangered plants.
    It is our policy, as published in the Federal Register on July 1, 
1994 (59 FR 34272), to identify to the maximum extent practicable at 
the time a species is proposed for listing or listed, those activities 
that would or would not constitute a violation of section 9 of the Act. 
The intent of this policy is to increase public awareness of the effect 
of a final listing on proposed and ongoing activities within the range 
of the species. Based on the best available information, the following 
actions may potentially result in a violation of section 9, of the Act; 
this list is not comprehensive:
    (1) Import any such species into, or export any of the four plant 
species from, the United States.
    (2) Remove and reduce to possession any of the four plant species 
from areas under Federal jurisdiction; maliciously damage or destroy 
any of the four plant species on any such area; or remove, cut, dig up, 
or damage or destroy any of the four plant species on any other area in 
knowing violation of any law or regulation of any State or in the 
course of any violation of a State criminal trespass law.
    (3) Deliver, receive, carry, transport, or ship in interstate or 
foreign commerce, by any means whatsoever and in the course of a 
commercial activity, any of the four plant species.
    (4) Sell or offer for sale in interstate or foreign commerce any of 
the four plant species.
    (5) Introduce any nonnative wildlife or plant species to the State 
of Florida that compete with or prey upon Chamaecrista lineata var. 
keyensis, Chamaesyce deltoidea ssp. serpyllum, Linum arenicola, or 
Argythamnia blodgettii.
    (6) Release any unauthorized biological control agents that attack 
any life stage of Chamaecrista lineata var. keyensis, Chamaesyce 
deltoidea ssp. serpyllum, Linum arenicola, or Argythamnia blodgettii.
    (7) Manipulate or modify, without authorization, the habitat of 
Chamaecrista lineata var. keyensis, Chamaesyce deltoidea ssp. 
serpyllum, Linum arenicola, or Argythamnia blodgettii on Federal lands.
    Questions regarding whether specific activities would constitute a 
violation of section 9 of the Act should be directed to the Field 
Supervisor of the Service's South Florida Ecological Services Field 
Office (see FOR FURTHER INFORMATION CONTACT). Requests for copies of 
regulations regarding listed species and inquiries about prohibitions 
and permits should be addressed to the U.S. Fish and Wildlife Service, 
Ecological Services Division, Endangered Species Permits, 1875 Century 
Boulevard, Atlanta, GA 30345 (phone 404-679-7140; fax 404-679-7081).
    When Chamaecrista lineata var. keyensis, Chamaesyce deltoidea ssp. 
serpyllum, Linum arenicola, and Argythamnia blodgettii are listed under 
the Act, the State of Florida's Endangered Species Act (Florida 
Statutes 581.185) is automatically invoked, which also prohibits take 
of these plants and encourages conservation by State government 
agencies. Further, the State may enter into agreements with Federal 
agencies to administer and manage any area required for the 
conservation, management, enhancement, or protection of endangered 
species (Florida Statutes 581.185). Funds for these activities can be 
made available

[[Page 66864]]

under section 6 of the Act (Cooperation with the States). Thus, the 
Federal protection afforded to these plants by listing them as 
endangered species will be reinforced and supplemented by protection 
under State law.
    Activities that the Service believes could potentially harm these 
four plants include, but are not limited to:
    (1) Actions that would significantly alter the hydrology or 
substrate, such as ditching or filling. Such activities may include, 
but are not limited to, road construction or maintenance, and 
residential, commercial, or recreational development.
    (2) Actions that would significantly alter vegetation structure or 
composition, such as clearing vegetation for construction of 
residences, facilities, trails, and roads.
    (3) Actions that would introduce nonnative species that would 
significantly alter vegetation structure or composition. Such 
activities may include, but are not limited to, residential and 
commercial development, and road construction.
    (4) Application of herbicides, or release of contaminants, in areas 
where these plants occur. Such activities may include, but are not 
limited to, natural resource management, management of rights-of-way, 
residential and commercial development, and road construction.

Critical Habitat

    Section 3(5)(A) of the Act defines critical habitat as (i) the 
specific areas within the geographical area occupied by the species, at 
the time it is listed on which are found those physical or biological 
features (I) essential to the conservation of the species and (II) 
which may require special management considerations or protection; and 
(ii) specific areas outside the geographical area occupied by the 
species at the time it is listed upon a determination by the Secretary 
of the Interior that such areas are essential for the conservation of 
the species. Section 3(3) of the Act defines conservation as to use and 
the use of all methods and procedures which are necessary to bring any 
endangered species or threatened species to the point at which the 
measures provided pursuant to the Act are no longer necessary.
    Section 4(a)(3) of the Act, as amended, and implementing 
regulations (50 CFR 424.12), require that, to the maximum extent 
prudent and determinable, the Secretary will designate critical habitat 
at the time the species is determined to be an endangered or threatened 
species. Our regulations (50 CFR 424.12(a)(1)) state that the 
designation of critical habitat is not prudent when one or both of the 
following situations exist:
    (1) The species is threatened by taking or other human activity, 
and identification of critical habitat can be expected to increase the 
degree of threat to the species, or
    (2) Such designation of critical habitat would not be beneficial to 
the species.
    In our proposed listing rule, we determined that because the 
designation of critical habitat will not likely increase the degree of 
threat to the species and may provide some measure of benefit, the 
designation of critical habitat is prudent for Chamaecrista lineata 
var. keyensis, Chamaesyce deltoidea ssp. serpyllum, Linum arenicola, 
and Argythamnia blodgettii.
    Our regulations (50 CFR 424.12(a)(2)) further state that critical 
habitat is not determinable when one or both of the following 
situations exists: (1) Information sufficient to perform required 
analysis of the impacts of the designation is lacking; or (2) the 
biological needs of the species are not sufficiently well known to 
permit identification of an area as critical habitat. On the basis of a 
review of available information, we find that critical habitat for 
Chamaecrista lineata var. keyensis, Chamaesyce deltoidea ssp. 
serpyllum, Linum arenicola, and Argythamnia blodgettii is not 
determinable because the specific mapping and economic information 
sufficient to perform the required analysis of the impacts of the 
designation is currently lacking. We are still in the process of 
obtaining more information needed to properly evaluate the economic 
impacts of designation. We intend to publish a proposed rule 
designating critical habitat for Chamaecrista lineata var. keyensis, 
Chamaesyce deltoidea ssp. serpyllum, Linum arenicola, and Argythamnia 
blodgettii by the end of fiscal year 2017.

Required Determinations

National Environmental Policy Act (42 U.S.C. 4321 et seq.)

    We have determined that environmental assessments and environmental 
impact statements, as defined under the authority of the National 
Environmental Policy Act need not be prepared in connection with 
listing a species as an endangered or threatened species under the 
Endangered Species Act. We published a notice outlining our reasons for 
this determination in the Federal Register on October 25, 1983 (48 FR 
49244).

References Cited

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

Authors

    The primary authors of this final rule are the staff members of the 
South Florida Ecological Services Field Office.

List of Subjects in 50 CFR Part 17

    Endangered and threatened species, Exports, Imports, Reporting and 
recordkeeping requirements, Transportation.

Regulation Promulgation

    Accordingly, we amend part 17, subchapter B of chapter I, title 50 
of the Code of Federal Regulations, as follows:

PART 17--ENDANGERED AND THREATENED WILDLIFE AND PLANTS

0
1. The authority citation for part 17 continues to read as follows:

    Authority: 16 U.S.C. 1361-1407; 1531-1544; and 4201-4245, unless 
otherwise noted.


0
2. Amend Sec.  17.12(h) by adding entries for Argythamnia blodgettii, 
Chamaecrista lineata var. keyensis, Chamaesyce deltoidea ssp. 
serpyllum, and Linum arenicola, in alphabetical order under FLOWERING 
PLANTS, to the List of Endangered and Threatened Plants to read as 
follows:


Sec.  17.12  Endangered and threatened plants.

* * * * *
    (h) * * *

[[Page 66865]]



----------------------------------------------------------------------------------------------------------------
                                                                                              Listing citations
         Scientific name               Common name          Where listed         Status        and  applicable
                                                                                                    rules
----------------------------------------------------------------------------------------------------------------
Flowering Plants
 
                                                  * * * * * * *
Argythamnia blodgettii...........  Blodgett's           Wherever found.....  T               [Insert Federal
                                    silverbush.                                               Register
                                                                                              citation];
                                                                                              September 29,
                                                                                              2016.
 
                                                  * * * * * * *
Chamaecrista lineata var.          Big Pine partridge   Wherever found.....  E               [Insert Federal
 keyensis.                          pea.                                                      Register
                                                                                              citation];
                                                                                              September 29,
                                                                                              2016.
 
                                                  * * * * * * *
Chamaesyce deltoidea ssp.          Wedge spurge.......  Wherever found.....  E               [Insert Federal
 serpyllum.                                                                                   Register
                                                                                              citation];
                                                                                              September 29,
                                                                                              2016.
 
                                                  * * * * * * *
Linum arenicola..................  Sand flax..........  Wherever found.....  E               [Insert Federal
                                                                                              Register
                                                                                              citation];
                                                                                              September 29,
                                                                                              2016.
 
                                                  * * * * * * *
----------------------------------------------------------------------------------------------------------------


    Dated: September 21, 2016.
Stephen Guertin,
Acting Director, U.S. Fish and Wildlife Service.
[FR Doc. 2016-23546 Filed 9-28-16; 8:45 am]
 BILLING CODE 4333-15-P



                                                66842            Federal Register / Vol. 81, No. 189 / Thursday, September 29, 2016 / Rules and Regulations

                                                   (6) It shall not be possible to disarm the            Safety Regulations (Theft Prevention and              FOR FURTHER INFORMATION CONTACT:
                                                immobilization system by interrupting its                Rollaway Prevention—Standard 114)’’ 2011–             Roxanna Hinzman, U.S. Fish and
                                                normal operating voltage.                                03–30 Canada Gazette Part II, Vol 145, No. 7.         Wildlife Service, South Florida
                                                   (7) When the normal starting procedure
                                                                                                           Issued in Washington, DC, on September 8,           Ecological Services Field Office, 1339
                                                requires that the disarming device
                                                mechanically latch into a receptacle and the             2016, under authority delegated in 49 CFR             20th Street, Vero Beach, FL 32960;
                                                device is physically separate from the                   part 1.95.                                            telephone 772–562–3909; facsimile
                                                ignition switch key, one or more motors used             Mark R. Rosekind,                                     772–562–4288. Persons who use a
                                                for the vehicle’s propulsion shall start only            Administrator.                                        telecommunications device for the deaf
                                                after the device is removed from that                    [FR Doc. 2016–22061 Filed 9–28–16; 8:45 am]           (TDD) may call the Federal Information
                                                receptacle.                                                                                                    Relay Service (FIRS) at 800–877–8339.
                                                                                                         BILLING CODE 4910–59–P
                                                   (8)(i) The immobilization system shall have                                                                 SUPPLEMENTARY INFORMATION:
                                                a minimum capacity of 50,000 code variants,
                                                shall not be disarmed by a code that can                                                                       Executive Summary
                                                disarm all other immobilization systems of               DEPARTMENT OF THE INTERIOR
                                                the same make and model; and
                                                                                                                                                                  Why we need to publish a rule. Under
                                                   (ii) subject to paragraph (9) of this                 Fish and Wildlife Service                             the Endangered Species Act, a species
                                                appendix, it shall not have the capacity to                                                                    may warrant protection through listing
                                                process more than 5,000 codes within 24                  50 CFR Part 17                                        if it is endangered or threatened
                                                hours.                                                                                                         throughout all or a significant portion of
                                                   (9) If an immobilization system uses rolling          [Docket No. FWS–R4–ES–2015–0137;                      its range. Listing a species as an
                                                or encrypted codes, it may conform to the                4500030113]                                           endangered or threatened species can
                                                following criteria instead of the criteria set                                                                 only be completed by issuing a rule.
                                                                                                         RIN 1018–AZ95
                                                out in paragraph (8)(ii) of this appendix:                                                                        The basis for our action. Under the
                                                   (i) The probability of obtaining the correct
                                                                                                         Endangered and Threatened Wildlife                    Endangered Species Act, we may
                                                code within 24 hours shall not exceed 4 per
                                                cent; and                                                and Plants; Endangered Species                        determine that a species is an
                                                   (ii) It shall not be possible to disarm the           Status for Chamaecrista lineata var.                  endangered or threatened species based
                                                system by re-transmitting in any sequence                keyensis (Big Pine Partridge Pea),                    on any of five factors: (A) The present
                                                the previous 5 codes generated by the system.            Chamaesyce deltoidea ssp. serpyllum                   or threatened destruction, modification,
                                                   (10) The immobilization system shall be               (Wedge Spurge), and Linum arenicola                   or curtailment of its habitat or range; (B)
                                                designed so that, when tested as installed in            (Sand Flax), and Threatened Species                   overutilization for commercial,
                                                the vehicle neither the replacement of an                Status for Argythamnia blodgettii                     recreational, scientific, or educational
                                                original immobilization system component
                                                                                                         (Blodgett’s Silverbush)                               purposes; (C) disease or predation; (D)
                                                with a manufacturer’s replacement
                                                component nor the addition of a                                                                                the inadequacy of existing regulatory
                                                                                                         AGENCY:   Fish and Wildlife Service,
                                                manufacturer’s component can be completed                                                                      mechanisms; or (E) other natural or
                                                                                                         Interior.
                                                without the use of software; and it is not                                                                     manmade factors affecting its continued
                                                                                                         ACTION: Final rule.
                                                possible for the vehicle to move under its                                                                     existence. We have determined that the
                                                own power for at least 5 minutes after the               SUMMARY:   We, the U.S. Fish and                      threats to Chamaecrista lineata var.
                                                beginning of the replacement or addition of                                                                    keyensis, Chamaesyce deltoidea ssp.
                                                a component referred to in this paragraph (1).
                                                                                                         Wildlife Service (Service), determine
                                                                                                         endangered species status under the                   serpyllum, Linum arenicola, and
                                                   (11) The immobilization system’s
                                                                                                         Endangered Species Act of 1973 (Act),                 Argythamnia blodgettii consist
                                                conformity to paragraph (10) of this appendix
                                                shall be demonstrated by testing that is                 as amended, for Chamaecrista lineata                  primarily of:
                                                carried out without damaging the vehicle.                var. keyensis (Big Pine partridge pea),                  • Habitat loss and modification
                                                   (12) Paragraph (10)(i) of this appendix does          Chamaesyce deltoidea ssp. serpyllum                   through urban and agricultural
                                                not apply to the addition of a disarming                 (wedge spurge), and Linum arenicola                   development, and lack of adequate fire
                                                device that requires the use of another                  (sand flax), and threatened species                   management (Factor A); and
                                                disarming device that is validated by the                status for Argythamnia blodgettii                        • The proliferation of nonnative,
                                                immobilization system.
                                                                                                         (Blodgett’s silverbush), all plant species            invasive plants; stochastic events
                                                   (13) The immobilization system shall be                                                                     (hurricanes and storm surge);
                                                designed so that it can neither be bypassed              from south Florida. The rule adds these
                                                                                                         species to the Federal List of                        maintenance practices used on
                                                nor rendered ineffective in a manner that                                                                      roadsides and disturbed sites; and sea
                                                would allow a vehicle to move under its own              Endangered and Threatened Plants.
                                                power, or be disarmed, using one or more of
                                                                                                                                                               level rise (Factor E).
                                                                                                         DATES: This rule is effective October 31,
                                                the tools and equipment listed in paragraph
                                                                                                                                                                  Existing regulatory mechanisms have
                                                                                                         2016.                                                 not been adequate to reduce or remove
                                                (14) of this appendix;
                                                                                                         ADDRESSES: This final rule is available               these threats (Factor D).
                                                   (i) Within a period of less than 5 minutes,
                                                when tested as installed in the vehicle; or              on the Internet at http://                               Peer review and public comment. We
                                                   (ii) Within a period of less than 2.5                 www.regulations.gov. Comments and                     sought comments from independent
                                                minutes, when bench-tested outside the                   materials we received, as well as                     specialists to ensure that our
                                                vehicle.                                                 supporting documentation we used in                   determination is based on scientifically
                                                   (14) During a test referred to in paragraph           preparing this rule, are available for                sound data, assumptions, and analyses.
                                                (13) of this appendix, only the following                public inspection at http://                          We invited these peer reviewers to
                                                tools or equipment may be used: Scissors,                www.regulations.gov. Comments,                        comment on our listing proposal. We
                                                wire strippers, wire cutters and electrical              materials, and documentation that we
                                                wires, a hammer, a slide hammer, a chisel,                                                                     also considered all other comments and
                                                                                                         considered in this rulemaking will be                 information we received during the
                                                a punch, a wrench, a screwdriver, pliers,
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                                                steel rods and spikes, a hacksaw, a battery              available by appointment, during                      comment period.
                                                operated drill, a battery operated angle                 normal business hours at: U.S. Fish and
                                                                                                         Wildlife Service, South Florida                       Previous Federal Actions
                                                grinder; and a battery operated jigsaw.
                                                   Note: C.R.C, c. 1038.114, Theft Protection            Ecological Services Field Office, 1339                  Please refer to the proposed listing
                                                and Rollaway Prevention (in effect March 30,             20th Street, Vero Beach, FL 32960;                    rule for Chamaecrista lineata var.
                                                2011). See: SOR/2011–69 March, 2011                      telephone 772–562–3909; facsimile                     keyensis, Chamaesyce deltoidea ssp.
                                                ‘‘Regulations Amending the Motor Vehicle                 772–562–4288.                                         serpyllum, Linum arenicola, and


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                                                                  Federal Register / Vol. 81, No. 189 / Thursday, September 29, 2016 / Rules and Regulations                                                                             66843

                                                Argythamnia blodgettii (80 FR 58536;                                 corrected to Psidium longipes                                       distribution of Linum arenicola is from
                                                September 29, 2015) for a detailed                                   (longstalked stopper). We also correct                              just north of SW 184 Street (in the
                                                description of previous Federal actions                              the reference to hardwoods in the pine                              Martinez Pinelands Preserve), south to
                                                concerning these species.                                            rocklands of the lower Florida Keys; the                            the intersection of Card Sound Road and
                                                                                                                     hardwoods in the subcanopy include                                  the C–102 canal, and west to SW 264
                                                Background                                                           species such as Byrsonima lucida and                                Street and 177 Avenue (Everglades
                                                   Please refer to the proposed listing                              Mosiera longipes (Bradley 2006, p. 3).                              Archery Range at Camp Owaissa Bauer).
                                                rule (80 FR 58536; September 29, 2015)                                                                                                     (2) We correct our description of the
                                                                                                                     Current Range, Population Estimates,
                                                for the complete discussion of each                                                                                                      compilation of all survey work to
                                                                                                                     and Status
                                                plant’s description, habitat, taxonomy,                                                                                                  include a missed citation for Possley
                                                distribution, population estimates,                                     Please refer to the ‘‘Current Range,
                                                                                                                                                                                         (2016, pers. comm.). The corrected
                                                climate, historical range, current range,                            Population Estimates, and Status’’
                                                                                                                                                                                         sentence reads: Based on a compilation
                                                status, and biology.                                                 section of the proposed rule for the
                                                                                                                                                                                         of all survey work through 2016,
                                                   Below, we present only revisions to                               complete discussion. We make minor
                                                                                                                                                                                         including Austin (1980), Kernan and
                                                the discussions in the Background                                    editorial revisions to the first sentence
                                                                                                                                                                                         Bradley (1996, pp. 1–30), Bradley and
                                                section of the proposed listing rule                                 of the third paragraph of that section, as
                                                                                                                                                                                         Gann (1999, pp. 61–65), Hodges and
                                                based on new information from peer                                   follows: A second indicator, the
                                                                                                                                                                                         Bradley (2006, pp. 37–41), Bradley and
                                                review and public comments; as such,                                 frequency with which Chamaecrista
                                                                                                                     lineata var. keyensis occurred in sample                            Saha (2009, p. 10), Bradley (2009, p. 3),
                                                not every plant, or every topic for a                                                                                                    Hodges (2010, pp. 4–5, 15), Bradley and
                                                plant, will be discussed below.                                      plots on Big Pine Key from data
                                                                                                                     collected in 2005, 2007, and 2013, also                             van der Heiden (2013, pp. 6–12, 19),
                                                   Chamaecrista lineata var. keyensis                                                                                                    Bradley et al. (2015, pp. 28–29), and
                                                (Big Pine partridge pea)                                             shows a decline.
                                                                                                                                                                                         Possley (2016, pers. comm.), of 26
                                                Species Description                                                  Linum arenicola (sand flax)                                         historical population records for Linum
                                                                                                                     Habitat                                                             arenicola, 12 populations are extant and
                                                  Please refer to the ‘‘Species
                                                                                                                                                                                         14 are extirpated (see Table 3), a loss of
                                                Description’’ section of the proposed                                   Please refer to the ‘‘Habitat’’ section of                       roughly 54 percent of known
                                                rule for the complete discussion. We                                 the proposed rule for the complete                                  populations, from the early 1900s to the
                                                make one minor editorial revision to our                             discussion. Under Roadsides and Other                               present.
                                                description of the plant’s fruit, as                                 Disturbed Sites, we make minor
                                                follows: The fruit is an elongate pod,                               editorial corrections concerning the                                  (3) Under Miami-Dade County, we
                                                roughly similar to that of a pea, 33–45                              plant’s persistence on roadsides, as                                correct the location of the seventh
                                                millimeters (mm) (1.3–1.8 inches (in))                               follows: Linum arenicola was at one                                 population of Linum arenicola, as
                                                long and 4.5–5.0 mm (0.19–0.17 in)                                   time more common in pine rocklands in                               follows: A seventh small population,
                                                wide, with a soft fuzzy texture, which                               Miami-Dade County, but a lack of                                    located in 2014 at Zoo Miami, (Possley
                                                turns gray with age and eventually splits                            periodic fires in most pine rocklands                               2016, pers. comm.) is located on county
                                                open to release seeds (Irwin and                                     fragments over the last century has                                 land.
                                                Barneby 1982, p. 757; Small 1933, pp.                                pushed this species into the more                                     (4) As a result of the corrections
                                                662–663).                                                            sunny, artificial environments it prefers                           described in (1) through (3), above, we
                                                                                                                     (Bradley and Gann 1999, p. 61).                                     present a revised version of the
                                                Habitat                                                                                                                                  proposed rule’s Table 3 (note: in the
                                                                                                                        Please refer to the ‘‘Current Range,
                                                   Please refer to the ‘‘Habitat’’ section of                        Population Estimates, and Status’’                                  following table, USFWS stands for U.S.
                                                the proposed rule for the complete                                   section of the proposed rule for the                                Fish and Wildlife Service; FWC stands
                                                discussion. In the Pine Rocklands                                    complete discussion. We make the                                    for Florida Fish and Wildlife
                                                discussion, we correct the following                                 following corrections to that discussion:                           Conservation Commission; HARB
                                                names of species: Quercus elliottii                                     (1) We correct the description of the                            stands for Homestead Air Reserve Base;
                                                (running oak) is corrected to Quercus                                current distribution of Linum arenicola                             and SOCSOUTH stands for Special
                                                elliottii (running oak), and Psidium                                 in Miami-Dade County, as follows: In                                Operations Command South
                                                longipes (longstalked stopper) is                                    Miami-Dade County, the current                                      Headquarters):

                                                               TABLE 3—SUMMARY OF THE STATUS AND TRENDS OF THE KNOWN OCCURRENCES OF Linum arenicola
                                                                                                                                                    Most Recent Population
                                                                      Population                                       Ownership                                                                     County                      Trend
                                                                                                                                                          Estimate

                                                                                                                                      Extant      12 records

                                                Big Pine Key ..............................................     USFWS, FWC,                    2,676 (2007) 1 ...........................      Monroe ..............   declining.
                                                                                                                  TNC 12, Private.
                                                Upper Sugarloaf Key ..................................          FDOT 13, USFWS ....            73 (2010) 2 ................................    Monroe ..............   insufficient   data.
                                                Lower Sugarloaf Key ..................................          FDOT 13, USFWS ....            531 (2010) 2 ..............................     Monroe ..............   stable.
                                                Big Torch Key ............................................      FDOT 13, Private ......        1 (2010) 2 ..................................   Monroe ..............   declining.
                                                Zoo Miami ..................................................    Miami-Dade County              56 (2014) 5 ................................    Miami-Dade ......       insufficient   data.
                                                Martinez Pineland ......................................        Miami-Dade County              100–200 (2013) 6 ......................         Miami-Dade ......       insufficient   data.
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                                                Everglades Archery Range ........................               Miami-Dade County              23 (2012) 7 ................................    Miami-Dade ......       insufficient   data.
                                                HAFB 15 1—S of Naizare BLVD .................                   DOD 14, Miami-Dade             24,000 (2013) 7 .........................       Miami-Dade ......       stable.
                                                                                                                  County.
                                                SOCSOUTH (HAFB 2—NW side of Bikini                              DOD 14 (leased from            74,000 (2009) 7 10 ......................       Miami-Dade ......       stable.
                                                 BLVD).                                                           Miami-Dade Coun-
                                                                                                                  ty).
                                                HARB (SW 288 St. and 132 Ave) .............                     DOD 14 .....................   37 (2011) 7 ................................    Miami-Dade ......       insufficient data.
                                                C–102 Canal SW 248 St. to U.S. 1 ...........                    SFWMD 11 ...............       1,000–10,000 (2013) 7 ..............            Miami-Dade ......       insufficient data.



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                                                66844              Federal Register / Vol. 81, No. 189 / Thursday, September 29, 2016 / Rules and Regulations

                                                     TABLE 3—SUMMARY OF THE STATUS AND TRENDS OF THE KNOWN OCCURRENCES OF Linum arenicola—Continued
                                                                                                                                                       Most Recent Population
                                                                       Population                                        Ownership                                                                        County                   Trend
                                                                                                                                                             Estimate

                                                L–31E canal, from SW 328 St. to Card                              SFWMD 11 ...............        Plants occur along 14 km (8.7                       Miami-Dade ......   insufficient data.
                                                  Sound Road.                                                                                       mi) of levee (2013) 7.

                                                                                                                                      Extirpated        14 records

                                                Middle Torch Key .......................................          FWC, FDOT13 .........           3 (2005) 3 .................................        Monroe.
                                                Ramrod Key ...............................................        FDOT13 ....................     110 (1979) 4 .............................          Monroe.
                                                Park Key .....................................................    FDOT13 ....................     unknown (1961) 3 .....................              Monroe.
                                                Boca Chica .................................................      DOD14, other (un-               unknown (1912) 3 .....................              Monroe.
                                                                                                                    known).
                                                Camp Jackson ...........................................          unknown ..................      unknown (1907) 9 .....................              Miami-Dade.
                                                Big Hammock Prairie .................................             unknown ..................      unknown (1911) 9 .....................              Miami-Dade.
                                                Camp Owaissa Bauer ................................               Miami-Dade County               10 (1983) 7 ...............................         Miami-Dade.
                                                Allapatah Drive and Old Cutler Road ........                      Private .....................   256 (1996) 8 .............................          Miami-Dade.
                                                Bauer Drive (Country Ridge Estates) ........                      Miami-Dade County               8 (1996) 8 .................................        Miami-Dade.
                                                Silver Green Cemetery ..............................              Private .....................   47 (1996) 8 ...............................         Miami-Dade.
                                                Palmetto Bay Village Center ......................                Private .....................   12 (1996) 8 ...............................         Miami-Dade.
                                                HAFB (Community Partnership Drive) .......                        DOD14, Miami-Dade               unknown (2010) 7 .....................              Miami-Dade.
                                                                                                                    County.
                                                Coco Plum Circle (corner of Robles Street                         Private .....................   75 (1996)     8   ...............................   Miami-Dade.
                                                  & Vista Mar Street).
                                                George Avery Pineland Preserve ..............                     Private .....................   ‘‘small colony’’ (2002)          7   ............   Miami-Dade.
                                                   1 Bradley  and Saha 2009, p. 10.
                                                   2 Hodges 2010, p. 10.
                                                   3 Hodges and Bradley 2006, pp. 39–48.
                                                   4 Austin et al. 1980 in FNAI.
                                                   5 Possley 2016, pers. comm., p. 11.
                                                   6 Possley 2014, pers. comm.
                                                   7 Bradley and Van Der Heiden 2013, pp. 6–11.
                                                   8 Kernan and Bradley 1996, p. 9.
                                                   9 Bradley and Gann 1999, p. 65.
                                                   10 Bradley 2009, p. 3.
                                                   11 South Florida Water Management District (SFWMD).
                                                   12 The Nature Conservancy (TNC).
                                                   13 Florida Department of Transportation (FDOT).
                                                   14 Department of Defense (DOD).
                                                   15 Homestead Air Force Base (HAFB; decommissioned).




                                                Biology                                                                rule for the complete discussion. We                                    Current Range, Population Estimates,
                                                   Please refer to the ‘‘Biology’’ section                             clarify the description of the leaves of                                and Status
                                                of the proposed rule for the complete                                  Argythamnia blodgettii, as follows: The
                                                                                                                       leaves, arranged alternately along the                                     Please refer to the ‘‘Current Range,
                                                discussion.
                                                   We revise the Life History and                                      stems, are 1.5 to 4.0 centimeters (cm)                                  Population Estimates, and Status’’
                                                Reproduction discussion to read:                                       (0.6 to 1.6 in) long, have smooth (or                                   section of the proposed rule for the
                                                   Life History and Reproduction: Little                               rarely toothed) edges, are oval or elliptic                             complete discussion. We make the
                                                is known about the life history of Linum                               in shape, and often are colored a                                       following corrections to that discussion:
                                                arenicola, including pollination biology,                              distinctive, metallic bluish green when                                    (1) We correct the data in Table 4,
                                                seed production, or dispersal.                                         dried.                                                                  presented below. (Note: In the following
                                                Reproduction is sexual, with new plants                                                                                                        table, USFWS stands for U.S. Fish and
                                                generated from seeds. L. arenicola is                                  Taxonomy                                                                Wildlife Service; FWC stands for Florida
                                                apparently self-compatible (Harris 2016,                                                                                                       Fish and Wildlife Conservation
                                                pers. comm.). The species produces                                        Please refer to the ‘‘Taxonomy’’
                                                                                                                       section of the proposed rule for the                                    Commission; DOD stands for
                                                flowers nearly year round, with                                                                                                                Department of Defense; and ENP stands
                                                maximum flowering from April to                                        complete discussion.
                                                                                                                                                                                               for Everglades National Park.)
                                                September, with a peak around March                                       To the end of the first paragraph, we
                                                and April. L. arenicola population                                     add the following: Ingram (1952)                                           (2) Because of the corrections
                                                demographics or longevity have not                                     indicates the distribution of                                           presented below for Table 4, the text
                                                been studied (Bradley and Gann, 1999,                                  Argythamnia argothamnoides                                              preceding the table in the proposed rule
                                                p. 65; Hodges and Bradley 2006, p. 41;                                 (including Florida material) as Florida                                 is now incorrect. Based on the data
                                                Hodges 2007, p. 2; Harris 2016, pers.                                  and Venezuela. As such, the Service                                     presented below in Table 4, there are 50
                                                comm.).                                                                                                                                        records for Argythamnia blodgettii in
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                                                                                                                       accepts the treatment of Argythamnia
                                                   Argythamnia blodgettii (Blodgett’s                                  blodgettii as a distinct species and                                    Miami-Dade and Monroe Counties.
                                                silverbush)                                                                                                                                    Twenty populations are extant, 15 are
                                                                                                                       therefore does not find a compelling
                                                Species Description                                                    justification to remove the species from                                extirpated, and the status of 15 is
                                                                                                                       consideration for listing under the Act.                                uncertain because they have not been
                                                  Please refer to the ‘‘Species
                                                Description’’ section of the proposed                                                                                                          surveyed in 15 years or more.



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                                                                   Federal Register / Vol. 81, No. 189 / Thursday, September 29, 2016 / Rules and Regulations                                                                                    66845

                                                          TABLE 4—SUMMARY OF THE STATUS AND TRENDS OF THE KNOWN OCCURRENCES OF Argythamnia blodgettii
                                                                                                                                                        Most recent population
                                                                       Population                                        Ownership                                                                        County                        Trend
                                                                                                                                                               estimate

                                                                                                                                         Extant      20 records

                                                Plantation Key, Snake Creek Hammock ...                           FWC ........................    101–1,000 (2005) 2 ...................            Monroe    ..............   Insufficient   data.
                                                Lower Matecumbe Key—Klopp Tract ........                          FDEP 6 .....................    11–100 (2000) 2 ........................          Monroe    ..............   Insufficient   data.
                                                Lignumvitae Key .........................................         FDEP 6 .....................    101–1,000 (2005) 2 ...................            Monroe    ..............   Insufficient   data.
                                                Big Munson Island .....................................           Private (Boy Scouts             1,001–10,000 (2005) 2 ..............              Monroe    ..............   Insufficient   data.
                                                                                                                    of America).
                                                North Key Largo .........................................         DOD, FDOT .............         No estimate (2005) 8 .................            Monroe ..............      Insufficient data.
                                                Key Largo—Dove Creek Hammock ...........                          FWC, FDOT .............         11–100 (2005) 2 ........................          Monroe ..............      Insufficient data.
                                                Vaca Key (Marathon)—Blue Heron Ham-                               FWC, FDOT .............         11–100 (2005) 2 ........................          Monroe ..............      Insufficient data.
                                                  mock.
                                                Windley Key—State Park ...........................                FDEP 6 .....................    11–100 (2005) 2 ........................          Monroe ..............      Insufficient data.
                                                Boca Chica KWNAS 7 Runway 25 .............                        DOD .........................   1,001–10,000 (2004) 2 ..............              Monroe ..............      Insufficient data.
                                                Boca Chica Key KWNAS 7 Weapons Ham-                               DOD .........................   200 (2004) 2 ..............................       Monroe ..............      Insufficient data.
                                                  mock.
                                                Big Pine Key ..............................................       USFWS, FWC, pri-                ∼2,200 (2005) 2 .........................         Monroe ..............      Insufficient data.
                                                                                                                   vate.
                                                ENP Long Pine Key Deer Hammock area                               NPS 5 .......................   2,000 (2015) 4 ...........................        Miami-Dade ......          Insufficient data.
                                                  (Pine Block A), Turkey Hammock area
                                                  (Pine Block B), Pine Block E.
                                                Fuch’s Hammock .......................................            Miami-Dade County               12 (2008) 1 ..........................            Miami-Dade ......          Insufficient data.
                                                Owaissa Bauer Addition .............................              Miami Dade Parks                377 (2014) 9 ..............................       Miami-Dade ......          Insufficient data.
                                                                                                                    and Recreation.
                                                Camp Owaissa Bauer ................................               Miami Dade Parks                878 (2009) 9 ..............................       Miami-Dade ......          Insufficient data.
                                                                                                                    and Recreation.
                                                Ned Glenn Pineland Preserve ...................                   Miami Dade Parks                8 (2016) 10 ................................      Miami-Dade ......          Insufficient data.
                                                                                                                    and Recreation.
                                                Camp Choee ..............................................         Private (Girl Scout             3 (2005) 3 ..................................     Miami-Dade ......          Insufficient data.
                                                                                                                    Council of Tropical
                                                                                                                    Florida).
                                                Florida Power and Light Easement adja-                            Private .....................   7 (2015) 9 ..................................     Miami-Dade ......          Insufficient data.
                                                  cent to Ludlam Preserve.
                                                Larry and Penny Thompson Park ..............                      Miami Dade Parks                5,700 (2009) 9 ...........................        Miami-Dade ......          Insufficient data.
                                                                                                                    and Recreation.
                                                Boystown Pineland .....................................           Private .....................   No estimate (2005) 3 .................            Miami-Dade ......          Insufficient data.

                                                                                                                                       Uncertain        15 records

                                                Crawl Key, Forestiera Hammock ...............                     Private .....................   10 (1982) 3 ................................      Monroe ..............      Insufficient   data.
                                                Long Key State Park ..................................            FDEP .......................    No estimate (1999) 2 .................            Monroe ..............      Insufficient   data.
                                                Stock Island ................................................     Private .....................   No estimate (1981) 2 .................            Monroe ..............      Insufficient   data.
                                                Boot Key .....................................................    Private .....................   11–100 (1998) 2 ........................          Monroe ..............      Insufficient   data.
                                                Deering Estate ...........................................        State of Florida ........       11–100 (1991) 1 ........................          Miami-Dade ......          Insufficient   data.
                                                Castellow Hammock ..................................              Miami Dade Parks                11–100 (1991) 1 ........................          Miami-Dade ......          Insufficient   data.
                                                                                                                    and Recreation.
                                                Pine Ridge Sanctuary ................................             Private .....................   2–10 (1992) 1 ............................        Miami-Dade       ......    Insufficient   data.
                                                County Ridge Estates ................................             Private .....................   11–100 (1999) 1 ........................          Miami-Dade       ......    Insufficient   data.
                                                Epmore Drive pineland ..............................              Private .....................   2–10 (1999) 1 ............................        Miami-Dade       ......    Insufficient   data.
                                                Gifford Arboretum Pineland .......................                Private .....................   2–10 (1999) 1 ............................        Miami-Dade       ......    Insufficient   data.
                                                Ned Glenn Nature Preserve ......................                  Miami Dade Parks                11–100 (1999) 1 ........................          Miami-Dade       ......    Insufficient   data.
                                                                                                                    and Recreation.
                                                Natural Forest Community #317 ................                    Private .....................   2–10 (1999) 1 ............................        Miami-Dade       ......    Insufficient   data.
                                                Old Dixie pineland ......................................         Private .....................   11–100 (1999) 1 ........................          Miami-Dade       ......    Insufficient   data.
                                                Castellow #33 .............................................       Private .....................   12 (1995) 3 ..........................            Miami-Dade       ......    Insufficient   data.
                                                Castellow #31 .............................................       Private .....................   30 –50 (1995) 3 .........................         Miami-Dade       ......    Insufficient   data.

                                                                                                                                      Extirpated        15 records

                                                Upper Matecumbe Key ..............................                unknown ..................      No estimate (1967) 3 ...........                  Monroe.
                                                Totten Key ..................................................     NPS .........................   No estimate (1904) 1 .................            Monroe.
                                                Key West ....................................................     City of Key West ......         No estimate (1965) 1 .................            Monroe.
                                                SW 184th St. and 83rd Ave. ......................                 Private .....................   0 (2016) 10 ................................      Miami-Dade ......          Insufficient data.
                                                Tropical Park Pineland ...............................            Miami Dade Parks                0 (2016) 9 ..................................     Miami-Dade.
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                                                                                                                    and Recreation.
                                                Crandon Park—Key Biscayne ...................                     Miami Dade Parks                0 (2008) 9 ..................................     Miami-Dade.
                                                                                                                    and Recreation.
                                                Brickell Hammock ......................................           unknown ..................      Extirpated     1937 1    ......................   Miami-Dade.
                                                Carribean Park ...........................................        Miami-Dade County               Extirpated     1998 1    ......................   Miami-Dade.
                                                Coconut Grove ...........................................         Miami-Dade County               Extirpated     1901 1    ......................   Miami-Dade.
                                                Coral Gables area ......................................          unknown ..................      Extirpated     1967 1    ......................   Miami-Dade.
                                                Miller and 72nd Ave ...................................           unknown ..................      Extirpated     1975 1    ......................   Miami-Dade.



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                                                66846              Federal Register / Vol. 81, No. 189 / Thursday, September 29, 2016 / Rules and Regulations

                                                        TABLE 4—SUMMARY OF THE STATUS AND TRENDS OF THE KNOWN OCCURRENCES OF Argythamnia blodgettii—
                                                                                                Continued
                                                                                                                                                        Most recent population
                                                                       Population                                         Ownership                                                               County            Trend
                                                                                                                                                               estimate

                                                Orchid Jungle .............................................        Miami-Dade County               Extirpated 1930 1 ......................   Miami-Dade.
                                                Palms Woodlawn Cemetery .......................                    Private .....................   Extirpated 1992 1 ......................   Miami-Dade.
                                                South of Miami River .................................             unknown ..................      Extirpated 1913 1 ......................   Miami-Dade.
                                                Naranja .......................................................    Private .....................   No estimate (1974) 3 .................     Miami-Dade.
                                                   1 Bradley and Gann 1999, p. 6.
                                                   2 Hodges   and Bradley 2006, pp. 10–17.
                                                   3 FNAI  2011b.
                                                   4 Sadle 2015, pers. comm., p. 1.
                                                   5 National Park Service (NPS).
                                                   6 Florida Department of Environmental Protection (FDEP).
                                                   7 Key West Naval Air Station (KWNAS).
                                                   8 Henize and Hipes 2005, p. 25.
                                                   9 Possley 2016, pers. comm.
                                                   10 Lange 2016, pers. comm.




                                                Summary of Comments and                                                 information about the status of various                         ‘‘Taxonomy’’ sections of this rule and
                                                Recommendations                                                         populations of Linum arenicola and                              the proposed rule, there is a history of
                                                                                                                        Argythamnia blodgettii within Miami-                            changes to the classification of this
                                                  In the proposed rule published on
                                                                                                                        Dade County preserves. The peer                                 plant, with many based on studies that
                                                September 29, 2015 (80 FR 58536), we
                                                                                                                        reviewer suggested that the Service may                         do not include samples from across the
                                                requested that all interested parties
                                                                                                                        be overestimating the number of extant                          plant’s range, including the recent
                                                submit written comments on the
                                                                                                                        populations of A. blodgettii, referring to                      publication suggesting that
                                                proposal by November 30, 2015. We
                                                                                                                        outdated data for Tropical Park,                                Argythamnia blodgettii is synonymous
                                                also contacted appropriate Federal and
                                                                                                                        Martinez Preserve, and Crandon Park.                            with the wider ranging Ditaxis
                                                State agencies, scientific experts and
                                                                                                                        The reviewer also suggested the rule                            argothamnoides. However, the Service
                                                organizations, and other interested
                                                                                                                        should identify the separate parcels                            accepts the treatment of A. blodgettii as
                                                parties and invited them to comment on                                  within the Richmond Pinelands
                                                the proposal. Newspaper notices                                                                                                         a distinct species and therefore does not
                                                                                                                        complex (i.e., Ram Development                                  find a compelling justification to
                                                inviting general public comment were                                    Corporation, Martinez Pineland
                                                published in the Miami Herald and Key                                                                                                   remove the species from consideration
                                                                                                                        Preserve, Larry and Penny Thompson                              for listing under the Act.
                                                West Citizen. We did not receive any                                    Park, Zoo Miami, University of Florida,
                                                requests for a public hearing. All                                                                                                         (3) Comment: One reviewer
                                                                                                                        and those owned by the Department of                            commented on the need to include
                                                substantive information provided                                        Defense (DOD)).
                                                during the comment period has either                                                                                                    information about genetic studies in the
                                                                                                                           Our Response: The Service                                    document.
                                                been incorporated directly into this final                              appreciates the new information. We
                                                determination or is addressed below.                                                                                                       Our Response: No genetic studies of
                                                                                                                        have updated the tables, and associated                         Chamaecrista lineata var. keyensis,
                                                Peer Reviewer Comments                                                  text, summarizing the status and trends                         Chamaesyce deltoidea ssp. serpyllum,
                                                                                                                        of the known occurrences of Linum                               Linum arenicola, or Argythamnia
                                                   In accordance with our peer review                                   arenicola and Argythamnia blodgettii
                                                policy published on July 1, 1994 (59 FR                                                                                                 blodgettii have been conducted.
                                                                                                                        (Tables 3 and 4, above).
                                                34270), we solicited expert opinion                                        (2) Comment: Two peer reviewers and                             (4) Comment: One reviewer disagreed
                                                from three knowledgeable individuals                                    one public commenter identified a                               with our statement that there is no
                                                with scientific expertise that included                                 recent publication by Ramirez-Amezcua                           regulatory protection for State-listed
                                                familiarity with Chamaecrista lineata                                   and Steinman (2013) that included a                             plants on private lands through Florida
                                                var. keyensis, Chamaesyce deltoidea                                     treatment of the Argythamnia subgenus                           Administrative Code (FAC) 5B–40.
                                                ssp. serpyllum, Linum arenicola, and                                    Ditaxis in Mexico, stating that the range                          Our Response: The Service apologizes
                                                Argythamnia blodgettii and their                                        of A. argothamnoides includes Florida,                          for mischaracterizing the regulatory
                                                habitats, biological needs, and threats.                                which may bring into question the                               protections provided through FAC 5B–
                                                We received responses from all three                                    validity of A. blodgettii as a valid taxon.                     40. We have corrected this, and describe
                                                peer reviewers.                                                         One reviewer concluded that after                               the protections in detail in this final
                                                   We reviewed all comments received                                    reading the published information on                            rule under Factor D. The Inadequacy of
                                                from the peer reviewers for substantive                                 the subject, he did not find compelling                         Existing Regulatory Mechanisms, below.
                                                issues and new information regarding                                    information to suggest that Florida A.                             (5) Comment: One reviewer suggested
                                                the listing of Chamaecrista lineata var.                                blodgettii populations are synonymous                           future research in best practices for
                                                keyensis, Chamaesyce deltoidea ssp.                                     with Argythamnia spp. outside of                                mowing areas that support
                                                serpyllum, Linum arenicola, and                                         Florida. This reviewer also                                     Chamaecrista lineata var. keyensis,
                                                Argythamnia blodgettii. The peer                                        recommended that the Service treat A.                           Chamaesyce deltoidea ssp. serpyllum,
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                                                reviewers generally concurred with our                                  blodgettii as a distinct species, endemic                       Linum arenicola, and Argythamnia
                                                methods and conclusions, and provided                                   to Florida.                                                     blodgettii.
                                                additional information, clarifications,                                    Our Response: The Service has                                   Our Response: The Service agrees that
                                                and suggestions to improve this final                                   reviewed Ramirez-Amezcua and                                    the best mowing practices should be
                                                rule.                                                                   Steinman (2013) and additional                                  investigated to support the species. This
                                                   (1) Comment: One peer reviewer and                                   literature relating to the taxonomy of                          is a topic that will be addressed in the
                                                one public commenter provided new                                       Argythamnia blodgettii. As stated in the                        recovery planning process.


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                                                                 Federal Register / Vol. 81, No. 189 / Thursday, September 29, 2016 / Rules and Regulations                                      66847

                                                   (6) Comment: One reviewer provided                    No Name Key, and the Torch Keys. In                   keyensis, Chamaesyce deltoidea ssp.
                                                new information from an ongoing study                    addition, the number of aerially applied              serpyllum, Linum arenicola, or
                                                about the direct and indirect effects of                 naled (Dibrom®) treatments allowed on                 Argythamnia blodgettii.
                                                mosquito insecticide spray on flower                     NKDR has been limited since 2008
                                                                                                                                                               Comments From the State
                                                visitors and reproductive fitness of                     (FKMCD 2012, pp. 10–11). Zones that
                                                Chamaecrista lineata var. keyensis and                   include the core habitat used by pine                   We received comments from a peer
                                                Linum arenicola in the lower Florida                     rockland butterflies, and several linear              reviewer who is employed by the
                                                Keys. In addition, two public                            miles of pine rocklands habitat within                Florida Forest Service. Those comments
                                                commenters took issue with the section                   the Refuge-neighborhood interface, were               are addressed above under Peer
                                                of the proposed rule that discussed                      excluded from truck spray applications                Reviewer Comments in our responses to
                                                mosquito control pesticide applications                  (no-spray zones) (Anderson 2012, pers.                Comments (3) and (4).
                                                as a factor affecting pollinators of                     comm.; Service 2012, p. 32). These                    Public Comments
                                                Chamaecrista lineata var. keyensis,                      exclusions and buffer zones encompass
                                                Chamaesyce deltoidea ssp. serpyllum,                     over 95 percent of extant croton                         (8) Comment: One commenter
                                                Linum arenicola, and Argythamnia                         distribution on Big Pine Key, and                     opposed the proposed listing of the
                                                blodgettii. They asserted that the Service               include the majority of known recent                  plants on Big Pine Key, Florida. While
                                                made incorrect statements regarding the                  and historical Florida leafwing                       the commenter generally agreed with
                                                frequency and amount of mosquito                         population centers on the island                      the field data for the Chamaecrista
                                                control adulticide treatments in South                   (Salvato 2012, pers. comm.).                          lineata var. keyensis, Chamaesyce
                                                Florida. These public commenters                           Accordingly, the Service commends                   deltoidea ssp. serpyllum, Linum
                                                requested that any mention of pesticide                  the FKMCD for its cooperation in                      arenicola, and Argythamnia blodgettii,
                                                effects on pollinators be removed from                   recovering endangered butterflies and                 the commenter asserted the habitat can
                                                this final rule.                                         plants. Nevertheless, we are proceeding               no longer sustain these and other
                                                   Our Response: The Service                             cautiously and have initiated a multi-                federally protected endangered species
                                                appreciates the new information                          year research project to further                      going forward. The commenter
                                                provided by the peer reviewer. Data                      investigate the level of impact pesticides            described several alterations, including
                                                from ongoing studies in the lower                        have on these four plants.                            drainage canals and shallow wells for
                                                Florida Keys of L. arenicola flower                                                                            drainage, that they asserted have
                                                                                                         Federal Agency Comments                               permanently damaged the freshwater
                                                visitor observations show that sites not
                                                treated with adulticides had slightly                      (7) Comment: The U.S. Navy                          lens (convex layer of groundwater on
                                                higher fruit set rates than treated sites                expressed interest and a commitment to                top of a layer of denser saltwater) in the
                                                and pollinator-excluded experimental                     work proactively with the Service to                  Florida Keys. These alterations and sea
                                                trials. Several species of small bees were               coordinate on the proposed listing of                 level rise have permanently changed the
                                                observed frequenting flowers at                          Chamaecrista lineata var. keyensis,                   natural lens and the amount of
                                                untreated sites, while visitation was                    Chamaesyce deltoidea ssp. serpyllum,                  freshwater available to these species,
                                                much less frequent at the treated site.                  Linum arenicola, and Argythamnia                      particularly in times of drought or
                                                Extensive studies in the Florida Keys                    blodgettii under the Act. Naval Air                   following a major hurricane event.
                                                suggest that broad spectrum insecticides                 Station (NAS) Key West, Florida, is                      Our Response: The Service
                                                negatively affect nontarget invertebrates,               subject to the NAS Key West Integrated                acknowledges the challenges faced by
                                                including pollinators (Hennessey 1991;                   Natural Resources Management Plan                     the Florida Keys due to salinization and
                                                Eliazar and Emmel 1991; Kevan et al.                     (INRMP). The Navy noted that the NAS                  sea level rise. These factors are
                                                1997; Salvato 2001; Bargar 2011; Hoang                   Key West INRMP was acknowledged in                    discussed at length in this final rule
                                                et al. 2011). In addition, pesticides have               the proposed listing rule as providing a              under Factor E. Other Natural or
                                                been shown to drift into adjacent                        conservation benefit to Argythamnia                   Manmade Factors Affecting Its
                                                undisturbed habitat that serves as a                     blodgettii habitat. The 2013 INRMP                    Continued Existence, below. In
                                                refuge for native biota (Hennessey 1992;                 update identified several Monroe                      addition, the Service agrees habitat loss
                                                Pierce et al. 2005; Zhong et al. 2010;                   County rare species, including                        or degradation is a factor that threatens
                                                Bargar 2011). These pesticides can be                    Chamaecrista lineata var. keyensis,                   Chamaecrista lineata var. keyensis,
                                                fatal to nontarget invertebrates that                    Chamaesyce deltoidea ssp. serpyllum,                  Chamaesyce deltoidea ssp. serpyllum,
                                                move between urban and forest habitats,                  and Linum arenicola, that do not occur                Linum arenicola, and Argythamnia
                                                altering ecological processes within                     on NAS Key West properties. The Navy                  blodgettii. However, we disagree that
                                                forest communities (Kevan and                            requested that the Service coordinate                 habitat on Big Pine Key can no longer
                                                Plowright 1989, 1995; Liu and Koptur                     with it prior to proposing critical habitat           sustain these or other federally
                                                2003).                                                   on Navy land for any of these species                 protected endangered species going
                                                   The Service believes that pesticide                   and to fully consider the benefits                    forward. Canals, which occur
                                                spraying may be a factor affecting the                   imparted to these species through                     throughout a large portion of Big Pine
                                                reproductive success of Chamaecrista                     INRMP implementation.                                 Key, have allowed saltwater intrusion
                                                lineata var. keyensis, Chamaesyce                          Our Response: We appreciate the U.S.                into upland areas of the island for
                                                deltoidea ssp. serpyllum, Linum                          Navy’s interest and commitment to                     decades, threatening upland
                                                arenicola, and Argythamnia blodgettii.                   work proactively with the Service to                  ecosystems. However, habitat
                                                However, we acknowledge that                             conserve Argythamnia blodgettii. In                   restoration is ongoing across Big Pine
                                                pesticide spraying practices by the                      particular, NAS Key West has been                     Key, particularly within the pine
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                                                Florida Keys Mosquito Control District                   proactive in surveying for these species              rocklands and rockland hammocks.
                                                (FKMCD) at National Key Deer Refuge                      and updating the NAS Key West INRMP                   These restoration efforts are attempting
                                                (NKDR) have changed over the years to                    to include conservation measures for                  to protect the freshwater lens required
                                                reduce pesticide use. Since 2003,                        Argythamnia blodgettii. The Service                   by native vegetation; this includes
                                                expanded larvicide treatments to                         will coordinate early with NAS Key                    filling or plugging drainage canals to
                                                surrounding islands have significantly                   West regarding any critical habitat                   reduce or halt seawater intrusion into
                                                reduced adulticide use on Big Pine Key,                  proposal for Chamaecrista lineata var.                upland areas.


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                                                66848            Federal Register / Vol. 81, No. 189 / Thursday, September 29, 2016 / Rules and Regulations

                                                Summary of Changes From the                              Florida, in which all four plants                        The marl prairies that also support
                                                Proposed Rule                                            primarily occur, is critically imperiled              Linum arenicola have similarly been
                                                  None of the new information we                         locally and globally (FNAI 2012, p. 27).              destroyed by the rapid development of
                                                received during the comment period on                    Destruction of pine rocklands and                     Miami-Dade and Monroe Counties. At
                                                the proposed rule changes our                            rockland hammocks has occurred since                  least some of the occurrences reported
                                                determinations in this final rule for                    the beginning of the 1900s. Extensive                 from this habitat may be the result of
                                                these four plants. Most of the changes                   land clearing for human population                    colonization that occurred after they
                                                are editorial in nature, and are described               growth, development, and agriculture in               were artificially dried-out due to local
                                                above in the Background section of this                  Miami-Dade and Monroe Counties has                    or regional drainage.
                                                rule. However, based on comments we                      altered, degraded, or destroyed                          Likewise, habitat modification and
                                                received from peer reviewers and the                     thousands of acres of these once                      destruction from residential and
                                                public, we make the following                            abundant ecosystems.                                  commercial development have severely
                                                substantive changes:                                        In Miami-Dade County, development                  impacted rockland hammocks, and
                                                  • We update the status of several                      and agriculture have reduced pine                     coastal berm, that support Argythamnia
                                                populations of Linum arenicola and                       rocklands habitat by 90 percent in                    blodgettii. Rockland hammocks were
                                                Argythamnia blodgettii;                                  mainland south Florida. Pine rocklands                once abundant in Miami-Dade and
                                                  • We update the discussion of the                      habitat decreased from approximately                  Monroe Counties but are now
                                                taxonomy of A. blodgettii to take into                   74,000 hectares (ha) (183,000 acres (ac))             considered imperiled locally and
                                                consideration a recent publication; and                  in the early 1900s, to only 8,140 ha                  globally (FNAI 2010x, pp. 24–26). The
                                                  • We update our discussion of                          (20,100 ac) in 1996 (Kernan and Bradley               tremendous development and
                                                pesticide applications and pollinators to                1996, p. 2). The largest remaining intact             agricultural pressures in south Florida
                                                reflect current application limitations                  pine rocklands (approximately 2,313 ha                have resulted in significant reductions
                                                now in effect on Big Pine Key.                           (5,716 ac)) is located on Long Pine Key               of rockland hammock, which is also
                                                                                                         in Everglades National Park (ENP).                    susceptible to fire, frost, hurricane
                                                Summary of Factors Affecting the                                                                               damage, and groundwater reduction
                                                Species                                                  Outside of ENP, only about 1 percent of
                                                                                                         the pine rocklands on the Miami Rock                  (Phillips 1940, p. 167; Snyder et al.
                                                  The Act directs us to determine                        Ridge have escaped clearing, and much                 1990, pp. 271–272; FNAI 2010, pp. 24–
                                                whether any species is an endangered                     of what is left are small remnants                    26).
                                                species or a threatened species because                                                                           Pine rocklands, rockland hammock,
                                                                                                         scattered throughout the Miami
                                                of any one of five factors affecting its                                                                       marl prairie, and coastal habitats on
                                                                                                         metropolitan area, isolated from other
                                                continued existence. In this section, we                                                                       private land remain vulnerable to
                                                                                                         natural areas (Herndon 1998, p. 1).                   development, which could lead to the
                                                summarize the biological condition of
                                                each of the plant species and its                           Similarly, most of the pine rocklands              loss of populations of these four species.
                                                resources, and the factors affecting                     in the Florida Keys (Monroe County)                   As noted earlier, all four plants have
                                                them, to assess the species’ overall                     have been impacted (Hodges and                        been impacted by development. The
                                                viability and the risks to that viability.               Bradley 2006, p. 6). Pine rocklands                   sites of Small’s 1907 and 1911 L.
                                                                                                         historically covered 1,049 ha (2,592 ac)              arenicola collections in Miami-Dade
                                                Factor A. The Present or Threatened                      of Big Pine Key (Folk 1991, p. 188), the              County are now agricultural fields
                                                Destruction, Modification, or                            largest area of pine rocklands in the                 (Kernan and Bradley 1996, p. 4). A pine
                                                Curtailment of Its Habitat or Range                      Florida Keys. Pine rocklands now cover                rocklands site that supported L.
                                                   Chamaecrista lineata var. keyensis,                   approximately 582 ha (1,438 ac) of the                arenicola on Vistalmar Street in Coral
                                                Chamaesyce deltoidea ssp. serpyllum,                     island, a reduction of 56 percent                     Gables (Miami-Dade County) was
                                                Linum arenicola, and Argythamnia                         (Bradley and Saha 2009, p. 3). There                  cleared and developed in 2005, as part
                                                blodgettii have experienced substantial                  were no estimates of pine rocklands area              of the growing the Cocoplum housing
                                                destruction, modification, and                           on the other islands historically, but                development. A second pine rocklands
                                                curtailment of their habitats and ranges.                each contained much smaller amounts                   site that supported L. arenicola, located
                                                Specific threats to these plants under                   of the habitat than Big Pine Key.                     on private land on Old Cutler Road, was
                                                this factor include habitat loss,                        Remaining pine rocklands on Cudjoe                    developed into the Palmetto Bay Village
                                                fragmentation, and modification caused                   Key cover 72 ha (178 ac), Little Pine has             Center. L. arenicola has not been
                                                by development (i.e., conversion to both                 53 ha (131 ac), No Name has 56 ha (138                observed at either site since they were
                                                urban and agricultural land uses) and                    ac), and Sugarloaf has 38 ha (94 ac). The             developed. A former marl prairie site
                                                inadequate fire management. Each of                      total area of remaining pine rocklands in             supporting a sizable population of L.
                                                these threats and its specific effects on                the Florida Keys is approximately 801                 arenicola near Old Cutler Road and
                                                these plants are discussed in detail                     ha (1,979 ac). Currently, about 478 ha                Allapatah Drive (SW 112 Ave) in
                                                below.                                                   (1,181 ac) (82 percent) of the pine                   Miami-Dade County was extirpated
                                                                                                         rocklands on Big Pine Key, and most of                when the site was developed in the
                                                Human Population Growth,                                 the pine rocklands on these other                     1990s (Bradley and van der Heiden
                                                Development, and Agricultural                            islands, are protected within the NKDR                2013, pp. 6–12, 19). The Boca Chica Key
                                                Conversion                                               and properties owned by the Nature                    population of L. arenicola was also
                                                   The modification and destruction of                   Conservancy, the State of Florida, and                likely lost due to development (Hodges
                                                the habitats that support Chamaecrista                   Monroe County (Bradley and Saha 2009,                 and Bradley 2006, p. 48).
                                                lineata var. keyensis, Chamaesyce                        pp. 3–4). Based on the data presented                    Bradley and Gann (1999, p. 6) list 12
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                                                deltoidea ssp. serpyllum, Linum                          above, the total remaining acreage of                 populations of Argythamnia blodgettii
                                                arenicola, and Argythamnia blodgettii                    pine rocklands in Miami-Dade and                      in Miami-Dade County that were lost
                                                has been extreme in most areas of                        Monroe Counties is now 8,981 ha                       when the site that supported them was
                                                Miami-Dade and Monroe Counties,                          (22,079 ac) (approximately 8,140 ha                   developed. An A. blodgettii population
                                                thereby reducing these plants’ current                   (20,100 ac) in Miami-Dade County, and                 on Key West was likely lost due to the
                                                ranges and abundance in Florida. The                     801 ha (1,979 ac) in the Florida Keys                 near complete urbanization of the island
                                                pine rocklands community of south                        (Monroe County)).                                     (Hodges and Bradley 2006, p. 43). Any


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                                                                 Federal Register / Vol. 81, No. 189 / Thursday, September 29, 2016 / Rules and Regulations                                     66849

                                                development related to the Boy Scout                     manage 15 ha (39 ac) of pine rocklands                to development, the size and extent of
                                                camp on Big Munson Island is a                           and 2 ha (4 ac) of rockland hammock.                  these populations have been reduced on
                                                potential threat to the largest population               A second project that would result in                 Big Pine Key (and surrounding islands
                                                A. blodgettii.                                           the loss of pine rocklands habitat is also            for Chamaecrista lineata var. keyensis).
                                                   The largest Linum arenicola                           proposed for the Richmond pine                        The total area of pine rocklands on Big
                                                population in Miami-Dade County is                       rocklands. It includes expanding the                  Pine Key has decreased by 56 percent
                                                located on property owned by the                         Miami Zoo complex to develop an                       from 1955 to the present (Bradley and
                                                Miami-Dade County Homeless Trust.                        amusement park and large retail mall.                 Saha 2009, p. 3).
                                                U.S. Special Operations Command                             Approximately 25 percent of extant                    The human population within Miami-
                                                South Headquarters (SOCSOUTH), a                         Linum arenicola occurrences (3 of 12                  Dade County is currently greater than
                                                unified command of all four services of                  sites), and 40 percent of extant                      2.4 million people, and is expected to
                                                DOD, has entered into a 50-year                          Argythamnia blodgettii occurrences (14                grow to more than 4 million by 2060, an
                                                agreement with Miami-Dade County to                      of 35 sites), are located on private land;            annual increase of roughly 30,000
                                                lease this 90-ac (36.4-ha) area, where                   no extant populations of Chamaecrista                 people (Zwick and Carr 2006, p. 20).
                                                they are building a permanent                            lineata var. keyensis or Chamaesyce                   Overall, the human population in
                                                headquarters on approximately 28 ac                      deltoidea ssp. serpyllum are located                  Monroe County is expected to increase
                                                (11.3 ha) (DOD 2009, p. 1). As stated                    entirely on private land. It is possible              from 79,589 to more than 92,287 people
                                                above, the population of L. arenicola is                 that the plants on private lands will be              by 2060 (Zwick and Carr 2006, p. 21).
                                                spread across the site and was estimated                 lost from most of these sites in the                  All vacant land in the Florida Keys is
                                                at 74,000 plants in 2009 (Bradley 2009,                  future with increased pressure from                   projected to be developed by then,
                                                p. 3). In consultation with the Service,                 development and the other threats                     including lands currently inaccessible
                                                the DOD developed a plan that avoided                    described below.                                      for development, such as islands not
                                                the majority of the population with                         Argythamnia blodgettii is the only                 attached to the Overseas Highway (U.S.
                                                accompanying protection and                              one of the four plant species that occurs             1) (Zwick and Carr 2006, p. 14).
                                                management of approximately 57,725                       in ENP, where a population of over                    However, in an effort to address the
                                                individuals of sand flax (about 78                       2,000 plants is stable, and prescribed                impact of development on federally
                                                percent of the estimated onsite                          fire and other management activities                  listed species, Monroe County
                                                population) (Service 2011, p. 13). The                   that benefit A. blodgettii are conducted              implemented a habitat conservation
                                                plan will manage 5.95 ha (14.7 ac) of                    on a regular basis.                                   plan (HCP) for Big Pine and No Name
                                                habitat, though most of it is scraped,                      Most pine rocklands and rockland                   Keys in 2006. In order to fulfill the
                                                and only a small portion has a pine                      hammock habitat is now limited to                     HCP’s mitigation requirements, the
                                                canopy (Van der Heiden and Johnson                       public conservation lands, where future               County has been actively acquiring
                                                2013, p. 2). An additional 1.3 ha (3.2 ac)               development and habitat alteration are                parcels of high-quality pine rocklands,
                                                is being managed and supports 13,184                     less likely than on private lands.                    such as The Nature Conservancy’s 20-
                                                individuals of sand flax (about 18                       However, public lands could be sold off               acre Terrestris Tract on Big Pine Key,
                                                percent of the estimated onsite                          (or leased) in the future and become                  and managing them for conservation.
                                                population) (Service 2011, p. 13).                       more likely to be developed or altered                Although the HCP has helped to limit
                                                   Currently there are plans to develop a                in a way that negatively impacts the                  the impact of development, land
                                                55-ha (137-ac) privately-owned portion                   habitat. For example, at the SOCSOUTH                 development pressure and habitat losses
                                                of the largest remaining area of pine                    site noted above (leased to DOD by                    may resume when the HCP expires in
                                                rocklands habitat in Miami-Dade                          Miami-Dade County), ongoing                           2023. If the HCP is not renewed,
                                                County, the Richmond pine rocklands,                     development of headquarters buildings                 residential or commercial development
                                                with a shopping center and residential                   SOCSOUTH has resulted in the loss of                  could increase to pre-HCP levels.
                                                construction (RAM 2014, p. 2). Bradley                   L. arenicola and pine rocklands habitat                  While Miami-Dade and Monroe
                                                and Gann (1999, p. 4) called the 345-ha                  (Bradley and van der Heiden 2013, pp.                 County both have developed a network
                                                (853-ac) Richmond pine rocklands, ‘‘the                  8–10). Construction of visitor facilities             of public conservation lands that
                                                largest and most important area of pine                  such as parking lots, roads, trails, and              include pine rocklands, rockland
                                                rockland in Miami-Dade County outside                    buildings can result in habitat loss on               hammocks, marl prairies, and coastal
                                                of Everglades National Park.’’                           public lands that are set aside as                    habitats, much of the remaining habitat
                                                Populations of Argythamnia blodgettii                    preserves or parks.                                   occurs on private lands as well as
                                                and Linum arenicola, along with                             Roadside populations of                            publicly owned lands not managed for
                                                numerous federally listed species, occur                 Chamaecrista lineata var. keyensis,                   conservation. Species occurrences and
                                                in habitat adjacent to the area slated for               Chamaesyce deltoidea ssp. serpyllum,                  suitable habitat remaining on these
                                                development. The Miami-Dade County                       Linum arenicola, and Argythamnia                      lands are threatened by habitat loss and
                                                Department of Regulatory and Economic                    blodgettii are vulnerable to habitat loss             degradation, and threats are expected to
                                                Resources (RER) has completed a                          and modification stemming from                        accelerate with increased development.
                                                management plan for county-owned                         infrastructure projects such as road                  Further losses will seriously affect the
                                                portions of the Richmond pine                            widening, and installation of                         four plant species’ ability to persist in
                                                rocklands (Martinez Pineland Preserve,                   underground cable, sewer, and water                   the wild and decrease the possibility of
                                                Larry and Penny Thompson Park) under                     lines. The Lower Sugarloaf Key                        their recovery or recolonization.
                                                a grant from the Service and is leading                  population of Linum arenicola was
                                                the restoration and management of these                  impacted by repaving of the road, which               Habitat Fragmentation
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                                                areas (Bradley and Gann 1999, p. 4). The                 placed asphalt on top of and adjacent to                 The remaining pine rocklands in the
                                                developer has proposed to enter into a                   the population (Hodges and Bradley                    Miami metropolitan area are severely
                                                habitat conservation plan in conjunction                 2006, p. 41).                                         fragmented and isolated from each other
                                                with their plans to develop their portion                   Although no entire populations of                  by vast areas of development.
                                                of the site and was required by Miami-                   Chamaecrista lineata var. keyensis or                 Remaining pine rockland areas in the
                                                Dade County Natural Forest Community                     Chamaesyce deltoidea ssp. serpyllum                   Florida Keys are fragmented and are
                                                (NFC) regulations to set aside and                       have been extirpated by habitat loss due              located on small islands separated by


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                                                66850            Federal Register / Vol. 81, No. 189 / Thursday, September 29, 2016 / Rules and Regulations

                                                ocean. Habitat fragmentation reduces                     1227; Harris and Johnson 2004, pp. 30–                blodgettii is habitat modification and
                                                the size of plant populations and                        33). As a result, plants in fragmented                degradation through inadequate fire
                                                increases spatial isolation of remnants.                 habitats may experience lower visitation              management, which includes both the
                                                Barrios et al. (2011, p. 1062)                           rates, which in turn may result in                    lack of prescribed fire and suppression
                                                investigated the effects of fragmentation                reduced seed production of the                        of natural fires. Where the term ‘‘fire-
                                                on a pine rocklands plant, Angadenia                     pollinated plant (which may lead to                   suppressed’’ is used below, it describes
                                                berteroi (pineland golden trumpet),                      reduced seedling recruitment), reduced                degraded pine rocklands conditions
                                                which is recognized by the State of                      pollen dispersal, increased inbreeding,               resulting from a lack of adequate fire
                                                Florida as threatened, and found that                    reduced genetic variability, and                      (natural or prescribed) in the landscape.
                                                abundance and fragment size were                         ultimately reduced population viability               Historically, frequent (approximately
                                                positively related. Possley et al. (2008,                (Rathcke and Jules 1993, p. 275;                      twice per decade), lightning-induced
                                                p. 385) studied the effects of fragment                  Goverde et al. 2002, pp. 297–298; Harris              fires were a vital component in
                                                size on species composition in south                     and Johnson 2004, pp. 33–34).                         maintaining native vegetation and
                                                Florida pine rocklands, and found that                      In addition to affecting pollination,              ecosystem functioning within south
                                                plant species richness and fragment size                 fragmentation of natural habitats often               Florida pine rocklands. A period of just
                                                were positively correlated (although                     alters other ecosystems’ functions and                10 years without fire may result in a
                                                some small fragments supported nearly                    disturbance regimes. Fragmentation                    marked decrease in the number of
                                                as many species as the largest fragment).                results in an increased proportion of                 herbaceous species due to the effects of
                                                Composition of fragmented habitat                        ‘‘edge’’ habitat, which in turn has a                 shading and litter accumulation (FNAI
                                                typically differs from that of intact                    variety of effects, including changes in              2010, p. 63). Exclusion of fire for
                                                forests; as isolation and edge effects                   microclimate and community structure                  approximately 25 years will likely result
                                                increase, there is increased abundance                   at various distances from the edge                    in gradual hammock development over
                                                of disturbance-adapted species (weedy                    (Margules and Pressey 2000, p. 248),                  that time period, leaving a system that
                                                species; nonnative, invasive species)                    altered spatial distribution of fire                  is very fire-resistant if additional pre-
                                                and lower rates of pollination and                       (greater fire frequency in areas nearer               fire management (e.g., mechanical
                                                propagule dispersal (Laurence and                        the edge) (Cochrane 2001, pp. 1518–                   hardwood removal) is not undertaken.
                                                Bierregaard 1997, pp. 347–350; Noss                      1519), and increased pressure from                       Today, natural fires are unlikely to
                                                and Csuti 1997, pp. 284–299). The                        nonnative, invasive plants and animals                occur or are likely to be suppressed in
                                                degree to which fragmentation threatens                  that may out-compete or disturb native                the remaining, highly fragmented pine
                                                the dispersal abilities of Chamaecrista                  plant populations. Liu and Koptur                     rocklands habitat. The suppression of
                                                lineata var. keyensis, Chamaesyce                        (2003, p. 1184) reported decreases in                 natural fires has reduced the size of the
                                                deltoidea ssp. serpyllum, Linum                          Chamaecrista lineata var. keyensis’s                  areas that burn, and habitat
                                                arenicola, and Argythamnia blodgettii is                 seed production in urban areas of Big                 fragmentation has prevented fire from
                                                unknown. In the historical landscape,                    Pine Key due to increased seed                        moving across the landscape in a
                                                where pine rocklands occurred within a                   predation, compared with areas away                   natural way. Without fire, successional
                                                mosaic of wetlands, water may have                       from development.                                     climax from pine rocklands to rockland
                                                                                                            The effects of fragmentation on fire go            hammock is rapid, and displacement of
                                                acted as a dispersal vector for all pine
                                                                                                         beyond edge effects and include                       native species by invasive, nonnative
                                                rocklands seeds. In the current,
                                                                                                         reduced likelihood and extent of fires,               plants often occurs. Understory plants
                                                fragmented landscape, this type of
                                                                                                         and altered behavior and characteristics              such as Chamaecrista lineata var.
                                                dispersal would no longer be possible
                                                                                                         (e.g., intensity) of those fires that do              keyensis, Chamaesyce deltoidea ssp.
                                                for any of the Miami-Dade populations.                   occur. Habitat fragmentation encourages               serpyllum, Linum arenicola, and
                                                While additional dispersal vectors may                   the suppression of naturally occurring                Argythamnia blodgettii are shaded out
                                                include animals and (in certain                          fires, and has prevented fire from                    by hardwoods and nonnatives alike.
                                                locations) mowing equipment, it is                       moving across the landscape in a                      Shading may also be caused by a fire-
                                                likely that fragmentation has effectively                natural way, resulting in an increased                suppressed pine canopy that has evaded
                                                reduced these plants’ ability to disperse                amount of habitat suffering from these                the natural thinning effects that fire has
                                                and exchange genetic material.                           negative impacts. High fragmentation of               on seedlings and smaller trees. Whether
                                                   While pollination research has not                    small habitat patches within an urban                 the dense canopy is composed of pine,
                                                been conducted for Chamaesyce                            matrix discourages the use of prescribed              hardwoods, nonnatives, or a
                                                deltoidea ssp. serpyllum, Linum                          fire as well due to logistical difficulties           combination, seed germination and
                                                arenicola, and Argythamnia blodgettii,                   (see ‘‘Fire Management,’’ below). Forest              establishment are inhibited in fire-
                                                research regarding other species and                     fragments in urban settings are also                  suppressed habitat due to accumulated
                                                ecosystems, including Chamaecrista                       subject to increased likelihood of certain            leaf litter, which also changes soil
                                                lineata var. keyensis (discussed below),                 types of human-related disturbance,                   moisture and nutrient availability (Hiers
                                                provides valuable information regarding                  such as the dumping of trash (Chavez                  et al. 2007, pp. 811–812). This alteration
                                                potential effects of fragmentation on                    and Tynon 2000, p. 405). The many                     to microhabitat can also inhibit seedling
                                                these plants. Effects of fragmentation on                effects of habitat fragmentation may                  establishment as well as negatively
                                                pollinators may include changes to the                   work in concert to threaten the local                 influence flower and fruit production
                                                pollinator community as a result of                      persistence of a species; when a species’             (Wendelberger and Maschinski 2009,
                                                limitation of pollinator-required                        range of occurrence is limited, threats to            pp. 849–851), thereby reducing sexual
                                                resources (e.g., reduced availability of                 local persistence increase extinction                 reproduction in fire-adapted species
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                                                rendezvous plants, nesting and roosting                  risk.                                                 such as Chamaecrista lineata var.
                                                sites, and nectar/pollen); these changes                                                                       keyensis, Chamaesyce deltoidea ssp.
                                                may include changes to pollinator                        Fire Management                                       serpyllum, L. arenicola, and A.
                                                community composition, species                             One of the primary threats to                       blodgettii (Geiger 2002, pp. 78–79, 81–
                                                abundance and diversity, and pollinator                  Chamaecrista lineata var. keyensis,                   83).
                                                behavior (Rathcke and Jules 1993, pp.                    Chamaesyce deltoidea ssp. serpyllum,                     After an extended period of
                                                273–275; Kremen and Ricketts 2000, p.                    Linum arenicola, and Argythamnia                      inadequate fire management in pine


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                                                                 Federal Register / Vol. 81, No. 189 / Thursday, September 29, 2016 / Rules and Regulations                                      66851

                                                rocklands, it becomes necessary to                          In Miami-Dade County, Linum                        rocklands in the lower Keys have
                                                control invading native hardwoods                        arenicola occurred along the south edge               burned at least every 5 years and
                                                mechanically, as excess growth of native                 of Bauer Drive on the northern border of              sometimes up to three times per decade
                                                hardwoods would result in a hot fire,                    a pine rockland owned by Miami-Dade                   historically (Albritton 2009, p. 123;
                                                which can kill mature pines.                             County. The property is occupied by a                 Horn et al. 2013, pp. 1–67; Harley 2012,
                                                Mechanical treatments cannot entirely                    communications tower, and is not a                    pp. 1–246). From 1985 to 1992,
                                                replace fire because pine trees,                         managed preserve. Kernan and Bradley                  prescribed burns were conducted in the
                                                understory shrubs, grasses, and herbs all                (1996) reported eight plants. At the time             NKDR mainly for fuel reduction. There
                                                contribute to an ever-increasing layer of                (1992 through 1996), the road shoulder                was no prescribed burning by Service
                                                leaf litter, covering herbs and preventing               was dominated by native grasses. Since                staff in the NKDR from 1992–1997, in
                                                germination, as discussed above. Leaf                    then, native canopy hardwoods have                    part because not enough was known
                                                litter will continue to accumulate even                  invaded the site and eliminated the                   about the ecological effects of prescribed
                                                if hardwoods are removed                                 sunny conditions required by L.                       fire in this system (Snyder et al. 1990,
                                                mechanically. In addition, the ashes left                arenicola. It has not been seen since,                p. 2).
                                                by fires provide important post-fire                     despite multiple surveys between 1997                    All occurrences of Chamaecrista
                                                nutrient cycling, which is not provided                  and 2012, and is considered to be                     lineata var. keyensis, Chamaesyce
                                                via mechanical removal.                                  extirpated. L. arenicola was discovered               deltoidea ssp. serpyllum, Linum
                                                   Federal (Service, NPS, FFS (Florida                   at Camp Owaissa Bauer by George N.                    arenicola, and Argythamnia blodgettii
                                                Forest Service)), State (FDEP, FWC), and                 Avery in 1983. Since that time, the pine              in the Florida Keys are affected by some
                                                County land managers (Miami-Dade                         rocklands habitat where he found the                  degree of inadequate fire management of
                                                RER and NAM (the Natural Areas                           plants in the park suffered extremely                 pine rocklands habitat, with the primary
                                                Management division of Department of                     heavy hardwood recruitment due to fire                threat being the modification and loss of
                                                Parks, Recreation and Open Spaces),                      suppression. Despite recent hardwood                  habitat due to an increase in shrub and
                                                and nonprofit organizations (Institute                   control and reintroduction of fire, no                hardwood dominance, eliminating
                                                for Regional Conservation (IRC), The                     plants have been relocated. Bradley and               suitable conditions for the four plants,
                                                Nature Conservancy (TNC)) implement                      Gann (1999, pp. 71–72) suggested that                 and eventual succession to rockland
                                                prescribed fire on public and private                    the lack of fires in most forest fragments            hammock.
                                                lands within the ranges of these four                    in Miami-Dade County during the last                     Prescribed fire management over the
                                                plants. While management of some                         century may be one of the reasons why                 past decade has not been sufficient to
                                                County conservation lands includes                       L. arenicola occurs primarily in                      reverse long-term declines in
                                                regular burning, other lands remain                      disturbed areas.                                      Chamaecrista lineata var. keyensis,
                                                severely fire-suppressed. Even in areas                                                                        Chamaesyce deltoidea ssp. serpyllum,
                                                under active management, some                               Monroe County (Florida Keys): Fire                 or Linum arenicola on Big Pine Key.
                                                portions are typically fire-suppressed.                  management of pine rocklands of the                   Prescribed fire activity on Big Pine Key
                                                   Miami-Dade County: Implementation                     lower Florida Keys, most of which are                 and adjacent islands within NKDR
                                                of a prescribed fire program in Miami-                   within NKDR, is hampered by a                         appears to be insufficient to prevent loss
                                                Dade County has been hampered by a                       shortage of resources, technical                      of pine rocklands habitat (Carlson et al.
                                                shortage of resources, as well as by                     challenges, and expense of conducting                 1993, p. 914; Bergh and Wisby 1996, pp.
                                                logistical difficulties and public concern               prescribed fire in a matrix of public and             1–2; O’Brien 1998, p. 209; Bradley and
                                                related to burning next to residential                   private ownership. Residential and                    Saha 2009, pp. 28–29; Bradley et al.
                                                areas. Many homes have been built in a                   commercial properties are embedded                    2011, pp. 1–16). As a result, many of the
                                                mosaic of pine rocklands, so the use of                  within or in close proximity to pine                  pine rocklands across NKDR are being
                                                prescribed fire in many places has                       rocklands habitat (Snyder et al. 2005, p.             compromised by succession to rockland
                                                become complicated because of                            2; C. Anderson 2012a, pers. comm.). As                hammock (Bradley and Saha 2009, pp.
                                                potential danger to structures and                       a result, hand or mechanical vegetation               28–29; Bradley et al. 2011, pp. 1–16).
                                                smoke generated from the burns.                          management may be necessary at select
                                                                                                         locations on Big Pine Key (Emmel et al.               Conservation Efforts To Reduce the
                                                Nonprofit organizations such as IRC
                                                                                                         1995, p. 11; Minno 2009, pers. comm.;                 Present or Threatened Destruction,
                                                have similar difficulties in conducting
                                                                                                         Service 2010, pp. 1–68) to maintain or                Modification, or Curtailment of Habitat
                                                prescribed burns due to difficulties with
                                                                                                         restore pine rocklands. Mechanical                    or Range
                                                permitting and obtaining the necessary
                                                permissions as well as hazard insurance                  treatments may be less beneficial than                   Miami-Dade County Environmentally
                                                limitations (Gann 2013a, pers. comm.).                   fire because they do not quickly convert              Endangered Lands (EEL) Covenant
                                                Few private landowners have the means                    debris to nutrients, and remaining leaf               Program: In 1979, Miami-Dade County
                                                or desire to implement prescribed fire                   litter may suppress seedling                          enacted the Environmentally
                                                on their property, and doing so in a                     development; fire has also been found to              Endangered Lands (EEL) Covenant
                                                fragmented urban environment is                          stimulate seedling germination (C.                    Program, which reduces taxes for
                                                logistically difficult and may be costly.                Anderson 2010, pers. comm.). Because                  private landowners of natural forest
                                                   All occurrences of Linum arenicola                    mechanical treatments may not provide                 communities (NFCs; pine rocklands and
                                                and Argythamnia blodgettii in Miami-                     the same ecological benefits as fire,                 tropical hardwood hammocks) who
                                                Dade County are affected by some                         NKDR continues to focus efforts on                    agree not to develop their property and
                                                degree of inadequate fire management of                  conducting prescribed fire where                      manage it for a period of 10 years, with
                                                pine rocklands and marl prairie habitat,                 possible (C. Anderson 2012a, pers.                    the option to renew for additional 10-
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                                                with the primary threat being the                        comm.). However, the majority of pine                 year periods (Service 1999, p. 3–177).
                                                modification and loss of habitat due to                  rocklands within NKDR are several                     Although these temporary conservation
                                                an increase in shrub and hardwood                        years behind the ideal fire return                    easements provide valuable protection
                                                dominance, eliminating suitable                          interval (5–7 years) suggested for this               for their duration, they are not
                                                conditions for the four plants, and                      ecosystem (Synder et al. 2005, p. 2;                  considered under the discussion of
                                                eventual succession to rockland                          Bradley and Saha 2011, pp. 1–16). Tree                Factor D, below, because they are
                                                hammock.                                                 ring and sediment data show that pine                 voluntary agreements and not regulatory


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                                                66852            Federal Register / Vol. 81, No. 189 / Thursday, September 29, 2016 / Rules and Regulations

                                                in nature. Miami-Dade County currently                   status and determine any changes that                 of refuges are compatible with their
                                                has approximately 59 pine rocklands                      may pose a threat to or alter the                     purposes and the Refuge System’s
                                                properties enrolled in this program,                     abundance of these species. Impacts to                wildlife conservation mission. The
                                                preserving 69.4 ha (172 ac) of pine                      habitat (e.g., canopy) via nonnative                  comprehensive conservation plans
                                                rocklands habitat (Johnson 2012, pers.                   species and natural stochastic events are             (CCPs) address conservation of fish,
                                                comm.). The program also has                             monitored and actively managed in                     wildlife, and plant resources and their
                                                approximately 21 rockland hammocks                       areas where the taxon is known to                     related habitats, while providing
                                                properties enrolled in this program,                     occur. These programs are long-term                   opportunities for compatible wildlife-
                                                preserving 20.64 ha (51 ac) of rockland                  and ongoing in Miami-Dade County;                     dependent recreation uses. An
                                                hammock habitat (Joyner 2013b, pers.                     however, programs are limited by the                  overriding consideration reflected in
                                                comm.). The vast majority of these                       availability of annual funding.                       these plans is that fish and wildlife
                                                properties are small, and many are in                       Since 2005, the Service has funded                 conservation has first priority in refuge
                                                need of habitat management such as                       IRC to facilitate restoration and                     management, and that public use be
                                                prescribed fire and removal of                           management of privately owned pine                    allowed and encouraged as long as it is
                                                nonnative, invasive plants. Thus, while                  rocklands habitats in Miami-Dade                      compatible with, or does not detract
                                                EEL covenant lands have the potential                    County. These programs included                       from, the Refuge System mission and
                                                to provide valuable habitat for these                    prescribed burns, nonnative plant                     refuge purpose(s). The CCP for the
                                                plants and reduce threats in the near                    control, light debris removal, hardwood               Lower Florida Keys National Wildlife
                                                term, the actual effect of these                         management, reintroduction of pines                   Refuges (NKDR, Key West National
                                                conservation lands is largely determined                 where needed, and development of                      Wildlife Refuge, and Great White Heron
                                                by whether individual landowners                         management plans. One of these                        National Wildlife Refuge) provides a
                                                follow prescribed EEL management                         programs, called the Pine Rockland                    description of the environment and
                                                plans and NFC regulations (see ‘‘Local’’                 Initiative, includes 10-year cooperative              priority resource issues that were
                                                under Factor D discussion, below).                       agreements between participating                      considered in developing the objectives
                                                   Fee Title Properties: In 1990, Miami-                 landowners and the Service/IRC to                     and strategies that guide management
                                                Dade County voters approved a 2-year                     ensure restored areas will be managed                 over the next 15 years. The CCP
                                                property tax to fund the acquisition,                    appropriately during that time.                       promotes the enhancement of wildlife
                                                protection, and maintenance of natural                   Although most of these objectives have                populations by maintaining and
                                                areas by the EEL Program. The EEL                        been achieved, IRC has not been able to               enhancing a diversity and abundance of
                                                Program purchases and manages natural                    conduct the desired prescribed burns,                 habitats for native plants and animals,
                                                lands for preservation. Land uses                        due to logistical difficulties as discussed           especially imperiled species that are
                                                deemed incompatible with the                             earlier (see ‘‘Fire Management,’’ above).             found only in the Florida Keys. The CCP
                                                protection of the natural resources are                     Connect to Protect Program: FTBG,
                                                                                                                                                               also provides for obtaining baseline data
                                                prohibited by current regulations;                       with the support of various Federal,
                                                                                                                                                               and monitoring indicator species to
                                                however, the County Commission                           State, and local agencies and nonprofit
                                                                                                                                                               detect changes in ecosystem diversity
                                                ultimately controls what may happen                      organizations, has established the
                                                                                                                                                               and integrity related to climate change.
                                                with any County property, and land use                   ‘‘Connect to Protect Network.’’ The
                                                                                                                                                               The CCP provides specifically for
                                                changes may occur over time (Gil 2013b,                  objective of this program is to encourage
                                                                                                                                                               maintaining and expanding populations
                                                pers. comm.). To date, the Miami-Dade                    widespread participation of citizens to
                                                                                                                                                               of candidate plant species, including
                                                County EEL Program has acquired a                        create corridors of healthy pine
                                                                                                                                                               Chamaecrista lineata var. keyensis,
                                                total of approximately 313 ha (775 ac)                   rocklands by planting stepping stone
                                                                                                                                                               Chamaesyce deltoidea ssp. serpyllum,
                                                of pine rocklands, and 95 ha (236 ac) of                 gardens and rights-of-way with native
                                                                                                         pine rocklands species, and restoring                 Linum arenicola, and Argythamnia
                                                rockland hammocks (Guerra 2015, pers.
                                                                                                         isolated pine rocklands fragments. By                 blodgettii, all four of which are found in
                                                comm.; Gil 2013b, pers. comm.). The
                                                                                                         doing this, FTBG hopes to increase the                this refuge complex.
                                                EEL Program also manages
                                                approximately 314 ha (777 ac) of pine                    probability that pollination and seed                    Department of Defense Lands: The
                                                rocklands, and 639 ha (1,578 ac) of                      dispersal vectors can find and transport              Sikes Act requires the DOD to develop
                                                tropical hardwood and rockland                           seeds and pollen across developed areas               and implement integrated natural
                                                hammocks owned by the Miami-Dade                         that separate pine rocklands fragments                resources management plans (INRMPs)
                                                County Parks, Recreation and Open                        to improve gene flow between                          for military installations across the
                                                Spaces Department, including some of                     fragmented plant populations and                      United States (see also Factor D
                                                the largest remaining areas of pine                      increase the likelihood that these plants             discussion, below). INRMPs are
                                                rocklands habitat on the Miami Rock                      will persist over the long term.                      prepared in cooperation with the
                                                Ridge outside of ENP (e.g., Larry and                    Although these projects may serve as                  Service and State fish and wildlife
                                                Penny Thompson Park, Zoo Miami                           valuable components toward the                        agencies to ensure proper consideration
                                                pinelands, Navy Wells Pineland                           conservation of pine rocklands species                of fish, wildlife, and habitat needs. The
                                                Preserve), and some of the largest                       and habitat, they are dependent on                    DOD has an approved INRMP for Key
                                                remaining areas of tropical hardwood                     continual funding, as well as                         West Naval Air Station (KWNAS) on
                                                and rockland hammocks (e.g., Matheson                    participation from private landowners,                Boca Chica Key that includes measures
                                                Hammock Park, Castellow Hammock                          both of which may vary through time.                  that will protect and enhance
                                                Park, Deering Estate Park and                               National Wildlife Refuges: The                     Argythamnia blodgettii habitat,
                                                Preserves).                                              National Wildlife Refuge System                       including nonnative species control
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                                                   Conservation efforts in Miami’s EEL                   Improvement Act of 1997 (16 U.S.C.                    (DOD 2014, p. 69). Furthermore, DOD is
                                                Preserves have been underway for many                    668dd note) and the Fish and Wildlife                 currently preparing an INRMP for
                                                years. In Miami-Dade County,                             Service Manual (601 FW 3, 602 FW 3)                   Homestead Air Reserve Base (HARB)
                                                conservation lands are and have been                     require maintaining biological integrity              and SOCSOUTH. A previous biological
                                                monitored by Fairchild Tropical Botanic                  and diversity, require comprehensive                  opinion (Service 2011, entire) required
                                                Garden (FTBG) and IRC, in coordination                   conservation planning for each refuge,                SOCSOUTH to protect and manage 7.4
                                                with the EEL Program, to assess habitat                  and set standards to ensure that all uses             ha (18.3 ac) of pine rocklands habitat


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                                                                 Federal Register / Vol. 81, No. 189 / Thursday, September 29, 2016 / Rules and Regulations                                     66853

                                                and 70,909 individuals of Linum                          to overutilization) are discussed under               impacts from one or more identified
                                                arenicola (approximately 96 percent of                   Factor E, below.                                      threats. In this section, we review
                                                the estimated onsite population) based                                                                         existing Federal, State, and local
                                                                                                         Factor C. Disease or Predation
                                                on 2009 survey data. A conservation                                                                            regulatory mechanisms to determine
                                                easement was established over the                           No diseases or incidences of                       whether they effectively reduce or
                                                protected areas, and DOD has provided                    predation have been reported for                      remove threats to Chamaecrista lineata
                                                funds for management of the site,                        Chamaesyce deltoidea ssp. serpyllum or                var. keyensis, Chamaesyce deltoidea
                                                including fencing and nonnative species                  Argythamnia blodgettii.                               ssp. serpyllum, Linum arenicola, and
                                                control.                                                    Key deer are known to occasional                   Argythamnia blodgettii.
                                                                                                         browse plants indiscriminately,
                                                Summary of Factor A                                      including Chamaecrista lineata var.                   Federal
                                                                                                         keyensis and Linum arenicola. Key deer                   As Federal candidate species, the four
                                                   We have identified a number of
                                                                                                         do not appear to feed on Argythamnia                  plants are afforded some protection
                                                threats to the habitat of Chamaecrista
                                                                                                         blodgettii, probably due to potential                 through sections 7 and 10 of the Act and
                                                lineata var. keyensis, Chamaesyce
                                                                                                         toxicity (Hodges and Bradley 2006, p.                 associated policies and guidelines.
                                                deltoidea ssp. serpyllum, Linum
                                                                                                         19).                                                  Service policy requires that candidate
                                                arenicola, and Argythamnia blodgettii
                                                                                                            Seed predation by an insect occurs in              species be treated as proposed species
                                                that have operated in the past, are
                                                                                                         Chamaecrista lineata var. keyensis, and               for purposes of intra-Service
                                                impacting these species now, and will
                                                                                                         seems to be exacerbated by habitat                    consultations and conferences where
                                                continue to impact them in the future.
                                                                                                         fragmentation. Individuals at the urban               the Service’s actions may affect
                                                Habitat loss, fragmentation, and
                                                                                                         edge suffer higher insect seed predation              candidate species. Other Federal action
                                                degradation, and associated pressures
                                                                                                         than those inside the forest (Liu and                 agencies (e.g., NPS) are to consider the
                                                from increased human population, are
                                                                                                         Koptur 2003, p. 1184).                                potential effects (e.g., prescribed fire,
                                                major threats; these threats are expected                   While seed predation and occasional
                                                to continue, placing these plants at                                                                           pesticide treatments) to these plants and
                                                                                                         Key deer browsing may be a stressor,
                                                greater risk. All four plants may be                                                                           their habitat during the consultation and
                                                                                                         they do not appear to rise to the level
                                                impacted when pine rocklands are                                                                               conference process. Applicants and
                                                                                                         of threat at this time. Therefore, the best
                                                converted to other uses or when lack of                                                                        Federal action agencies are encouraged
                                                                                                         available data do not indicate that
                                                fire causes the conversion to hardwood                                                                         to consider candidate species when
                                                                                                         disease or predation is a threat to
                                                hammocks or other unsuitable habitat                                                                           seeking incidental take for other listed
                                                                                                         Chamaecrista lineata var. keyensis or
                                                conditions. Any populations of these                                                                           species and when developing habitat
                                                                                                         Linum arenicola.
                                                species found on private property could                                                                        conservation plans. However, candidate
                                                be destroyed by development; the                         Factor D. The Inadequacy of Existing                  species do not receive the same level of
                                                limited pine rocklands, rockland                         Regulatory Mechanisms                                 protection that a listed species does
                                                hammock, and coastal berm habitat on                        Under this factor, we examine                      under the Act.
                                                public lands can also be affected by                     whether threats to these plants are                      Populations of Argythamnia blodgettii
                                                development of recreational facilities or                discussed under the other factors are                 within ENP are protected by NPS
                                                infrastructure projects. Although efforts                continuing due to an inadequacy of an                 regulations at 36 CFR 2.1, which
                                                are being made to conserve publicly and                  existing regulatory mechanism. Section                prohibit visitors from harming or
                                                privately owned natural areas and apply                  4(b)(1)(A) of the Act requires the Service            removing plants, listed or otherwise,
                                                prescribed fire, the long-term effects of                to take into account ‘‘those efforts, if              from ENP. However, the regulations do
                                                large-scale and wide-ranging habitat                     any, being made by any State or foreign               not address actions taken by NPS that
                                                modification, destruction, and                           nation, or any political subdivision of a             cause habitat loss or modification.
                                                curtailment will last into the future,                   State or foreign nation, to protect such                 As discussed above under Factor A,
                                                while ongoing habitat loss due to                        species.’’ In relation to Factor D under              the CCPs for the Lower Florida Keys
                                                population growth, development, and                      the Act, we interpret this language to                National Wildlife Refuge and the
                                                agricultural conversion continues to                     require the Service to consider relevant              Crocodile Lake National Wildlife Refuge
                                                pose a threat. Therefore, based on the                   Federal, State, and tribal laws,                      provide for Chamaecrista lineata var.
                                                best information available, we have                      regulations, and other such mechanisms                keyensis, Chamaesyce deltoidea ssp.
                                                determined that the threats to the four                  that may minimize any of the threats we               serpyllum, Linum arenicola, and
                                                plants from habitat destruction,                         describe in threat analyses under the                 Argythamnia blodgettii. Linum
                                                modification, or curtailment are                         other four factors, or otherwise enhance              arenicola occurs on DOD lands at HARB
                                                occurring throughout the entire range of                 conservation of the species. We give                  and SOCSOUTH. L. arenicola and A.
                                                the species and are expected to continue                 strongest weight to statutes and their                blodgettii may occur on Federal lands
                                                into the future.                                         implementing regulations and to                       within the Richmond Pine rocklands,
                                                                                                         management direction that stems from                  including lands owned by the U.S.
                                                Factor B. Overutilization for
                                                                                                         those laws and regulations. Examples                  Coast Guard.
                                                Commercial, Recreational, Scientific, or
                                                Educational Purposes                                     are State governmental actions enforced                  As discussed under Factor A, above,
                                                                                                         under a State statute or constitution,                the DOD has an approved INRMP for
                                                  The best available data do not                         and Federal actions authorized by                     KWNAS on Boca Chica Key that
                                                indicate that overutilization for                        statute.                                              includes measures that will protect and
                                                commercial, recreational, scientific, or                    Having evaluated the impact of the                 enhance Argythamnia blodgettii habitat,
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                                                educational purposes is a threat to                      threats as mitigated by any such                      including nonnative species control
                                                Chamaecrista lineata var. keyensis,                      conservation efforts, we analyze under                (DOD 2014, p. 69). Furthermore, as also
                                                Chamaesyce deltoidea ssp. serpyllum,                     Factor D the extent to which existing                 discussed above, DOD is currently
                                                Linum arenicola, or Argythamnia                          regulatory mechanisms are inadequate                  preparing an INRMP for HARB and
                                                blodgettii. Threats to these plants                      to address the specific threats to the                SOCSOUTH, and a 2011 Service
                                                related to other aspects of recreation and               species. Regulatory mechanisms, if they               biological opinion requires SOCSOUTH
                                                similar human activities (i.e., not related              exist, may reduce or eliminate the                    to protect and manage 7.4 ha (18.3 ac)


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                                                66854            Federal Register / Vol. 81, No. 189 / Thursday, September 29, 2016 / Rules and Regulations

                                                of pine rocklands habitat and 70,909                     section (8) waives State regulation for               (3,000 ac) of habitat (Joyner 2013, pers.
                                                individuals of Linum arenicola.                          certain classes of activities for all                 comm.).
                                                  However, certain populations of the                    species on the Index, including the                      Although the NFC program is
                                                four plants occur on State- or county-                   clearing or removal of regulated plants               designed to protect rare and important
                                                owned properties, and development of                     for agricultural, forestry, mining,                   upland (non-wetlands) habitats in south
                                                these areas will likely require no                       construction (residential, commercial,                Florida, the strategy has limitations. For
                                                Federal permit or other authorization.                   or infrastructure), and fire-control                  example, in certain circumstances
                                                Therefore, projects that affect the plants               activities by a private landowner or his              where landowners can demonstrate that
                                                on State- and county-owned lands do                      or her agent.                                         limiting development to 20 percent (for
                                                not have Federal oversight, such as                                                                            pine rocklands) or 10 percent (for
                                                complying with the National                              Local                                                 rockland hammock) does not allow for
                                                Environmental Policy Act (NEPA; 42                          In 1984, section 24–49 of the Code of              ‘‘reasonable use’’ of the property,
                                                U.S.C. 4321 et seq.), unless the project                 Miami-Dade County established                         additional development may be
                                                has a Federal nexus (Federal funding,                    regulation of County-designated NFCs.                 approved. Furthermore, Miami-Dade
                                                permits, or other authorizations).                       These regulations were placed on                      County Code provides for up to 100
                                                Therefore, the four plants have no direct                specific properties throughout the                    percent of the NFC to be developed in
                                                Federal regulatory protection in these                   County by an act of the Board of County               limited circumstances for parcels less
                                                areas.                                                   Commissioners in an effort to protect                 than 2.02 ha (5 ac) in size and only
                                                                                                         environmentally sensitive forest lands.               requires coordination with landowners
                                                State                                                    The Miami-Dade County RER has                         if they plan to develop property or
                                                   Chamaecrista lineata var. keyensis,                   regulatory authority over these County-               perform work within the NFC-
                                                Chamaesyce deltoidea ssp. serpyllum,                     designated NFCs and is charged with                   designated area. Therefore, many of the
                                                Linum arenicola, and Argythamnia                         enforcing regulations that provide                    existing private forested NFC parcels
                                                blodgettii are listed on the Regulated                   partial protection of remaining upland                remain fragmented, without
                                                Plant Index (Index) as endangered under                  forested areas designated as NFC on the               management obligations or preserve
                                                chapter 5B–40, Florida Administrative                    Miami Rock Ridge. NFC regulations are                 designation, as development has not
                                                Code. This listing provides little or no                 designed to prevent clearing or                       been proposed at a level that would
                                                habitat protection beyond the State’s                    destruction of native vegetation within               trigger the NFC regulatory requirements.
                                                development of a regional impact                         preserved areas. Miami-Dade County                    Often, nonnative vegetation over time
                                                process, which discloses impacts from                    Code typically allows up to 20 percent                begins to dominate and degrade the
                                                projects, but provides only limited                      of pine rocklands designated as NFC to                undeveloped and unmanaged NFC
                                                regulatory protection for State-listed                   be developed, and requires that the                   landscape until it no longer meets the
                                                plants on private lands.                                 remaining 80 percent be placed under a                legal threshold of an NFC, which
                                                   Florida Statutes 581.185 sections                     perpetual covenant. The code requires                 applies only to land dominated by
                                                (3)(a) and (3)(b) prohibit any person                    that no more than 10 percent of a                     native vegetation. When development of
                                                from willfully destroying or harvesting                  rockland hammock designated as NFC                    such degraded NFCs is proposed,
                                                any species listed as endangered or                      may be developed for properties greater               Miami-Dade County Code requires
                                                threatened on the Index, or growing                      than 5 acres and that the remaining 90                delisting of the degraded areas as part of
                                                such a plant on the private land of                      percent be placed under a perpetual                   the development process. Property
                                                another, or on any public land, without                  covenant for preservation purposes                    previously designated as NFC is
                                                first obtaining the written permission of                (Joyner 2013a, 2014, pers. comm.; Lima                removed from the list even before
                                                the landowner and a permit from the                      2014, pers. comm.). However, for                      development is initiated because of the
                                                Florida Department of Plant Industry.                    properties less than 5 acres, up to one-              abundance of nonnative species, making
                                                The statute further provides that any                    half an acre may be cleared if the                    it no longer considered to be
                                                person willfully destroying or                           request is deemed a reasonable use of                 jurisdictional or subject to the NFC
                                                harvesting; transporting, carrying, or                   property; this allowance often may be                 protection requirements of Miami-Dade
                                                conveying on any public road or                          greater than 20 percent (for pine                     County Code (Grossenbacher 2013, pers.
                                                highway; or selling or offering for sale                 rocklands) or 10 percent (for rockland                comm.).
                                                any plant listed in the Index as                         hammock) of the property (Lima 2014,
                                                endangered must have a permit from the                   pers. comm.). NFC landowners are also                 Summary of Factor D
                                                State at all times when engaged in any                   required to obtain an NFC permit for                     Currently, Chamaecrista lineata var.
                                                such activities. Further, Florida Statutes               any work, including removal of                        keyensis, Chamaesyce deltoidea ssp.
                                                581.185 section (10) provides for                        nonnatives within the boundaries of the               serpyllum, Linum arenicola, and
                                                consultation similar to section 7 of the                 NFC on their property. When RER                       Argythamnia blodgettii are found on
                                                Act for listed species, by requiring the                 discovers unpermitted work, it takes                  Federal, State, and county lands;
                                                Department of Transportation to notify                   appropriate enforcement action and                    however, there is no regulatory
                                                the Florida Department of Agriculture                    seeks restoration when possible. The                  mechanism in place that provides
                                                and Consumer Services and the                            NFC program is responsible for ensuring               substantive protection of habitat or
                                                Endangered Plant Advisory Council of                     that NFC permits are issued in                        protection of potentially suitable habitat
                                                planned highway construction at the                      accordance with the limitations and                   at this time. NPS and Service Refuge
                                                time bids are first advertised, to                       requirements of the county code and                   regulations provide protection at ENP
                                                facilitate evaluation of the project for                 that appropriate NFC preserves are                    and the Florida Keys Wildlife Refuge
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                                                listed plant populations, and to provide                 established and maintained in                         Complex, respectively. The Act
                                                ‘‘for the appropriate disposal of such                   conjunction with the issuance of an                   provides some protection for candidate
                                                plants’’ (i.e., transplanting).                          NFC permit when development occurs.                   species on National Wildlife Refuges
                                                   However, this statute provides no                     The NFC program currently regulates                   and during intra-Service section 7
                                                substantive protection of habitat or                     approximately 600 pine rocklands or                   consultations. State regulations provide
                                                protection of potentially suitable habitat               pine rocklands/hammock properties,                    protection against trade, but allow
                                                at this time. Florida Statutes 581.185                   comprising approximately 1,200 ha                     private landowners or their agents to


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                                                                 Federal Register / Vol. 81, No. 189 / Thursday, September 29, 2016 / Rules and Regulations                                       66855

                                                clear or remove species on the Florida                   south Florida (Service 1999, p. 3–175).               (bishop wood), Syngonium
                                                Regulated Plant Index. State Park                        Neyraudia neyraudia (Burma reed) and                  podophyllum (American evergreen),
                                                regulations provide protection for plants                Schinus terebinthifolius (Brazilian                   Jasminum fluminense (Brazilian
                                                within Florida State Parks. The NFC                      pepper) threaten all four species                     jasmine), Rubus niveus (mysore
                                                program in Miami is designed to protect                  (Bradley and Gann 1999, pp. 13, 72). S.               raspberry), Nephrolepis brownii (Asian
                                                rare and important upland (non-                          terebinthifolius, a nonnative tree, is the            swordfern), Schefflera actinophylla
                                                wetlands) habitats in south Florida;                     most widespread and one of the most                   (octopus tree), Jasminum dichotomum
                                                however, this regulatory strategy has                    invasive species. It forms dense thickets             (Gold Coast jasmine), Epipremnum
                                                several limitations (as described above)                 of tangled, woody stems that completely               pinnatum (centipede tongavine), and
                                                that reduce its ability to protect the four              shade out and displace native vegetation              Nephrolepis cordifolia (narrow
                                                plants and their habitats.                               (Loflin 1991, p. 19; Langeland and                    swordfern) (Possley 2013h–i, pers.
                                                  Although many populations of the                       Craddock Burks 1998, p. 54). Acacia                   comm.).
                                                four plants are afforded some level of                   auriculiformis (earleaf acacia),                         Management of nonnative, invasive
                                                protection because they are on public                    Rhynchelytrum repens (natal grass),                   plants in pine rocklands and rockland
                                                conservation lands, existing regulatory                  Lantana camara (shrub verbena), and                   hammocks in Miami-Dade County is
                                                mechanisms have not led to a reduction                   Albizia lebbeck (tongue tree) are some of             further complicated because the vast
                                                or removal of threats posed to these                     the other nonnative species in pine                   majority of pine rocklands and rockland
                                                plants by a wide array of sources (see                   rocklands. More species of nonnative                  hammocks are small, fragmented areas
                                                discussions under Factor A, above, and                   plants could become problems in the                   bordered by urban development. In the
                                                Factor E, below).                                        future, such as Lygodium microphyllum                 Florida Keys, larger fragments are
                                                                                                         (Old World climbing fern), which is a                 interspersed with development.
                                                Factor E. Other Natural or Manmade
                                                                                                         serious threat throughout south Florida.              Developed or unmanaged areas that
                                                Factors Affecting Its Continued
                                                                                                         Nonnative plants in pine rocklands can                contain nonnative species can act as a
                                                Existence
                                                                                                         also affect the characteristics of a fire             seed source for nonnatives, allowing
                                                   Other natural or manmade factors                                                                            them to continue to invade managed
                                                                                                         when it does occur. Historically, pine
                                                affect Chamaecrista lineata var.                                                                               pine rocklands or rockland hammocks
                                                                                                         rocklands had an open, low understory
                                                keyensis, Chamaesyce deltoidea ssp.                                                                            (Bradley and Gann 1999, p. 13).
                                                                                                         where natural fires remained patchy
                                                serpyllum, Linum arenicola, and                                                                                   Nonnative plant species are also a
                                                                                                         with low temperature intensity, thus
                                                Argythamnia blodgettii to varying                                                                              concern on private lands, where often
                                                                                                         sparing many native plants such as
                                                degrees. Specific threats to these plants                                                                      these species are not controlled due to
                                                                                                         Chamaecrista lineata var. keyensis,
                                                included in this factor consist of the                                                                         associated costs, lack of interest, or lack
                                                                                                         Chamaesyce deltoidea ssp. serpyllum,
                                                spread of nonnative, invasive plants;                                                                          of knowledge of detrimental impacts to
                                                                                                         Linum arenicola, and Argythamnia
                                                potentially incompatible management                                                                            the ecosystem. Undiscovered
                                                                                                         blodgettii. Dense infestations of
                                                practices (such as mowing and                                                                                  populations of the four plants on private
                                                                                                         Neyraudia neyraudia and Schinus
                                                herbicide use); small population size                                                                          lands could certainly be at risk. Overall,
                                                                                                         terebinthifolius cause higher fire
                                                and isolation; effects of pesticide                                                                            active management is necessary to
                                                                                                         temperatures and longer burning
                                                spraying on pollinators; climate change                                                                        control for nonnative species and to
                                                                                                         periods. With the presence of invasive,
                                                and sea level rise (SLR); and risks from                                                                       protect unique and rare habitats where
                                                                                                         nonnative species, it is uncertain how
                                                environmental stochasticity (extreme                                                                           the four plants occur (Snyder et al.
                                                                                                         fire, even under a managed situation,
                                                weather) on these small populations.                                                                           1990, p. 273).
                                                                                                         will affect these plants.
                                                Each of these threats and its specific
                                                                                                            At least 162 nonnative plant species               Management of Roadsides and
                                                effect on these plants is discussed in                                                                         Disturbed Areas
                                                detail below.                                            are known to invade rockland
                                                                                                         hammocks; impacts are particularly                       All four plants occur in disturbed
                                                Nonnative Plant Species                                  severe on the Miami Rock Ridge                        areas such as roadsides and areas that
                                                   Nonnative, invasive plants compete                    (Service 1999, pp. 3–135). Nonnative                  formerly were pine rocklands. Linum
                                                with native plants for space, light,                     plant species have significantly affected             arenicola is particularly vulnerable to
                                                water, and nutrients, and make habitat                   rockland hammocks where                               management practices in these areas
                                                conditions unsuitable for Chamaecrista                   Argythamnia blodgettii occurs and are                 because nearly all populations of the
                                                lineata var. keyensis, Chamaesyce                        considered one of the threats to the                  species are currently found on disturbed
                                                deltoidea ssp. serpyllum, Linum                          species (Snyder et al. 1990, p. 273;                  sites. The large L. arenicola population
                                                arenicola, and Argythamnia blodgettii,                   Hodges and Bradley 2006, p. 14). In                   at HARB and SOCSOUTH is located
                                                which prefer open conditions. Bradley                    many Miami-Dade County parks,                         largely in areas that are regularly
                                                and Gann (1999, pp. 13, 71–72)                           nonnative plant species comprise 50                   mowed. Similarly, the small population
                                                indicated that the control of nonnative                  percent of the flora in hammock                       of L. arenicola at the Everglades Archery
                                                plants is one of the most important                      fragments (Service 1999, pp. 3–135).                  Range, which is owned by Miami-Dade
                                                conservation actions for these plants                    Horvitz (et al. 1998, p. 968) suggests the            County and managed as a part of Camp
                                                and a critical part of habitat                           displacement of native species by                     Owaissa Bauer, is growing along the
                                                maintenance.                                             nonnative species in conservation and                 edges of the unimproved perimeter road
                                                   Nonnative plants have significantly                   preserve areas is a complex problem                   that is regularly mowed. Finally, the
                                                affected pine rocklands, and threaten all                with serious impacts to biodiversity                  two populations of L. arenicola on canal
                                                occurrences of these four species to                     conservation, as management in these                  banks are subject to mowing, herbicide
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                                                some degree (Bradley 2006, pp. 25–26;                    areas generally does not protect native               treatments, and revegetation efforts
                                                Bradley and Gann 1999, pp. 18–19;                        species and ecological processes, as                  (sodding) (Bradley and van der Heiden
                                                Bradley and Saha 2009, p. 25; Bradley                    intended. Problematic nonnative,                      2013, pp. 8–10). The population of
                                                and van der Heiden 2013, pp. 12–16).                     invasive plants associated with rockland              Argythamnia blodgettii at Lignumvitae
                                                As a result of human activities, at least                hammocks include Leucaena                             Key Botanical State Park grows around
                                                277 taxa of nonnative plants have                        leucocephala (lead tree), Schinus                     the perimeter of the large lawn around
                                                invaded pine rocklands throughout                        terebinthifolius, Bischofia javanica                  the residence. Maintenance activities


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                                                and encroachment of exotic lawn                          lower Florida Keys (Hodges and Bradley                for the Florida leafwing (Anaea
                                                grasses are potential threats to this                    2006, pp. 11–12, 19, 39).                             troglodyta floridalis) and Bartram’s
                                                population (Hodges and Bradley 2006,                        All populations of the four plants that            scrub-hairstreak (Strymon acis bartrami)
                                                p. 14). At Windley Key State Park, A.                    occur on disturbed sites are vulnerable               butterflies (79 FR 47180; August 12,
                                                blodgettii grows in two quarry bottoms.                  to regular maintenance activities such as             2014). This designation includes all
                                                In the first, larger quarry, to the east of              mowing and herbicide applications, and                pine rockland within NKDR where its
                                                the visitor center, plants apparently                    dumping. This includes portions of all                sole larval host, Croton linearis, can
                                                persist only in natural areas not being                  populations of Chamaecrista lineata                   potentially occur.
                                                mowed. However, the majority of the                      var. keyensis and Chamaesyce deltoidea                   Since 2003, expanded larvicide
                                                plants are in the farthest quarry, which                 ssp. serpyllum, 10 of 12 Linum                        treatments to surrounding islands have
                                                is not mowed (Hodges and Bradley                         arenicola populations, and 5 of 34                    significantly reduced adulticide use on
                                                2006, p. 15).                                            Argythamnia blodgettii populations. All               Big Pine Key, No Name Key, and the
                                                   While no studies have investigated                    roadside populations are also vulnerable              Torch Keys. In addition, the number of
                                                the effect of mowing on the four plants,                 to infrastructure projects such as road               aerially applied Naled treatments
                                                research has been conducted on the                       widening and installation of                          allowed on NKDR has been limited
                                                federally endangered Linum carteri var.                  underground cable, sewer, and water                   since 2008 (Florida Key Mosquito
                                                carteri (Carter’s small-flowered flax, a                 lines.                                                Control District 2012, pp. 10–11).
                                                close relative of Linum arenicola that                                                                         Designated ‘‘No spray zones’’ that
                                                                                                         Pesticide Effects on Pollinators
                                                also occurs in pine rocklands and                                                                              include the core habitat used by pine
                                                disturbed sites). The study found                           Another potential anthropogenic                    rockland butterflies and several linear
                                                significantly higher densities of plants                 threat to the four plants is current                  miles of pine rocklands habitat within
                                                at the mown sites where competition                      application of insecticides throughout                the Refuge-neighborhood interface are
                                                with other plants is decreased                           these plants’ ranges to control mosquito              now excluded from truck spray
                                                (Maschinski and Walters 2007, p. 56).                    populations. Currently, an aerial                     applications (Anderson 2012, pers.
                                                However, plants growing on mown sites                    insecticide (1,2-dibromo-2,2-                         comm.; Service 2012, p. 32). These
                                                were shorter, which may affect fruiting                  dichloroethyl dimethyl phosphate) and                 exclusions and buffer zones encompass
                                                magnitude. While mowing did not                          ground insecticide (Permethrin) are                   over 95 percent of extant croton
                                                usually kill adult plants, if mowing                     applied during the May through                        distribution on Big Pine Key, and
                                                occurred prior to plants reaching                        November timeframe in many parts of                   include the majority of known recent
                                                reproductive status, it could delay                      south Florida. Nontarget effects of                   and historical Florida leafwing
                                                reproduction (Maschinski and Walters                     mosquito control may include the loss                 population centers on the island
                                                2007, pp. 56–57). If such mowing occurs                  of pollinating insects upon which                     (Salvato 2012, pers. comm.). The area
                                                repeatedly, reproduction of those plants                 certain plants depend.                                largely coincides with the range of these
                                                would be entirely eliminated. If,                           Koptur and Liu (2003, p. 1184)                     four plants in the lower Florida Keys.
                                                instead, mowing occurs at least 3 weeks                  reported a decrease in Chamaecrista                   Therefore, the effects of mosquito
                                                after flowering, there would be a higher                 lineata var. keyensis pollinator activity             control pesticide application on the
                                                probability of adults setting fruit prior to             following mosquito spraying on Big                    pollinators of the four plants have been
                                                mowing; mowing may then act as a                         Pine Key. Mosquito spraying remains a                 minimized at NKDR.
                                                positive disturbance by both scattering                  factor on Big Pine Key, and its                          In summary, critical habitat
                                                seeds and reducing competition                           suppression of pollinator populations                 regulations for Bartram’s scrub-
                                                (Maschinski and Walters 2007, p. 57).                    may have a long-term impact on                        hairstreak butterfly and Florida leafwing
                                                The exact impacts of mowing thus                         reproduction rates. Extensive studies in              have extended benefits to populations of
                                                depend on the timing of the mowing                       the Florida Keys suggest that broad                   these four plants and their pollinator
                                                event, rainfall prior to and following                   spectrum insecticides negatively affect               guild by limiting mosquito insecticide
                                                mowing, and the numbers of plants in                     nontarget invertebrates, including                    activity in pine rocklands habitat in the
                                                the population that have reached a                       pollinators (Hennessey 1991; Eliazar                  Florida Keys. Nevertheless, we are
                                                reproductive state.                                      and Emmel 1991; Kevan et al. 1997;                    proceeding cautiously and have
                                                   Herbicide applications, the                           Salvato 2001; Bargar 2011; Hoang et al.               initiated a multi-year research project to
                                                installation of sod, and dumping may                     2011). In addition, pesticides have been              further investigate the level of impact
                                                affect populations of the four plants that               shown to drift into adjacent undisturbed              pesticides have on these four plants and
                                                occur on roadsides, canals banks, and                    habitat that serves as a refuge for native            their pollinators throughout their
                                                other disturbed sites. Signs of herbicide                biota (Hennessey 1992; Pierce et al.                  ranges.
                                                application were noted at the site of the                2005; Zhong et al. 2010; Bargar 2011).
                                                                                                         These pesticides can be fatal to                      Environmental Stochasticity
                                                Big Torch Key roadside population of
                                                Linum arenicola in 2010 (Hodges 2010,                    nontarget invertebrates that move                       Endemic species whose populations
                                                p. 2). At the L–31 E canal site, plants of               between urban and forest habitats,                    exhibit a high degree of isolation and
                                                L. arenicola were lost on the levee close                altering ecological processes within                  narrow geographic distribution, such as
                                                to Card Sound Road due to the                            forest communities (Kevan and                         Chamaecrista lineata var. keyensis,
                                                installation of Bahia grass (Paspalum                    Plowright 1989, 1995; Liu and Koptur                  Chamaesyce deltoidea ssp. serpyllum,
                                                conjugatum) sod in recent years, an                      2003).                                                Linum arenicola, and Argythamnia
                                                activity associated with the installation                   Pesticide spraying practices by the                blodgettii, are extremely susceptible to
                                                of new culverts. If similar projects are                 Monroe County Mosquito Control                        extinction from both random and
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                                                planned, other erosion control measures                  District within NKDR have changed to                  nonrandom catastrophic natural or
                                                should be investigated that do not pose                  reduce pesticide use and limit                        human-caused events. Of the four
                                                a threat to L. arenicola (Bradley and Van                insecticide drift into pine rocklands                 species, Argythamnia blodgettii is
                                                Der Heiden 2013, p. 10). Illegal                         habitat as a result of agreements                     probably less vulnerable because of the
                                                dumping of storm-generated trash after                   between the Service and Florida Keys                  larger number of sites where it occurs
                                                Hurricane Wilma had a large impact on                    Mosquito Control District (FKMCD) after               throughout Miami-Dade and Monroe
                                                roadside populations of plants in the                    critical habitat was designated in 2014               Counties. Small populations of species,


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                                                                 Federal Register / Vol. 81, No. 189 / Thursday, September 29, 2016 / Rules and Regulations                                       66857

                                                without positive growth rates, are                       local extirpations due to stochastic                  hurricane wind speeds are expected to
                                                considered to have a high extinction                     events.                                               increase by 5 to 10 percent due to an
                                                risk from site-specific demographic and                     The Florida Keys were impacted by                  increase in available energy for intense
                                                environmental stochasticity (Lande                       three hurricanes in 2005: Katrina on                  storms. Increases in hurricane winds
                                                1993, pp. 911–927).                                      August 26, Rita on September 20, and                  can elevate the chances of damage to
                                                   The climate of south Florida is driven                Wilma on October 24. Hurricane Wilma                  existing canopy and increase storm
                                                by a combination of local, regional, and                 had the largest impact, with storm                    surge heights.
                                                global weather events and oscillations.                  surges flooding much of the landmass of                 All populations of the four plants are
                                                There are three main ‘‘seasons’’: (1) The                the Keys. In some places, this water                  vulnerable to hurricane wind damage.
                                                wet season, which is hot, rainy, and                     impounded and sat for days. The                       Populations close to the coast and all
                                                humid from June through October; (2)                     vegetation in many areas was top-killed               populations of the four plants in the
                                                the official hurricane season that                       due to salt water inundation (Hodges                  Florida Keys are vulnerable to
                                                extends one month beyond the wet                         and Bradley 2006, p. 9). Flooding kills               inundation by storm surge. Historically,
                                                season (June 1 through November 30),                     plants that do not have adaptations to                the four plant species may have
                                                with peak season being August and                        tolerate anoxic soil conditions that                  benefitted from more abundant and
                                                September; and (3) the dry season,                       persist after flooding; the flooding and              contiguous habitat to buffer them from
                                                which is drier and cooler, from                          resulting high salinities might also                  storm events. The small size of many
                                                November through May. In the dry                         impact soil seed banks of the four plants             populations of these plants makes them
                                                season, periodic surges of cool and dry                  (Bradley and Saha 2009, pp. 27–28).                   especially vulnerable, in which the loss
                                                continental air masses influence the                     After hurricane Wilma, the herb layer in              of even a few individuals could reduce
                                                weather with short-duration rain events                  pine rocklands in close proximity to the              the viability of a single population. The
                                                followed by long periods of dry weather.                 coast was brown with few plants having                destruction and modification of native
                                                   Florida is considered the most                        live material above ground (Bradley                   habitat, combined with small
                                                vulnerable State in the United States to                 2006, p. 11). Subsequent surveys found                population size, has likely contributed
                                                                                                         no Linum arenicola and little                         over time to the stress, decline, and, in
                                                hurricanes and tropical storms (Florida
                                                                                                         Chamaecrista lineata var. keyensis or                 some instances, extirpation of
                                                Climate Center, http://coaps.fsu.edu/
                                                                                                         Chamaesyce deltoidea ssp. serpyllum in                populations or local occurrences due to
                                                climate_center). Based on data gathered
                                                                                                         areas where they previously occurred.                 stochastic events.
                                                from 1856 to 2008, Klotzbach and Gray                                                                            Due to the small size of some existing
                                                                                                         Not only did the storm surge kill the
                                                (2009, p. 28) calculated the                                                                                   populations of Chamaecrista lineata
                                                                                                         vegetation, but many of the roadside
                                                climatological probabilities for each                                                                          var. keyensis, Linum arenicola, and
                                                                                                         areas were heavily disturbed by
                                                State being impacted by a hurricane or                                                                         Argythamnia blodgettii (see below) and
                                                                                                         dumping and removal of storm debris
                                                major hurricane in all years over the                                                                          the narrow geographic range of all four
                                                                                                         (Bradley 2006, p. 37). Estimates of the
                                                152-year timespan. Of the coastal States                                                                       plant species, their overall resilience to
                                                                                                         population sizes pre- and post-Wilma
                                                analyzed, Florida had the highest                        were calculated for Chamaesyce                        these factors is likely low. These factors,
                                                climatological probabilities, with a 51                  deltoidea ssp. serpyllum and                          combined with additional stress from
                                                percent probability of a hurricane                       Chamaecrista lineata var. keyensis.                   habitat loss and modification (e.g.,
                                                (Category 1 or 2) and a 21 percent                       Each declined in the months following                 inadequate fire management) may
                                                probability of a major hurricane                         the storm, by 41.2 percent and 48.0                   increase the inherent risk of stochastic
                                                (Category 3 or higher). From 1856 to                     percent, respectively (Bradley and Saha               events that impact these plants. For
                                                2008, Florida experienced 109                            2009, p. 2). L. arenicola was not found               these reasons, all four plants are at risk
                                                hurricanes, 36 of which were                             at all in surveys 8 to 9 weeks after the              of extirpation during extreme stochastic
                                                considered major hurricanes. Given the                   hurricane (Bradley 2006, p. 36). The                  events. Of the four species,
                                                few isolated populations and restricted                  Middle Torch Key population was                       Argythamnia blodgettii is probably less
                                                range of the four plants in locations                    extirpated after Hurricane Wilma, and                 vulnerable because of the larger number
                                                prone to storm influences (i.e., Miami-                  the population on Big Torch Key                       of sites where it occurs throughout
                                                Dade and Monroe Counties), they are at                   declined drastically, with only one                   Miami-Dade and Monroe Counties.
                                                substantial risk from hurricanes, storm                  individual located. Both of these areas
                                                surges, and other extreme weather                                                                              Small Population Size and Isolation
                                                                                                         were heavily affected by storm surges
                                                events.                                                  during Hurricane Wilma (Hodges 2010,                     Endemic species whose populations
                                                   Hurricanes, storm surge, and extreme                  p. 2). As of 2013, populations of                     exhibit a high degree of isolation are
                                                high tide events are natural events that                 Chamaecrista lineata var. keyensis,                   extremely susceptible to extinction from
                                                can pose a threat to the four plants.                    Chamaesyce deltoidea ssp. serpyllum,                  both random and nonrandom
                                                Hurricanes and tropical storms can                       and L. arenicola in the Florida Keys                  catastrophic natural or human-caused
                                                modify habitat (e.g., through storm                      have not returned to pre-Hurricane                    events. Species that are restricted to
                                                surge) and have the potential to destroy                 Wilma levels (Bradley et al. 2015, pp.                geographically limited areas are
                                                entire populations. Climate change may                   21, 25, 29).                                          inherently more vulnerable to extinction
                                                lead to increased frequency and                             Some climate change models predict                 than widespread species because of the
                                                duration of severe storms (Golladay et                   increased frequency and duration of                   increased risk of genetic bottlenecks,
                                                al. 2004, p. 504; McLaughlin et al. 2002,                severe storms, including hurricanes and               random demographic fluctuations,
                                                p. 6074; Cook et al. 2004, p. 1015). The                 tropical storms (McLaughlin et al. 2002,              climate change, and localized
                                                four plants experienced these                            p. 6074; Cook et al. 2004, p. 1015;                   catastrophes such as hurricanes and
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                                                disturbances historically, but had the                   Golladay et al. 2004, p. 504). Other                  disease outbreaks (Mangel and Tier
                                                benefit of more abundant and                             models predict hurricane and tropical                 1994, p. 607; Pimm et al. 1998, p. 757).
                                                contiguous habitat to buffer them from                   storm frequencies in the Atlantic are                 These problems are further magnified
                                                extirpations. With most of the historical                expected to decrease between 10 and 30                when populations are few and restricted
                                                habitat having been destroyed or                         percent by 2100 (Knutson et al. 2008,                 to a very small geographic area, and
                                                modified, the few remaining                              pp. 1–21). For those models that predict              when the number of individuals is very
                                                populations of these plants could face                   fewer hurricanes, predictions of                      small. Populations with these


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                                                66858            Federal Register / Vol. 81, No. 189 / Thursday, September 29, 2016 / Rules and Regulations

                                                characteristics face an increased                        2013, p. 1450). The term ‘‘climate                    stabilize or decline. Thus, there is strong
                                                likelihood of stochastic extinction due                  change’’ thus refers to a change in the               scientific support for projections that
                                                to changes in demography, the                            mean or variability of one or more                    warming will continue through the 21st
                                                environment, genetics, or other factors                  measures of climate (e.g., temperature or             century, and that the magnitude and
                                                (Gilpin and Soule 1986, pp. 24–34).                      precipitation) that persists for an                   rate of change will be influenced
                                                Small, isolated populations often                        extended period, typically decades or                 substantially by the extent of GHG
                                                exhibit reduced levels of genetic                        longer, whether the change is due to                  emissions (IPCC 2007a, pp. 44–45;
                                                variability, which diminishes the                        natural variability, human activity, or               Meehl et al. 2007, pp. 760–764, 797–
                                                species’ capacity to adapt and respond                   both (IPCC 2013, p. 1450). A recent                   811; Ganguly et al. 2009, pp. 15555–
                                                to environmental changes, thereby                        compilation of climate change and its                 15558; Prinn et al. 2011, pp. 527, 529).
                                                decreasing the probability of long-term                  effects is available from IPCC reports                (See IPCC 2007b, p. 8, for a summary of
                                                persistence (e.g., Barrett and Kohn 1991,                (IPCC 2013, entire).                                  other global projections of climate-
                                                p. 4; Newman and Pilson 1997, p. 361).                      Scientific measurements spanning                   related changes, such as frequency of
                                                Very small plant populations may                         several decades demonstrate that                      heat waves and changes in
                                                experience reduced reproductive vigor                    changes in climate are occurring, and                 precipitation. Also see IPCC 2011
                                                due to ineffective pollination or                        that the rate of change has been faster               (entire) for a summary of observations
                                                inbreeding depression. Isolated                          since the 1950s. Examples include                     and projections of extreme climate
                                                individuals have difficulty achieving                    warming of the global climate system,                 events.)
                                                natural pollen exchange, which limits                    and substantial increases in                             Various changes in climate may have
                                                the production of viable seed. The                       precipitation in some regions of the                  direct or indirect effects on species.
                                                problems associated with small                           world and decreases in other regions.                 These effects may be positive, neutral,
                                                population size and vulnerability to                     (For these and other examples, see IPCC               or negative, and they may change over
                                                random demographic fluctuations or                       2007a, p. 30; Solomon et al. 2007, pp.                time, depending on the species and
                                                natural catastrophes are further                         35–54, 82–85). Results of scientific                  other relevant considerations, such as
                                                magnified by synergistic interactions                    analyses presented by the IPCC show                   interactions of climate with other
                                                with other threats, such as those                        that most of the observed increase in                 variables (e.g., habitat fragmentation)
                                                discussed above (see Factors A and C).                   global average temperature since the                  (IPCC 2007, pp. 8–14, 18–19).
                                                   Chamaecrista lineata var. keyensis                    mid-20th century cannot be explained                  Identifying likely effects often involves
                                                and Chamaesyce deltoidea ssp.                            by natural variability in climate, and is             aspects of climate change vulnerability
                                                serpyllum both have large populations                    ‘‘very likely’’ (defined by the IPCC as 90            analysis. Vulnerability refers to the
                                                on Big Pine Key. The other extant                        percent or higher probability) due to the             degree to which a species (or system) is
                                                occurrence of Chamaecrista lineata var.                  observed increase in greenhouse gas                   susceptible to, and unable to cope with,
                                                keyensis in the Florida Keys, on Cudjoe                  (GHG) concentrations in the atmosphere                adverse effects of climate change,
                                                Key, is small. Five out of 12 extant                     as a result of human activities,                      including climate variability and
                                                Linum arenicola populations, and 20 of                   particularly carbon dioxide emissions                 extremes. Vulnerability is a function of
                                                34 Argythamnia blodgettii populations,                   from use of fossil fuels (IPCC 2007a, pp.             the type, magnitude, and rate of climate
                                                have fewer than 100 individuals. These                   5–6 and figures SPM.3 and SPM.4;                      change and variation to which a species
                                                small populations are at risk of adverse                 Solomon et al. 2007, pp. 21–35). Further              is exposed, its sensitivity, and its
                                                effects from reduced genetic variation,                  confirmation of the role of GHGs comes                adaptive capacity (IPCC 2007a, p. 89;
                                                an increased risk of inbreeding                          from analyses by Huber and Knutti                     see also Glick et al. 2011, pp. 19–22).
                                                depression, and reduced reproductive                     (2011, p. 4), who concluded it is                     There is no single method for
                                                output. Many of these populations are                    extremely likely that approximately 75                conducting such analyses that applies to
                                                small and isolated from each other,                      percent of global warming since 1950                  all situations (Glick et al. 2011, p. 3). We
                                                decreasing the likelihood that they                      has been caused by human activities.                  use our expert judgment and
                                                could be naturally reestablished in the                     Scientists use a variety of climate                appropriate analytical approaches to
                                                event that extinction from one location                  models, which include consideration of                weigh relevant information, including
                                                would occur. Argythamnia blodgettii is                   natural processes and variability, as                 uncertainty, in our consideration of
                                                the only one of the four plants species                  well as various scenarios of potential                various aspects of climate change.
                                                that occurs in ENP, where a population                   levels and timing of GHG emissions, to                   As is the case with all stressors that
                                                of over 2,000 plants is stable and                       evaluate the causes of changes already                we assess, even if we conclude that a
                                                prescribed fire and other management                     observed and to project future changes                species is currently affected or is likely
                                                activities that benefit A. blodgettii are                in temperature and other climate                      to be affected in a negative way by one
                                                conducted on a regular basis.                            conditions (e.g., Meehl et al. 2007,                  or more climate-related impacts, it does
                                                                                                         entire; Ganguly et al. 2009, pp. 11555,               not necessarily follow that the species
                                                Climate Change and Sea Level Rise                        15558; Prinn et al. 2011, pp. 527, 529).              meets the definition of an ‘‘endangered
                                                   Climatic changes, including sea level                 All combinations of models and                        species’’ or a ‘‘threatened species’’
                                                rise (SLR), are occurring in the State of                emissions scenarios yield very similar                under the Act. If a species is listed as
                                                Florida and are impacting associated                     projections of increases in the most                  endangered or threatened, knowledge
                                                plants, animals, and habitats. Our                       common measure of climate change,                     regarding the vulnerability of the
                                                analyses under the Act include                           average global surface temperature                    species to, and known or anticipated
                                                consideration of ongoing and projected                   (commonly known as global warming),                   impacts from, climate-associated
                                                changes in climate. The term ‘‘climate,’’                until about 2030. Although projections                changes in environmental conditions
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                                                as defined by the Intergovernmental                      of the magnitude and rate of warming                  can be used to help devise appropriate
                                                Panel on Climate Change (IPCC), refers                   differ after about 2030, the overall                  strategies for its recovery.
                                                to the mean and variability of different                 trajectory of all the projections is one of              Global climate projections are
                                                types of weather conditions over time,                   increased global warming through the                  informative, and, in some cases, the
                                                with 30 years being a typical period for                 end of this century, even for the                     only or the best scientific information
                                                such measurements, although shorter or                   projections based on scenarios that                   available for us to use. However,
                                                longer periods also may be used (IPCC                    assume that GHG emissions will                        projected changes in climate and related


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                                                                 Federal Register / Vol. 81, No. 189 / Thursday, September 29, 2016 / Rules and Regulations                                      66859

                                                impacts can vary substantially across                       Subsequent to the 2007 IPCC Report,                mangrove wetlands will be unable to
                                                and within different regions of the                      the scientific community has continued                keep up with or offset SLR of 0.61 m
                                                world (e.g., IPCC 2007a, pp. 8–12).                      to model SLR. Recent peer-reviewed                    (2.0 ft) per century or greater. With a
                                                Therefore, we use ‘‘downscaled’’                         publications indicate a movement                      1.52 m (5.0 ft) rise, Miami-Dade County
                                                projections when they are available and                  toward increased acceleration of SLR.                 will be extremely diminished (Wanless
                                                have been developed through                              Observed SLR rates are already trending               et al. 2008, pp. 3–4).
                                                appropriate scientific procedures,                       along the higher end of the 2007 IPCC                    SLR projections from various
                                                because such projections provide higher                  estimates, and it is now widely held that             scenarios have been downscaled by
                                                resolution information that is more                      SLR will exceed the levels projected by               TNC (2011, entire) and Zhang et al.
                                                relevant to spatial scales used for                      the IPCC (Rahmstorf et al. 2012, p. 1;                (2011, entire) for the Florida Keys.
                                                analyses of a given species (see Glick et                Grinsted et al. 2010, p. 470). Taken                  Using the IPCC best-case, low-pollution
                                                al. 2011, pp. 58–61, for a discussion of                 together, these studies support the use               scenario, a rise of 18 cm (7 in) (a rate
                                                downscaling).                                            of higher end estimates now prevalent                 close to the historical average reported
                                                   With regard to our analysis for                       in the scientific literature. Recent                  above) would result in the inundation of
                                                Chamaecrista lineata var. keyensis,                      studies have estimated global mean SLR                23,796 ha (58,800 acres) or 38.2 percent
                                                Chamaesyce deltoidea ssp. serpyllum,                     of 1.0–2.0 m (3.3–6.6 ft) by 2100 as                  of the Florida Keys upland area by the
                                                Linum arenicola, and Argythamnia                         follows: 0.75–1.90 m (2.50–6.20 ft;                   year 2100 (TNC 2011, p. 25). Under the
                                                blodgettii, downscaled projections                       Vermeer and Rahmstorf 2009, p. 21530);                IPCC worst-case, high-pollution
                                                suggest that SLR is the largest climate-                 0.8–2.0 m (2.6–6.6 ft; Pfeffer et al. 2008,           scenario, a rise of 59 cm (23.2 in) would
                                                driven challenge to low-lying coastal                    p. 1342); 0.9–1.3 m (3.0–4.3 ft; Grinsted             result in the inundation of 46,539 ha
                                                areas in the subtropical ecoregion of                    et al. 2010, pp. 469–470); 0.6–1.6 m                  (115,000 acres) or 74.7 percent of the
                                                southern Florida (U.S. Climate Change                    (2.0–5.2 ft; Jevrejeva et al. 2010, p. 4);            Florida Keys upland area by the year
                                                Science Program (USCCSP) 2008, pp. 5–                    and 0.5–1.4 m (1.6–4.6 ft; National                   2100 (TNC 2011, p. 25). Using
                                                31, 5–32). All populations of the four                   Research Council 2012, p. 2).                         Rahmstorf et al.’s (2007; p. 368) SLR
                                                plants occur at elevations from 2.83–                                                                          projections of 100 to 140 cm, 80.5 to
                                                                                                            Other processes expected to be
                                                4.14 meters (m) (9.29–13.57 feet (ft))                                                                         92.2 percent of the Florida Keys land
                                                                                                         affected by projected warming include
                                                above sea level, making these plants                                                                           area would be inundated by 2100. The
                                                                                                         temperatures, rainfall (amount, seasonal
                                                highly susceptible to increased storm                                                                          Zhang et al. (2011, p. 136) study models
                                                                                                         timing, and distribution), and storms                 SLR up to 1.8 m (5.9 ft) for the Florida
                                                surges and related impacts associated
                                                with SLR.                                                (frequency and intensity) (see                        Keys, which would inundate 93.6
                                                   We acknowledge that the drivers of                    ‘‘Environmental Stochasticity’’, above).              percent of the current land area of the
                                                SLR (especially contributions of melting                 Models where sea surface temperatures                 Keys.
                                                glaciers) are not completely understood,                 are increasing also show a higher                        Prior to inundations from SLR, there
                                                and there is uncertainty with regard to                  probability of more intense storms                    will likely be habitat transitions related
                                                the rate and amount of SLR. This                         (Maschinski et al. 2011, p. 148). The                 to climate change, including changes to
                                                uncertainty increases as projections are                 Massachusetts Institute of Technology                 hydrology and increasing vulnerability
                                                made further into the future. For this                   (MIT) modeled several scenarios                       to storm surge. Hydrology has a strong
                                                reason, we examine threats to the                        combining various levels of SLR,                      influence on plant distribution in
                                                species within the range of projections                  temperature change, and precipitation                 coastal areas (IPCC 2008, p. 57). Such
                                                found in recent climate change                           differences with human population                     communities typically grade from salt to
                                                literature.                                              growth, policy assumptions, and                       brackish to freshwater species. From the
                                                   The long-term record at Key West                      conservation funding changes. All of the              1930s to 1950s, increased salinity
                                                shows that sea level rose on average                     scenarios, from small climate change                  contributed to the decline of cabbage
                                                0.229 cm (0.090 in) annually between                     shifts to major changes, indicate                     palm forests in southwest Florida
                                                1913 and 2013 (National Oceanographic                    significant effects on coastal Miami-                 (Williams et al. 1999, pp. 2056–2059),
                                                and Atmospheric Administration                           Dade County. The Science and                          expansion of mangroves into adjacent
                                                (NOAA) 2013, p. 1). This equates to                      Technology Committee of the Miami-                    marshes in the Everglades (Ross et al.
                                                approximately 22.9 cm (9.02 in) over the                 Dade County Climate Change Task                       2000, pp. 101, 111), and loss of pine
                                                last 100 years. IPCC (2008, p. 28)                       Force (Wanless et al. 2008, p. 1)                     rocklands in the Keys (Ross et al. 1994,
                                                emphasized it is very likely that the                    recognize that significant SLR is a                   pp. 144, 151–155). In Florida, pine
                                                average rate of SLR during the 21st                      serious concern for Miami-Dade County                 rocklands transition into rockland
                                                century will exceed the historical rate.                 in the near future. In a January 2008                 hammocks, and, as such, these habitat
                                                The IPCC Special Report on Emission                      statement, the committee warned that                  types are closely associated in the
                                                Scenarios (2000, entire) presented a                     sea level is expected to rise at least 0.9–           landscape. A study conducted in one
                                                range of scenarios based on the                          1.5 m (3.0–5.0 ft) within this century                pine rocklands location on Sugar Loaf
                                                computed amount of change in the                         (Wanless et al. 2008, p. 3). With a 0.9–              Key (with an average elevation of 0.89
                                                climate system due to various potential                  1.2 m (3.0–4.0 ft) rise in sea level (above           m (2.90 ft)) found an approximately 65
                                                amounts of anthropogenic greenhouse                      baseline) in Miami-Dade County, spring                percent reduction in an area occupied
                                                gases and aerosols in 2100. Each                         high tides would be at about 1.83–2.13                by South Florida slash pine over a 70-
                                                scenario describes a future world with                   m (6.0–7.0 ft); freshwater resources                  year period, with pine mortality and
                                                varying levels of atmospheric pollution                  would be gone; the Everglades would be                subsequent increased proportions of
                                                leading to corresponding levels of global                inundated on the west side of Miami-                  halophytic (salt-loving) plants occurring
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                                                warming and corresponding levels of                      Dade County; the barrier islands would                earlier at the lower elevations (Ross et
                                                SLR. The IPCC Synthesis Report (2007,                    be largely inundated; storm surges                    al. 1994, pp. 149–152). During this same
                                                entire) provided an integrated view of                   would be devastating to coastal habitat               time span, local sea level had risen by
                                                climate change and presented updated                     and associated species; and landfill sites            15 cm (6 in), and Ross et al. (1994, p.
                                                projections of future climate change and                 would be exposed to erosion,                          152) found evidence of groundwater and
                                                related impacts under different                          contaminating marine and coastal                      soil water salinization. Extrapolating
                                                scenarios.                                               environments. Freshwater and coastal                  this situation to hardwood hammocks is


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                                                66860            Federal Register / Vol. 81, No. 189 / Thursday, September 29, 2016 / Rules and Regulations

                                                not straightforward, but it suggests that                for these species to disperse to suitable             most areas of Big Pine Key that support
                                                changes in rockland hammock species                      habitat once existing sites that support              Chamaesyce deltoidea var. serpyllum,
                                                composition may not be an issue in the                   them are lost to SLR. Patterns of                     and reduce the Key to three to five
                                                immediate future (5–10 years); however,                  development will also likely be                       much smaller islands. The remaining
                                                over the long term (within the next 10–                  significant factors influencing whether               uplands would likely transition to
                                                50 years), it may be an issue if current                 natural communities can move and                      buttonwoods and saltmarshes, and
                                                projections of SLR occur and freshwater                  persist (IPCC 2008, p. 57; CCSP 2008,                 would be extremely vulnerable to storm
                                                inputs are not sufficient to maintain                    pp. 7–6). The plant species face                      surge. This will further reduce and
                                                high humidities and prevent changes in                   significant risks from coastal squeeze                fragment the population. A 1.8-m (6-ft)
                                                existing canopy species through                          that occurs when habitat is pressed                   rise would completely inundate all
                                                salinization (Saha et al. 2011, pp. 22–                  between rising sea levels and coastal                 areas that support C. deltoidea var.
                                                25). Ross et al. (2009, pp. 471–478)                     development that prevents landward                    serpyllum and eliminate all pine
                                                suggested that interactions between SLR                  migration of species. The ultimate effect             rocklands habitat within the historic
                                                and pulse disturbances (e.g., storm                      of these impacts is likely to result in               range of the species.
                                                surges) can cause vegetation to change                   reductions in reproduction and survival,                 Linum arenicola: In Miami-Dade
                                                sooner than projected based on sea level                 with corresponding decreases in                       County, a 0.91-m (3-ft) rise would
                                                alone.                                                   population numbers.                                   inundate the area that supports a large
                                                   Impacts from climate change                              Saha (et al. 2011, p. 4) suggested that            extant population of Linum arenicola
                                                including regional SLR have been                         the rising water table accompanying                   along L–31E canal. While other areas
                                                studied for coastal hammocks but not                     SLR will shrink the vadose zone (the                  that support the species are located in
                                                rockland hammock habitat. Saha (et al.                   area which extends from the top of the                higher elevation areas along the coastal
                                                2011, pp. 24–25) conducted a risk                        ground surface to the water table);                   ridge, changes in the salinity of the
                                                assessment on rare plant species in ENP                  increase salinity in the bottom portion               water table and soils, along with
                                                and found that impacts from SLR have                     of the freshwater lens, thereby                       additional vegetation shifts in the
                                                significant effects on imperiled taxa.                   increasing brackishness of plant-                     region, are likely. Remaining uplands
                                                This study also predicted a decline in                   available water; and influence tree                   may transition to wetter, more salt-
                                                the extent of coastal hammocks with                      species composition of coastal                        tolerant plant communities. This will
                                                initial SLR, coupled with a reduction in                 hardwood hammocks based upon                          further reduce and fragment the
                                                freshwater recharge volume and an                        species-level tolerance to salinity or                populations. A 1.8-m (6-ft) rise would
                                                increase in pore water (water filling                    drought or both. Evidence of population               inundate portions of the largest known
                                                spaces between grains of sediment)                       declines and shifts in rare plant                     population (HARB), as well the
                                                salinity, which will push hardwood                       communities, along with multi-trophic                 population along L–31E canal. The areas
                                                species to the edge of their drought                     effects, already have been documented                 that support Linum arenicola at the
                                                (freshwater shortage and physiological)                  on the low-elevation islands of the                   Richmond pinelands to the north would
                                                tolerance, jeopardizing critically                       Florida Keys (Maschinski et al. 2011, p.              not be inundated, but pine rocklands in
                                                imperiled or endemic species, or both,                   148).                                                 these areas may be reduced through
                                                with possible extirpation. In south                         Direct losses to extant populations of             transition to wetter, more salt-tolerant
                                                Florida, SLR of 1–2 m (3.3–6.6 ft) is                    all four plants are expected due to                   plant communities, as discussed above.
                                                estimated by 2100, which is on the                       habitat loss and modification from SLR                   In the Florida Keys, a 0.91-m (3-ft)
                                                higher end of global estimates for SLR.                  by 2100. We analyzed existing sites that              rise would inundate most areas of Big
                                                These projected increases in sea level                   support populations of the four plants                Pine Key and Lower Sugarloaf Key, and
                                                pose a threat to coastal plant                           using the National Oceanic and                        all of the areas on Upper Sugarloaf Key
                                                communities and habitats from                            Atmospheric Administration (NOAA)                     and Big Torch Key, that support Linum
                                                mangroves at sea level to salinity-                      Sea Level Rise and Coastal Impacts                    arenicola, and reduce these Keys to
                                                intolerant, coastal rockland hammocks                    viewer. Below, we discuss general                     numerous much smaller islands. The
                                                where elevations are generally less than                 implications of sea level rise within the             remaining uplands on these small
                                                2.0 m (6.1 ft) above sea level (Saha et al.              range of projections discussed above on               islands would likely transition to
                                                2011, p. 2). Loss or degradation of these                the current distribution of these species.            buttonwoods and saltmarshes, and
                                                habitats can be a direct result of SLR or                The NOAA tool uses 1-foot increments,                 would be extremely vulnerable to
                                                in combination of several other factors,                 so the analysis is based on 0.91 m (3 ft)             further losses due to storm surge. This
                                                including diversion of freshwater flow,                  and 1.8 m (6 ft).                                     would further reduce and fragment the
                                                hurricanes, and exotic plant species                        Chamaecrista lineata var. keyensis: A              populations. A 1.8-m (6-ft) rise would
                                                infestations, which can ultimately pose                  0.91-m (3-ft) rise would inundate most                completely inundate all areas that
                                                a threat to rare plant populations (Saha                 areas of Big Pine Key, and all areas of               support Linum arenicola in the Florida
                                                et al. 2011, p. 24).                                     Cudjoe Key, that support Chamaecrista                 Keys and eliminate all pine rocklands
                                                   Habitats for these species are                        lineata var. keyensis, and reduce both                habitat within the historic range of the
                                                restricted to relatively immobile                        Keys to several much smaller islands.                 species in Monroe County.
                                                geologic features separated by large                     The remaining uplands on these islands                   Argythamnia blodgettii: In Miami-
                                                expanses of flooded, inhospitable                        would likely transition to buttonwoods                Dade County, a 0.91-m (3-ft) rise would
                                                wetland or ocean, leading us to                          and saltmarshes, and would be                         not inundate any extant populations of
                                                conclude that these habitats will likely                 extremely vulnerable to storm surge.                  Argythamnia blodgettii because these
                                                not be able to migrate as sea level rises                This will further reduce and fragment                 habitats are located in higher elevation
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                                                (Saha et al. 2011, pp. 103–104). Because                 these populations. A 1.8-m (6-ft) rise                areas along the coastal ridge. However,
                                                of the extreme fragmentation of                          would completely inundate all areas                   changes in the salinity of the water table
                                                remaining habitat and isolation of                       that support C. lineata var. keyensis and             and soils, along with additional
                                                remaining populations, and the                           eliminate all pine rocklands habitat                  vegetation shifts in the region, are
                                                accelerating rate at which SLR is                        within the historic range of the species.             likely. Remaining uplands may likely
                                                projected to occur (Grinsted et al. 2010,                   Chamaesyce deltoidea var. serpyllum:               transition to wetter, more salt-tolerant
                                                p. 470), it will be particularly difficult               A 0.91-m (3-ft) rise would inundate                   plant communities. This will further


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                                                                 Federal Register / Vol. 81, No. 189 / Thursday, September 29, 2016 / Rules and Regulations                                      66861

                                                reduce and fragment the populations. A                   from hurricanes and storm surge act                   stochastic events (Factor E) remain
                                                1.8-m (6-ft) rise would inundate                         together to impact populations of all                 threats for existing populations. Existing
                                                portions of Crandon Park, making it                      four plants. Some of these threats (e.g.,             regulatory mechanisms have not led to
                                                unsuitable for A. blodgettii. Other areas                nonnative species) may be reduced on                  a reduction or removal of threats posed
                                                that support A. blodgettii, including the                public lands due to active programs by                to the four plants from these factors (see
                                                Richmond pinelands to the north, and                     Federal, State, and county land                       Factor D discussion, above). These
                                                Long Pine Key in ENP, would not be                       managers. Many of the remaining                       threats are ongoing, rangewide, and
                                                inundated, but habitats in these areas                   populations of these plants are small                 expected to continue in the future. A
                                                may be reduced through transition to                     and geographically isolated, and genetic              significant percentage of populations of
                                                wetter, more salt-tolerant plant                         variability is likely low, increasing the             Chamaecrista lineata var. keyensis,
                                                communities, as discussed above.                         inherent risk due to overall low                      Linum arenicola, and Argythamnia
                                                   In the Florida Keys, a 0.91-m (3-ft)                  resilience of these plants.                           blodgettii are relatively small and
                                                rise would reduce the area of islands in                                                                       isolated from one another, and their
                                                the upper Keys, but extant populations                   Cumulative Effects of Threats
                                                                                                                                                               ability to recolonize suitable habitat is
                                                on Key Largo, Windley Key, and                              When two or more threats affect                    unlikely without human intervention, if
                                                Lignumvitae Key are less vulnerable                      populations of the four plants, the                   at all. The threats have had and will
                                                than the Middle and Lower Keys, which                    effects of those threats could interact or            continue to have substantial adverse
                                                are at lower elevations. Lower                           become compounded, producing a                        effects on the four plants and their
                                                Matecumbe Key, Plantation Key, Vaca                      cumulative adverse effect that is greater             habitats. Although attempts are ongoing
                                                Key, Big Pine Key, and Big Munson                        than the impact of either threat alone.               to alleviate or minimize some of these
                                                Island would be fragmented and                           The most obvious cases in which                       threats at certain locations, all
                                                reduced to numerous much smaller                         cumulative adverse effects would be                   populations appear to be impacted by
                                                islands. The remaining uplands on these                  significant are those in which small                  one or more threats.
                                                small islands would likely transition to                 populations (Factor E) are affected by                   The Act defines an endangered
                                                buttonwoods and saltmarshes, and                         threats that result in destruction or                 species as ‘‘any species which is in
                                                would be extremely vulnerable further                    modification of habitat (Factor A). The               danger of extinction throughout all or a
                                                losses to storm surge. This would                        limited distributions and small                       significant portion of its range’’ and a
                                                further reduce and fragment the                          population sizes of many populations of               threatened species as ‘‘any species
                                                populations. A 1.8–m (6–ft) rise would                   the four plants make them extremely                   which is likely to become an
                                                completely inundate all areas that                       susceptible to the detrimental effects of             endangered species within the
                                                support Argythamnia blodgettii south of                  further habitat modification,                         foreseeable future throughout all or a
                                                Lignumvitae Key. Key Largo, Windley                      degradation, and loss, as well as other               significant portion of its range.’’ As
                                                Key, and Lignumvitae Key are the only                    anthropogenic threats. Mechanisms                     described in detail above, Chamaecrista
                                                existing areas supporting extant                         leading to the decline of the four plants,            lineata var. keyensis, Chamaesyce
                                                populations that could continue to                       as discussed above, range from local                  deltoidea ssp. serpyllum, and Linum
                                                support a population given a 1.8-m (6-                   (e.g., agriculture) to regional (e.g.,                arenicola are currently at risk
                                                ft) sea level rise.                                      development, fragmentation, nonnative                 throughout all of their range due to the
                                                                                                         species) to global (e.g., climate change,             immediacy, severity, significance,
                                                Conservation Efforts To Reduce Other                     SLR) influences. The synergistic effects              timing, and scope of those threats.
                                                Natural or Manmade Factors Affecting                     of threats, such as impacts from                      Impacts from these threats are ongoing
                                                Its Continued Existence                                  hurricanes on a species with a limited                and increasing; singly or in
                                                   NPS, the Service, Miami-Dade                          distribution and small populations,                   combination, these threats place these
                                                County, and the State of Florida have                    make it difficult to predict population               three plants in danger of extinction. The
                                                ongoing nonnative plant management                       viability. While these stressors may act              risk of extinction is high because the
                                                programs to reduce threats on public                     in isolation, it is more probable that                populations are small, are isolated, and
                                                lands, as funding and resources allow.                   many stressors are acting                             have limited to no potential for
                                                In Miami-Dade County, nonnative,                         simultaneously (or in combination) on                 recolonization. Numerous threats are
                                                invasive plant management is very                        populations of these four plants, making              currently ongoing and are likely to
                                                active, with a goal to treat all publicly                them more vulnerable.                                 continue in the foreseeable future, at a
                                                owned properties at least once a year                                                                          high intensity and across the entire
                                                                                                         Determination
                                                and more often in many cases. IRC and                                                                          range of these plants. Furthermore,
                                                FTBG conduct research and monitoring                       We have carefully assessed the best                 natural stochastic events and changes in
                                                in various natural areas within Miami-                   scientific and commercial data available              climatic conditions pose a threat to the
                                                Dade County and the Florida Keys for                     regarding the past, present, and future               persistence of these plants, especially in
                                                various endangered plant species and                     threats to Chamaecrista lineata var.                  light of the fact these events cannot be
                                                nonnative, invasive species.                             keyensis, Chamaesyce deltoidea ssp.                   controlled and mitigation measures
                                                                                                         serpyllum, Linum arenicola, and                       have yet to be addressed. Individually
                                                Summary of Factor E                                      Argythamnia blodgettii. Numerous                      and collectively, all these threats can
                                                   We have analyzed threats from other                   populations of all four plants have been              contribute to the local extirpation and
                                                natural or manmade factors including:                    extirpated from these species’ historical             potential extinction of these plant
                                                Nonnative, invasive plants; management                   ranges, and the primary threats of                    species. Because these threats are
                                                practices used on roadsides and                          habitat destruction and modification                  placing them in danger of extinction
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                                                disturbed sites (such as mowing,                         resulting from human population                       throughout their ranges, we have
                                                sodding, and herbicide use); pesticide                   growth and development, agricultural                  determined that each of these three
                                                spraying and its effects on pollinators;                 conversion, and inadequate fire                       plants meets the definition of an
                                                environmental stochasticity; effects                     management (Factor A); competition                    endangered species throughout their
                                                from small population size and                           from nonnative, invasive species (Factor              ranges.
                                                isolation; and the effects of climate                    E); changes in climatic conditions,                      Throughout its range, Argythamnia
                                                change, including SLR. The related risks                 including SLR (Factor E); and natural                 blodgettii faces threats similar to the


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                                                66862            Federal Register / Vol. 81, No. 189 / Thursday, September 29, 2016 / Rules and Regulations

                                                other three plant species that are the                   species and because the threats are                   provide estimates of the cost of
                                                subjects of this rule. However, we find                  occurring rangewide, are ongoing, and                 implementing recovery tasks. Recovery
                                                that endangered species status is not                    are expected to continue into the future.             teams (composed of species experts,
                                                appropriate for A. blodgettii. While we                  We find that A. blodgettii is likely to               Federal and State agencies,
                                                have evidence of threats under Factors                   become an endangered species within                   nongovernmental organizations, and
                                                A, D, and E affecting the species,                       the foreseeable future throughout all or              stakeholders) are often established to
                                                insufficient data are available to identify              a significant portion of its range, and we            develop recovery plans. If these four
                                                the trends in extant populations.                        list the species as a threatened species              plant species are listed, a recovery
                                                Twenty populations are extant, 15 are                    in accordance with sections 3(20) and                 outline, draft recovery plan, and the
                                                extirpated, and we are uncertain of the                  4(a)(1) of the Act.                                   final recovery plan will be available on
                                                status of 15 populations that have not                                                                         our Web site (http://www.fws.gov/
                                                                                                         Available Conservation Measures
                                                been surveyed in 15 years or more.                                                                             endangered), or from our South Florida
                                                Additionally, data show that the threat                    Conservation measures provided to                   Ecological Services Field Office (see FOR
                                                of habitat loss from sea level rise is not               species listed as endangered or                       FURTHER INFORMATION CONTACT).
                                                as severe for this species. Also, A.                     threatened under the Act include                         Implementation of recovery actions
                                                blodgettii is likely less vulnerable                     recognition, recovery actions,                        generally requires the participation of a
                                                because of the larger number of sites                    requirements for Federal protection, and              broad range of partners, including other
                                                where it occurs throughout Miami-Dade                    prohibitions against certain practices.               Federal agencies, States, Tribes,
                                                and Monroe Counties. Further, A.                         Recognition through listing results in                nongovernmental organizations,
                                                blodgettii is the only one of the four                   public awareness, and conservation by                 businesses, and private landowners.
                                                plants species that occurs in ENP, where                 Federal, State, Tribal, and local                     Examples of recovery actions include
                                                a population of over 2,000 plants is                     agencies; private organizations; and                  habitat restoration (e.g., restoration of
                                                stable and where prescribed fire and                     individuals. The Act encourages                       native vegetation), research, captive
                                                other management activities that benefit                 cooperation with the States and other                 propagation and reintroduction, and
                                                A. blodgettii are conducted on a regular                 countries and calls for recovery actions              outreach and education. The recovery of
                                                basis. Therefore, based on the best                      to be carried out for listed species. The             many listed species cannot be
                                                available information,                                   protection required by Federal agencies               accomplished solely on Federal lands
                                                                                                         and the prohibitions against certain                  because their range may occur primarily
                                                Significant Portion of the Range (SPR)                   activities are discussed, in part, below.             or solely on non-Federal lands. To
                                                   Under the Act and our implementing                      The primary purpose of the Act is the               achieve recovery of these species
                                                regulations, a species may warrant                       conservation of endangered and                        requires cooperative conservation efforts
                                                listing if it is endangered or threatened                threatened species and the ecosystems                 on private, State, and Tribal lands. If
                                                throughout all or a significant portion of               upon which they depend. The ultimate                  these four plant species are listed,
                                                its range. The threats to the survival of                goal of such conservation efforts is the              funding for recovery actions will be
                                                Chamaecrista lineata var. keyensis,                      recovery of these listed species, so that             available from a variety of sources,
                                                Chamaesyce deltoidea ssp. serpyllum,                     they no longer need the protective                    including Federal budgets, State
                                                Linum arenicola, and Argythamnia                         measures of the Act. Subsection 4(f) of               programs, and cost share grants for non-
                                                blodgettii occur throughout these                        the Act calls for the Service to develop              Federal landowners, the academic
                                                species’ ranges and are not restricted to                and implement recovery plans for the                  community, and nongovernmental
                                                any particular significant portion of                    conservation of endangered and                        organizations. In addition, pursuant to
                                                those ranges. Accordingly, our                           threatened species. The recovery                      section 6 of the Act, the State of Florida
                                                assessment and determination applies to                  planning process involves the                         would be eligible for Federal funds to
                                                each of the four plants throughout its                   identification of actions that are                    implement management actions that
                                                entire range. Because we have                            necessary to halt or reverse the species’             promote the protection or recovery of
                                                determined that Chamaecrista lineata                     decline by addressing the threats to its              the four plants. Information on our grant
                                                var. keyensis, Chamaesyce deltoidea                      survival and recovery. The goal of this               programs that are available to aid
                                                ssp. serpyllum, and Linum arenicola                      process is to restore listed species to a             species recovery can be found at: http://
                                                meet the definition of endangered                        point where they are secure, self-                    www.fws.gov/grants.
                                                species, and Argythamnia blodgettii                      sustaining, and functioning components                   Please let us know if you are
                                                meets the definition of a threatened                     of their ecosystems.                                  interested in participating in recovery
                                                species, throughout their ranges, no                       Recovery planning includes the                      efforts for Chamaecrista lineata var.
                                                portion of their ranges can be                           development of a recovery outline                     keyensis, Chamaesyce deltoidea ssp.
                                                ‘‘significant’’ for purposes of the                      shortly after a species is listed and                 serpyllum, Linum arenicola, and
                                                definitions of ‘‘endangered species’’ and                preparation of a draft and final recovery             Argythamnia blodgettii. Additionally,
                                                ‘‘threatened species.’’ See the Service’s                plan. The recovery outline guides the                 we invite you to submit any new
                                                SPR Policy (79 FR 37578; July 1, 2014).                  immediate implementation of urgent                    information on these plants whenever it
                                                   Therefore, on the basis of the best                   recovery actions and describes the                    becomes available and any information
                                                available scientific and commercial                      process to be used to develop a recovery              you may have for recovery planning
                                                information, we list Chamaecrista                        plan. Revisions of the plan may be done               purposes (see FOR FURTHER INFORMATION
                                                lineata var. keyensis, Chamaesyce                        to address continuing or new threats to               CONTACT).
                                                deltoidea ssp. serpyllum, and Linum                      the species, as new substantive                          Section 7(a) of the Act requires
                                                arenicola as endangered species in                       information becomes available. The                    Federal agencies to evaluate their
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                                                accordance with sections 3(6) and                        recovery plan also identifies recovery                actions with respect to any species that
                                                4(a)(1) of the Act. We find that                         criteria for review of when a species                 is listed as an endangered or threatened
                                                threatened species status is not                         may be ready for downlisting or                       species and with respect to its critical
                                                appropriate for Chamaecrista lineata                     delisting, and methods for monitoring                 habitat, if any is designated. Regulations
                                                var. keyensis, Chamaesyce deltoidea                      recovery progress. Recovery plans also                implementing this interagency
                                                ssp. serpyllum, and Linum arenicola                      establish a framework for agencies to                 cooperation provision of the Act are
                                                because of the contracted range of each                  coordinate their recovery efforts and                 codified at 50 CFR part 402. Section


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                                                                 Federal Register / Vol. 81, No. 189 / Thursday, September 29, 2016 / Rules and Regulations                                       66863

                                                7(a)(2) of the Act requires Federal                      under the Factor D discussion, above.                 under Federal jurisdiction; maliciously
                                                agencies to ensure that activities they                  Federal listing will increase protection              damage or destroy any of the four plant
                                                authorize, fund, or carry out are not                    for these plants by making violations of              species on any such area; or remove,
                                                likely to jeopardize the continued                       section 3 of the Florida Statute                      cut, dig up, or damage or destroy any of
                                                existence of the species or destroy or                   punishable as a Federal offense under                 the four plant species on any other area
                                                adversely modify its critical habitat. If a              section 9 of the Act. This would provide              in knowing violation of any law or
                                                Federal action may affect a listed                       increased protection from unauthorized                regulation of any State or in the course
                                                species or its critical habitat, if                      collecting and vandalism for the plants               of any violation of a State criminal
                                                designated, the responsible Federal                      on State and private lands, where they                trespass law.
                                                agency must enter into consultation                      might not otherwise be protected by the                  (3) Deliver, receive, carry, transport,
                                                with the Service.                                        Act, and would increase the severity of               or ship in interstate or foreign
                                                   Federal agency actions within the                     the penalty for unauthorized collection,              commerce, by any means whatsoever
                                                species’ habitat that may require                        vandalism, or trade in these plants.                  and in the course of a commercial
                                                consultation as described in the                            The Service acknowledges that it                   activity, any of the four plant species.
                                                preceding paragraph include                              cannot fully address some of the natural                 (4) Sell or offer for sale in interstate
                                                management and any other landscape-                      threats facing Chamaecrista lineata var.              or foreign commerce any of the four
                                                altering activities on Federal lands                     keyensis, Chamaesyce deltoidea ssp.                   plant species.
                                                administered by the Service, NPS, and                    serpyllum, Linum arenicola, and                          (5) Introduce any nonnative wildlife
                                                Department of Defense; issuance of                       Argythamnia blodgettii, (e.g.,                        or plant species to the State of Florida
                                                section 404 Clean Water Act (33 U.S.C.                   hurricanes, storm surge) or even some of              that compete with or prey upon
                                                1251 et seq.) permits by the U.S. Army                   the other significant, long-term threats              Chamaecrista lineata var. keyensis,
                                                Corps of Engineers; construction and                     (e.g., climatic changes, SLR). However,               Chamaesyce deltoidea ssp. serpyllum,
                                                management of gas pipeline and power                     through listing, we can provide                       Linum arenicola, or Argythamnia
                                                line rights-of-way by the Federal Energy                 protection to the known populations                   blodgettii.
                                                Regulatory Commission; construction                      and any new population of these plants                   (6) Release any unauthorized
                                                and maintenance of roads or highways                     that may be discovered (see discussion                biological control agents that attack any
                                                by the Federal Highway Administration;                   below). With listing, we can also                     life stage of Chamaecrista lineata var.
                                                and disaster relief efforts conducted by                 influence Federal actions that may                    keyensis, Chamaesyce deltoidea ssp.
                                                the Federal Emergency Management                         potentially impact these plants (see                  serpyllum, Linum arenicola, or
                                                Agency.                                                  discussion below); this is especially                 Argythamnia blodgettii.
                                                   With respect to endangered plants,                    valuable if these plants are found at                    (7) Manipulate or modify, without
                                                prohibitions outlined at 50 CFR 17.61                    additional locations. With listing, we                authorization, the habitat of
                                                make it illegal for any person subject to                will also be better able to deter illicit             Chamaecrista lineata var. keyensis,
                                                the jurisdiction of the United States to                 collection and trade.                                 Chamaesyce deltoidea ssp. serpyllum,
                                                import or export, transport in interstate                   We may issue permits to carry out                  Linum arenicola, or Argythamnia
                                                or foreign commerce in the course of a                   otherwise prohibited activities                       blodgettii on Federal lands.
                                                commercial activity, sell or offer for sale              involving endangered or threatened                       Questions regarding whether specific
                                                in interstate or foreign commerce, or to                 plants under certain circumstances.                   activities would constitute a violation of
                                                remove and reduce to possession any                      Regulations governing permits for                     section 9 of the Act should be directed
                                                such plant species from areas under                      endangered plants are codified at 50                  to the Field Supervisor of the Service’s
                                                Federal jurisdiction. In addition, for                   CFR 17.62, and for threatened plants at               South Florida Ecological Services Field
                                                endangered plants, the Act prohibits                     50 CFR 17.72. With regard to                          Office (see FOR FURTHER INFORMATION
                                                malicious damage or destruction of any                   endangered plants, the Service may                    CONTACT). Requests for copies of
                                                such species on any area under Federal                   issue a permit authorizing any activity               regulations regarding listed species and
                                                jurisdiction, and the removal, cutting,                  otherwise prohibited by 50 CFR 17.61                  inquiries about prohibitions and permits
                                                digging up, or damaging or destroying of                 for scientific purposes or for enhancing              should be addressed to the U.S. Fish
                                                any such species on any other area in                    the propagation or survival of                        and Wildlife Service, Ecological
                                                knowing violation of any State law or                    endangered plants.                                    Services Division, Endangered Species
                                                regulation, or in the course of any                         It is our policy, as published in the              Permits, 1875 Century Boulevard,
                                                violation of a State criminal trespass                   Federal Register on July 1, 1994 (59 FR               Atlanta, GA 30345 (phone 404–679–
                                                law. Exceptions to these prohibitions                    34272), to identify to the maximum                    7140; fax 404–679–7081).
                                                are outlined at 50 CFR 17.62. With                       extent practicable at the time a species                 When Chamaecrista lineata var.
                                                respect to threatened plants, 50 CFR                     is proposed for listing or listed, those              keyensis, Chamaesyce deltoidea ssp.
                                                17.71 provides that, with certain                        activities that would or would not                    serpyllum, Linum arenicola, and
                                                exceptions, all of the prohibitions                      constitute a violation of section 9 of the            Argythamnia blodgettii are listed under
                                                outlined at 50 CFR 17.61 for endangered                  Act. The intent of this policy is to                  the Act, the State of Florida’s
                                                plants also apply to threatened plants.                  increase public awareness of the effect               Endangered Species Act (Florida
                                                Permit exceptions to the prohibitions for                of a final listing on proposed and                    Statutes 581.185) is automatically
                                                threatened plants are outlined at 50 CFR                 ongoing activities within the range of                invoked, which also prohibits take of
                                                17.72.                                                   the species. Based on the best available              these plants and encourages
                                                   Preservation of native flora of Florida               information, the following actions may                conservation by State government
                                                through Florida Statutes 581.185,                        potentially result in a violation of                  agencies. Further, the State may enter
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                                                sections (3)(a) and (3)(b), provide                      section 9, of the Act; this list is not               into agreements with Federal agencies
                                                limited protection to species listed in                  comprehensive:                                        to administer and manage any area
                                                the State of Florida Regulated Plant                        (1) Import any such species into, or               required for the conservation,
                                                Index including Chamaecrista lineata                     export any of the four plant species                  management, enhancement, or
                                                var. keyensis, Chamaesyce deltoidea                      from, the United States.                              protection of endangered species
                                                ssp. serpyllum, Linum arenicola, and                        (2) Remove and reduce to possession                (Florida Statutes 581.185). Funds for
                                                Argythamnia blodgettii, as described                     any of the four plant species from areas              these activities can be made available


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                                                66864            Federal Register / Vol. 81, No. 189 / Thursday, September 29, 2016 / Rules and Regulations

                                                under section 6 of the Act (Cooperation                     Section 4(a)(3) of the Act, as                     Required Determinations
                                                with the States). Thus, the Federal                      amended, and implementing regulations
                                                                                                                                                               National Environmental Policy Act (42
                                                protection afforded to these plants by                   (50 CFR 424.12), require that, to the
                                                                                                                                                               U.S.C. 4321 et seq.)
                                                listing them as endangered species will                  maximum extent prudent and
                                                be reinforced and supplemented by                        determinable, the Secretary will                         We have determined that
                                                protection under State law.                              designate critical habitat at the time the            environmental assessments and
                                                   Activities that the Service believes                  species is determined to be an                        environmental impact statements, as
                                                could potentially harm these four plants                 endangered or threatened species. Our                 defined under the authority of the
                                                include, but are not limited to:                         regulations (50 CFR 424.12(a)(1)) state               National Environmental Policy Act need
                                                   (1) Actions that would significantly                  that the designation of critical habitat is           not be prepared in connection with
                                                alter the hydrology or substrate, such as                not prudent when one or both of the                   listing a species as an endangered or
                                                ditching or filling. Such activities may                 following situations exist:                           threatened species under the
                                                include, but are not limited to, road                                                                          Endangered Species Act. We published
                                                                                                            (1) The species is threatened by taking
                                                construction or maintenance, and                                                                               a notice outlining our reasons for this
                                                                                                         or other human activity, and
                                                residential, commercial, or recreational                                                                       determination in the Federal Register
                                                                                                         identification of critical habitat can be
                                                development.                                                                                                   on October 25, 1983 (48 FR 49244).
                                                                                                         expected to increase the degree of threat
                                                   (2) Actions that would significantly                  to the species, or                                    References Cited
                                                alter vegetation structure or
                                                                                                            (2) Such designation of critical habitat             A complete list of references cited in
                                                composition, such as clearing vegetation
                                                                                                         would not be beneficial to the species.               this rulemaking is available on the
                                                for construction of residences, facilities,
                                                                                                            In our proposed listing rule, we                   Internet at http://www.regulations.gov
                                                trails, and roads.
                                                                                                         determined that because the designation               and upon request from the South
                                                   (3) Actions that would introduce                                                                            Florida Ecological Services Field Office
                                                nonnative species that would                             of critical habitat will not likely increase
                                                                                                         the degree of threat to the species and               (see FOR FURTHER INFORMATION CONTACT).
                                                significantly alter vegetation structure or
                                                composition. Such activities may                         may provide some measure of benefit,                  Authors
                                                include, but are not limited to,                         the designation of critical habitat is
                                                                                                         prudent for Chamaecrista lineata var.                   The primary authors of this final rule
                                                residential and commercial                                                                                     are the staff members of the South
                                                development, and road construction.                      keyensis, Chamaesyce deltoidea ssp.
                                                                                                         serpyllum, Linum arenicola, and                       Florida Ecological Services Field Office.
                                                   (4) Application of herbicides, or
                                                release of contaminants, in areas where                  Argythamnia blodgettii.                               List of Subjects in 50 CFR Part 17
                                                these plants occur. Such activities may                     Our regulations (50 CFR 424.12(a)(2))                Endangered and threatened species,
                                                include, but are not limited to, natural                 further state that critical habitat is not            Exports, Imports, Reporting and
                                                resource management, management of                       determinable when one or both of the                  recordkeeping requirements,
                                                rights-of-way, residential and                           following situations exists: (1)                      Transportation.
                                                commercial development, and road                         Information sufficient to perform
                                                construction.                                            required analysis of the impacts of the               Regulation Promulgation
                                                                                                         designation is lacking; or (2) the                      Accordingly, we amend part 17,
                                                Critical Habitat
                                                                                                         biological needs of the species are not               subchapter B of chapter I, title 50 of the
                                                   Section 3(5)(A) of the Act defines                    sufficiently well known to permit                     Code of Federal Regulations, as follows:
                                                critical habitat as (i) the specific areas               identification of an area as critical
                                                within the geographical area occupied                    habitat. On the basis of a review of                  PART 17—ENDANGERED AND
                                                by the species, at the time it is listed on              available information, we find that                   THREATENED WILDLIFE AND PLANTS
                                                which are found those physical or                        critical habitat for Chamaecrista lineata
                                                biological features (I) essential to the                 var. keyensis, Chamaesyce deltoidea                   ■ 1. The authority citation for part 17
                                                conservation of the species and (II)                     ssp. serpyllum, Linum arenicola, and                  continues to read as follows:
                                                which may require special management                     Argythamnia blodgettii is not                           Authority: 16 U.S.C. 1361–1407; 1531–
                                                considerations or protection; and (ii)                   determinable because the specific                     1544; and 4201–4245, unless otherwise
                                                specific areas outside the geographical                  mapping and economic information                      noted.
                                                area occupied by the species at the time                 sufficient to perform the required                    ■ 2. Amend § 17.12(h) by adding entries
                                                it is listed upon a determination by the                 analysis of the impacts of the                        for Argythamnia blodgettii,
                                                Secretary of the Interior that such areas                designation is currently lacking. We are              Chamaecrista lineata var. keyensis,
                                                are essential for the conservation of the                still in the process of obtaining more                Chamaesyce deltoidea ssp. serpyllum,
                                                species. Section 3(3) of the Act defines                 information needed to properly evaluate               and Linum arenicola, in alphabetical
                                                conservation as to use and the use of all                the economic impacts of designation.                  order under FLOWERING PLANTS, to
                                                methods and procedures which are                         We intend to publish a proposed rule                  the List of Endangered and Threatened
                                                necessary to bring any endangered                        designating critical habitat for                      Plants to read as follows:
                                                species or threatened species to the                     Chamaecrista lineata var. keyensis,
                                                point at which the measures provided                     Chamaesyce deltoidea ssp. serpyllum,                  § 17.12    Endangered and threatened plants.
                                                pursuant to the Act are no longer                        Linum arenicola, and Argythamnia                      *       *    *     *     *
                                                necessary.                                               blodgettii by the end of fiscal year 2017.                (h) * * *
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                                                                 Federal Register / Vol. 81, No. 189 / Thursday, September 29, 2016 / Rules and Regulations                                                                    66865

                                                                                                                                                                                                           Listing citations and
                                                          Scientific name                                Common name                                    Where listed                     Status              applicable rules

                                                FLOWERING PLANTS

                                                        *                          *                           *                              *                        *                              *                    *
                                                Argythamnia blodgettii ...............       Blodgett’s silverbush ................         Wherever found ........................     T            [Insert Federal Register cita-
                                                                                                                                                                                                        tion]; September 29, 2016.

                                                        *                             *                       *                               *                        *                              *                    *
                                                Chamaecrista lineata var.                    Big Pine partridge pea .............           Wherever found ........................    E             [Insert Federal Register cita-
                                                  keyensis.                                                                                                                                             tion]; September 29, 2016.

                                                          *                           *                     *                                 *                        *                              *                    *
                                                Chamaesyce deltoidea ssp.                    Wedge spurge ..........................        Wherever found ........................    E             [Insert Federal Register cita-
                                                  serpyllum.                                                                                                                                            tion]; September 29, 2016.

                                                         *                            *                          *                            *                        *                              *                    *
                                                Linum arenicola .........................    Sand flax ..................................   Wherever found ........................    E             [Insert Federal Register cita-
                                                                                                                                                                                                        tion]; September 29, 2016.

                                                           *                          *                             *                           *                        *                           *                     *


                                                  Dated: September 21, 2016.                                     commercial quotas for North Carolina                           (34,019 kg) of bluefish commercial
                                                Stephen Guertin,                                                 and Massachusetts.                                             quota from North Carolina to
                                                Acting Director, U.S. Fish and Wildlife                          DATES: Effective September 28, 2016,                           Massachusetts. Both states have
                                                Service.                                                         through December 31, 2016.                                     certified that the transfer meets all
                                                [FR Doc. 2016–23546 Filed 9–28–16; 8:45 am]
                                                                                                                 FOR FURTHER INFORMATION CONTACT: Reid
                                                                                                                                                                                pertinent state requirements. This quota
                                                BILLING CODE 4333–15–P
                                                                                                                 Lichwell, Fishery Management                                   transfer was requested by Massachusetts
                                                                                                                 Specialist, (978) 281–9112.                                    to ensure that its 2016 quota would not
                                                                                                                                                                                be exceeded. The Regional
                                                                                                                 SUPPLEMENTARY INFORMATION:                                     Administrator has approved this quota
                                                DEPARTMENT OF COMMERCE
                                                                                                                 Regulations governing the Atlantic                             transfer based on his determination that
                                                National Oceanic and Atmospheric                                 bluefish fishery are found in 50 CFR                           the criteria set forth in § 648.162(e)(1)(i)
                                                Administration                                                   648.160 through 648.167. The                                   through (iii) have been met. The revised
                                                                                                                 regulations require annual specification                       bluefish quotas for calendar year 2016
                                                50 CFR Part 648                                                  of a commercial quota that is                                  are: North Carolina, 1,391,100 lb
                                                                                                                 apportioned among the coastal states                           (630,992 kg); and Massachusetts,
                                                [Docket No. 151130999–6225–01]                                   from Maine through Florida. The                                553,096 lb (250,880 kg). These quota
                                                RIN 0648–XE895                                                   process to set the annual commercial                           adjustments revise the quotas specified
                                                                                                                 quota and the percent allocated to each                        in the final rule implementing the 2016–
                                                Fisheries of the Northeastern United                             state are described in § 648.162.
                                                States; Atlantic Bluefish Fishery;                                                                                              2018 Atlantic Bluefish Specifications
                                                                                                                    The final rule implementing                                 published on August 4, 2016 (81 FR
                                                Quota Transfer                                                   Amendment 1 to the Bluefish Fishery                            51370), and reflect all subsequent
                                                AGENCY:  National Marine Fisheries                               Management Plan published in the                               commercial bluefish quota transfers
                                                Service (NMFS), National Oceanic and                             Federal Register on July 26, 2000 (65 FR                       completed to date. For information of
                                                Atmospheric Administration (NOAA),                               45844), and provided a mechanism for                           previous transfers for fishing year 2016
                                                Commerce.                                                        transferring bluefish quota from one                           visit: http://go.usa.gov/xZT8H.
                                                ACTION: Temporary rule; approval of
                                                                                                                 state to another. Two or more states,
                                                quota transfer.                                                  under mutual agreement and with the                            Classification
                                                                                                                 concurrence of the Administrator,
                                                SUMMARY:   NMFS announces its approval                           Greater Atlantic Region, NMFS                                    This action is taken under 50 CFR
                                                of a transfer of a portion of the 2016                           (Regional Administrator), can request                          part 648 and is exempt from review
                                                commercial bluefish quota from the                               approval of a transfer of bluefish                             under Executive Order 12866.
                                                State of North Carolina to the                                   commercial quota under                                               Authority: 16 U.S.C. 1801 et seq.
                                                Commonwealth of Massachusetts. This                              § 648.162(e)(1)(i) through (iii). The
                                                approval of the transfer complies with                           Regional Administrator must first                              Emily H. Menashes,
                                                the Atlantic Bluefish Fishery                                    approve any such transfer based on the                         Acting Director, Office of Sustainable
                                                Management Plan quota transfer                                   criteria in § 648.162(e).                                      Fisheries, National Marine Fisheries Service.
                                                provision. This announcement also                                   North Carolina and Massachusetts                            [FR Doc. 2016–23469 Filed 9–28–16; 8:45 am]
                                                informs the public of the revised                                have requested the transfer of 75,000 lb                       BILLING CODE 3510–22–P
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Document Created: 2016-09-29 04:14:21
Document Modified: 2016-09-29 04:14:21
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionRules and Regulations
ActionFinal rule.
DatesThis rule is effective October 31, 2016.
ContactRoxanna Hinzman, U.S. Fish and Wildlife Service, South Florida Ecological Services Field Office, 1339 20th Street, Vero Beach, FL 32960; telephone 772-562-3909; facsimile 772-562-4288. Persons who use a telecommunications device for the deaf (TDD) may call the Federal Information Relay Service (FIRS) at 800-877- 8339.
FR Citation81 FR 66842 
RIN Number1018-AZ95
CFR AssociatedEndangered and Threatened Species; Exports; Imports; Reporting and Recordkeeping Requirements and Transportation

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