81_FR_95564 81 FR 95316 - Endangered and Threatened Wildlife and Plants; Endangered Species Act Compensatory Mitigation Policy

81 FR 95316 - Endangered and Threatened Wildlife and Plants; Endangered Species Act Compensatory Mitigation Policy

DEPARTMENT OF THE INTERIOR
Fish and Wildlife Service

Federal Register Volume 81, Issue 248 (December 27, 2016)

Page Range95316-95349
FR Document2016-30929

We, the U.S. Fish and Wildlife Service (Service or USFWS), announce the final Endangered Species Act (ESA) Compensatory Mitigation Policy. The new policy steps down and implements recent Executive Office, Department of the Interior, and Service mitigation policies that reflect a shift from project-by-project to landscape-scale approaches to planning and implementing compensatory mitigation. The new policy is established to improve consistency and effectiveness in the use of compensatory mitigation as recommended or required under the ESA. The ESA Compensatory Mitigation Policy covers permittee- responsible mitigation, conservation banking, in-lieu fee programs, and other third-party mitigation mechanisms, and stresses the need to hold all compensatory mitigation mechanisms to equivalent and effective standards.

Federal Register, Volume 81 Issue 248 (Tuesday, December 27, 2016)
[Federal Register Volume 81, Number 248 (Tuesday, December 27, 2016)]
[Notices]
[Pages 95316-95349]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2016-30929]



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Vol. 81

Tuesday,

No. 248

December 27, 2016

Part II





Department of the Interior





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Fish and Wildlife Service





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Endangered and Threatened Wildlife and Plants; Endangered Species Act 
Compensatory Mitigation Policy; Notice

Federal Register / Vol. 81, No. 248 / Tuesday, December 27, 2016 / 
Notices

[[Page 95316]]


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DEPARTMENT OF THE INTERIOR

Fish and Wildlife Service

[Docket No. FWS-HQ-ES-2015-0165; FXES11140900000-178nmdash;FF09E33000]


Endangered and Threatened Wildlife and Plants; Endangered Species 
Act Compensatory Mitigation Policy

AGENCY: Fish and Wildlife Service, Interior.

ACTION: Notice of final policy.

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SUMMARY: We, the U.S. Fish and Wildlife Service (Service or USFWS), 
announce the final Endangered Species Act (ESA) Compensatory Mitigation 
Policy. The new policy steps down and implements recent Executive 
Office, Department of the Interior, and Service mitigation policies 
that reflect a shift from project-by-project to landscape-scale 
approaches to planning and implementing compensatory mitigation. The 
new policy is established to improve consistency and effectiveness in 
the use of compensatory mitigation as recommended or required under the 
ESA. The ESA Compensatory Mitigation Policy covers permittee-
responsible mitigation, conservation banking, in-lieu fee programs, and 
other third-party mitigation mechanisms, and stresses the need to hold 
all compensatory mitigation mechanisms to equivalent and effective 
standards.

DATES: This policy is effective on December 27, 2016.

ADDRESSES: Comments and materials received, as well as supporting 
documentation used in the preparation of this policy, including an 
environmental assessment, are available on the Internet at http://www.regulations.gov at Docket Number FWS-HQ-ES-2015-0165.

FOR FURTHER INFORMATION CONTACT: Craig Aubrey, U.S. Fish and Wildlife 
Service, Division of Environmental Review, 5275 Leesburg Pike, Falls 
Church, VA 22041-3803; telephone 703-358-2442. Persons who use a 
telecommunications device for the deaf (TDD) may call the Federal Relay 
Service at 800-877-8339.

SUPPLEMENTARY INFORMATION:

Background

    The mission of the U.S. Fish and Wildlife Service (Service or 
USFWS) is working with others to conserve, protect, and enhance fish, 
wildlife, and plants and their habitats for the continuing benefit of 
the American people. As part of our mission, we continually seek 
opportunities to engage both the public and private sectors to work 
with us to conserve species and the ecosystems on which they depend. 
This collaborative effort includes conservation of endangered and 
threatened (listed) species and their designated critical habitat 
protected under the Endangered Species Act of 1973, as amended (ESA; 16 
U.S.C. 1531 et seq.), and other species proposed for listing or at-risk 
of being listed. The purposes of the ESA are to provide a means whereby 
the ecosystems upon which listed species depend may be conserved, and 
to provide a program for the conservation of such species. The Service 
and National Oceanic and Atmospheric Administration's National Marine 
Fisheries Service share responsibilities for administering the ESA. 
However, this policy only applies to the Service and species under our 
jurisdiction.
    This policy is the first comprehensive treatment of compensatory 
mitigation under authority of the ESA to be issued by the Service. Both 
the 1995 interagency policy on the establishment and operation of 
wetland mitigation banks (60 FR 58605, November 28, 1995) and the 2000 
interagency policy on the use of in-lieu fee arrangements (65 FR 66914, 
November 7, 2000) are specific to wetland mitigation, but provide 
guidance that is generally applicable to conservation banking and in-
lieu fee programs for species associated with wetlands or uplands. 
These interagency policies were superseded by the Environmental 
Protection Agency--U.S. Army Corps of Engineers 2008 Compensatory 
Mitigation Rule for Losses of Aquatic Resources (73 FR 19594, April 10, 
2008). In 2003, the Service issued guidance on the establishment, use, 
and operation of conservation banks (68 FR 24753, May 8, 2003). In 
2008, we issued recovery crediting guidance (73 FR 44761, July 31, 
2008). This ESA Compensatory Mitigation Policy clarifies Service 
expectations regarding all compensatory mitigation mechanisms 
recommended or supported by the Service when implementing the ESA, 
including, but not limited to, conservation banks, in-lieu fee 
programs, habitat credit exchanges, and permittee-responsible 
mitigation.

Purpose and Importance of the Policy

    The primary intent of the policy is to provide Service personnel 
with direction and guidance in the planning and implementation of 
compensatory mitigation, primarily through encouraging strategic 
planning at the landscape level and setting standards that mitigation 
programs and projects must meet to achieve conservation that is 
effective and sustainable. Compensatory mitigation is defined in this 
policy as compensation for remaining unavoidable impacts after all 
appropriate and practicable avoidance and minimization measures have 
been applied, by replacing or providing substitute resources or 
environments (see 40 CFR 1508.20) through the restoration, 
establishment, enhancement, or preservation of resources and their 
values, services, and functions (part 600, chapter 6 of the 
Departmental Manual (600 DM 6.4C)). While this policy addresses only 
the role of compensatory mitigation under the ESA, avoidance and 
minimization of impacts retain their central role in both the section 7 
and section 10 processes. Guidance on the application of the mitigation 
hierarchy is provided in our Mitigation Policy (81 FR 83440, November 
21, 2016), regulations implementing the ESA, and other policies and 
guidance documents specific to various sections of the ESA.

Alignment of the Policy With Existing Directives

    By memorandum (80 FR 68743, November 6, 2015), the President 
directed all Federal agencies that manage natural resources, ``to avoid 
and then minimize harmful effects to land, water, wildlife, and other 
ecological resources (natural resources) caused by land- or water-
disturbing activities, and to ensure that any remaining harmful effects 
are effectively addressed, consistent with existing mission and legal 
authorities.'' This policy is consistent with the Presidential 
memorandum (``Mitigating Impacts on Natural Resources From Development 
and Encouraging Related Private Investment'') issued November 3, 2015; 
the Department of the Interior (Department) Secretarial Order 3330 
entitled, ``Improving Mitigation Policies and Practices of the 
Department of the Interior,'' issued October 31, 2013; the new Interior 
Departmental Manual Chapter on Landscape-Scale Mitigation Policy, 600 
DM 6 (October 23, 2015); and is intended to institute the policies and 
procedures reflected in the guiding principles on mitigation 
established by the Department through the report to the Secretary 
entitled, ``A Strategy for Improving the Mitigation Policies and 
Practices of The Department of the Interior,'' issued in April 2014 
(Clement et al. 2014). These directives emphasize a comprehensive 
landscape-scale approach to planning and implementing mitigation 
programs, and they also include a mitigation goal to improve

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(i.e., ``net gain'') or, at a minimum, to maintain (i.e., ``no net 
loss'') the current status of affected resources, as allowed by 
applicable statutory authority and consistent with the responsibilities 
of action proponents under such authority, primarily for important, 
scarce, or sensitive resources, or as required or appropriate.
    The mitigation principles set forth in the above directives, 
including the landscape scale approach and the goal of ``net gain,'' 
have been adopted in both the Service's Mitigation Policy (81 FR 83440, 
November 21, 2016), and in this policy. The landscape-scale approach to 
mitigation is not a new concept. For example, in 2013, the Service 
issued mitigation guidance for two listed songbirds in central Texas 
based on recovery goals for these species. The songbird mitigation 
guidance sets minimum standards that must be met by mitigation 
providers and encourages the use of consolidated compensatory 
mitigation in the form of permanent protection and management of large, 
contiguous patches of the species' habitat. Proactive approaches, such 
as this example, provide greater regulatory certainty for project 
proponents and encourage the establishment of conservation banks and 
other mitigation opportunities by mitigation sponsors for use by 
project proponents.
    The mitigation goal (i.e., ``net gain'' or, at a minimum, ``no net 
loss'') is not necessarily based on habitat area, but on numbers of 
individuals, size and distribution of populations, the quality and 
carrying capacity of habitat, or the capacity of the landscape to 
support stable or increasing populations of the affected species after 
the action (including all proposed conservation measures) is 
implemented. In other words, it is based on those factors that 
determine the ability of the species to be conserved.

Benefits of the Policy

    This policy sets forth standards for compensatory mitigation that 
implement the tenets in the directives cited above and reflect the many 
lessons learned by the Service during our more than 40-year history 
implementing the ESA, particularly sections 7 and 10 of the ESA. The 
standards apply to all compensatory mitigation mechanisms (i.e., 
permittee-responsible mitigation, conservation banks, in-lieu fee 
programs, habitat exchanges, and other third-party mitigation 
arrangements), which are instrumental to achieving effective 
compensatory mitigation on the landscape and encouraging private 
investment in compensatory mitigation.
    Adherence to the mitigation principles and compensatory mitigation 
standards identified in this policy will achieve greater consistency, 
predictability, and transparency in implementation of the ESA. Service 
offices are encouraged to work with Federal agencies and other partners 
to establish compensatory mitigation programs based on landscape-scale 
conservation plans, such as more efficient, better coordinated, and 
expedited regulatory processes, which can provide project applicants 
with incentives to mitigate their actions. Compensatory mitigation 
programs and projects designed and implemented in accordance with the 
standards set forth in this policy are expected to achieve the best 
conservation outcomes for listed, proposed, and at-risk species through 
effective management of the risks associated with compensatory 
mitigation.
    This policy encourages the use of market-based compensatory 
mitigation programs such as conservation banking in conjunction with 
programmatic approaches to ESA section 7 consultations and habitat 
conservation plans (HCPs) that can be designed to achieve a ``no net 
loss'' or a ``net gain'' mitigation goal. Consultations and HCPs that 
establish a ``program'' to address multiple, similar actions and/or 
impacts to one or more species operate on a larger landscape scale and 
expedite regulatory processes. Market-based mitigation programs improve 
regulatory predictability, provide efficiencies of scale, and 
incentivize private investment in species conservation (Fox and Nino-
Murcia 2005). The benefits provided by these mitigation programs 
generally encourage Federal agencies and incentivize applicants to 
develop proposed actions that fully compensate for adverse impacts to 
affected species anticipated as a result of their actions.

Discussion

    ``In enacting the ESA, Congress recognized that individual species 
should not be viewed in isolation, but must be viewed in terms of their 
relationship to the ecosystem of which they form a constituent element. 
Although the regulatory mechanisms of the [ESA] focus on species that 
are formally listed as endangered or threatened, the purposes and 
policies of the [ESA] are far broader than simply providing for the 
conservation of individual species or individual members of listed 
species'' (Conference Report No. 97-835 House of Representatives, 
September 17, 1982). This comment, made over 30 years ago during 
reauthorization of the ESA, is a reminder of the challenges still 
before us.
    Incorporating a landscape-scale approach to development and 
conservation planning, including mitigation, that ensures a ``net 
gain'' or, at a minimum, ``no net loss'' in the status of affected 
resources, as directed by the Presidential memorandum (80 FR 68743, 
November 6, 2015), helps address the additive impacts that lead to 
significant deterioration of resources over time and has the potential 
to foster recovery of listed species and avoid listing of additional 
species.
    As discussed later in this document, the Service's authority to 
require compensatory mitigation under the ESA is limited and differs 
under sections 7 and 10. However, we can more broadly recommend the use 
of compensatory mitigation to offset the adverse impacts of actions 
under certain provisions of the ESA and under other authorities, such 
as the Fish and Wildlife Coordination Act (16 U.S.C. 661 et seq.) and 
the National Environmental Policy Act (NEPA; 42 U.S.C. 4321 et seq.). 
This policy encourages Service offices to work with Federal agencies 
and applicants, and to recommend or require, if appropriate, the 
inclusion of compensatory mitigation for all unavoidable adverse 
impacts to listed, proposed, and at-risk species and their habitat 
anticipated as a result of any proposed action. While this practice 
currently exists for some species, it is not used broadly throughout 
the Service. Recommending, where applicable, that Federal agencies use 
their authorities to fully mitigate the adverse effects of their 
actions (i.e., ensure ``no net loss'' in the status of affected 
resources) is consistent with the Presidential memorandum (80 FR 68743, 
November 6, 2015), the Department's and the Service's mitigation 
planning goals, and the purposes of the ESA. Effective mitigation that 
fully offsets the impacts of an action prevents that action from 
causing a decline in the status of affected species (i.e., achieves 
``no net loss'').

Compensatory Mitigation Under Sections 7 and 10 of the ESA

    The additive effects of impacts adversely affecting listed and at-
risk species as a result of many past and current human-caused actions 
are significant. The number of listed species has increased from 
slightly more than 300 in 1982 (when the ESA was reauthorized) to more 
than 1,500 by the end of 2016. While some listed species have been 
reclassified from endangered to threatened (i.e., ``downlisted'') or

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removed from either the Federal List of Endangered and Threatened 
Wildlife or List of Endangered and Threatened Plants (i.e., 
``delisted'') within the last 40 years, the projected increase in human 
population growth, increasing demand on our natural resources 
associated with this projected population growth, accelerated climate 
change, continued introductions of invasive species, and other 
stressors are putting even more species at risk and compromising the 
essential functions of ecosystems necessary to improve the status and 
recover these species. We cannot expect to change the status 
trajectories of these species without a commitment to responsible and 
implementable standards for accomplishing effective, sustainable 
compensatory mitigation that fully offsets the adverse impacts of 
actions to species and other resources of concern.
    Compensatory mitigation is a conservation measure that can be used 
within an appropriate context under section 7 of the ESA to address 
proposed actions that may result in adverse impacts to listed species 
that cannot be avoided. For example, under section 7(a)(1) of the ESA, 
all Federal agencies are required to use their authorities to carry out 
conservation programs for listed species. Federal agencies may choose 
to develop and implement section 7(a)(1) conservation programs for 
listed species in conjunction with section 7(a)(2) consultation through 
a coordinated program. The Service supports these efforts, and we 
encourage Federal agencies to coordinate with us on development of such 
programs.
    Compensatory mitigation can be used under section 10(a)(1)(B) of 
the ESA through HCPs developed to address adverse impacts of non-
Federal actions on listed and other covered species that cannot be 
avoided. Landscape-scale HCPs developed for use by multiple applicants 
to conserve multiple resources are generally the most efficient and 
effective approaches. The Service supports these efforts and encourages 
applicants, particularly local and State agencies and organizations, to 
coordinate with us on the development of such plans.

Landscape-Level Approaches to Compensatory Mitigation

    Taking a landscape-level approach to mitigation will assist the 
Service to modernize our compensatory mitigation procedures and 
practices and better meet the challenges posed by the growing human 
population's demands on our natural resources and changing conditions 
such as those resulting from climate change. Conservation banking is a 
market-based compensatory mitigation mechanism based on a landscape 
approach to mitigation that achieves compensation for listed and other 
resources of concern in advance of project impacts. In-lieu fee 
programs also establish compensatory mitigation sites but generally not 
in advance of impacts and often not through a market-based approach. 
Habitat credit exchanges are a relatively new market-based compensatory 
mitigation mechanism based on a clearinghouse model that may or may not 
accomplish mitigation in advance of project impacts. All three of these 
mitigation mechanisms use a landscape-level approach to consolidate and 
locate compensatory mitigation in areas identified as conservation 
priorities. These programs have designated service areas within which 
proposed actions that meet certain criteria may be mitigated with 
Service approval. The functions and services provided for listed, 
proposed, and at-risk species by these compensatory mitigation programs 
are represented by credits. Credits are used to offset impacts (often 
referred to as debits). Most credit transactions involve a permittee 
purchasing the amount of credits needed to offset the anticipated 
adverse effects of an action from the mitigation project sponsor. The 
Service must approve credit transactions as to their conservation value 
and appropriate application for use related to any authorization or 
permit issued under the ESA.
    The conservation banking model is generally perceived as successful 
at achieving effective conservation outcomes and, when used in 
conjunction with section 7 consultations and section 10 HCPs, has 
achieved notable regulatory efficiencies. Results include ecological 
performance that usually achieves ``no net loss,'' and often a net 
benefit, in species conservation; increased regulatory predictability 
for Federal agencies and applicants; and more efficient and better 
coordinated permitting processes, especially when multiple agencies 
with overlapping regulatory jurisdictions are involved.
    Permittee-responsible mitigation for many small to moderate impacts 
often cannot provide adequate compensation because it is often 
difficult to achieve effective conservation on a small scale. Small 
mitigation sites are often not ecologically defensible, and it is often 
difficult to ensure long-term stewardship of these sites. Most 
individual actions result in small or moderate impacts to species and 
habitat, yet the additive effects of these actions (often referred to 
as ``death by a thousand cuts''), when not compensated for, can have 
substantial adverse effects on these resources by degrading the 
environmental baseline and impairing the potential for future actions. 
In general, conservation banking, in-lieu fee programs, and similar 
mitigation mechanisms that consolidate compensatory mitigation on 
larger landscapes are designed to serve project proponents with small 
to moderate impact actions, are ecologically more effective, and 
provide more economical options to achieve compensation than permittee-
responsible mitigation.
    Furthermore, larger landscape-scale conservation programs with 
market-based compensatory mitigation opportunities create an economic 
incentive for private landowners, investors, and mitigation project 
sponsors to participate in these programs. The most robust programs 
generate competition among mitigation sponsors and may provide cost-
effective means for complying with natural resource laws such as the 
ESA. To be successful, these market-based and other compensatory 
mitigation programs must operate transparently and be held to high 
standards that are uniformly applied across all compensatory mitigation 
mechanisms. Equally important is transparency in the implementation of 
the ESA and the development of mitigation programs for use by regulated 
communities.

Mitigation Defined

    Because endangered and threatened species are by definition in 
danger of extinction or likely to become so in the foreseeable future, 
avoiding, minimizing, and compensating for impacts to their populations 
are all forms of mitigation that the Service may consider when 
administering the ESA. The Council on Environmental Quality (CEQ) NEPA 
regulations (40 CFR 1508.20) state that mitigation includes:
     Avoiding the impact altogether by not taking a certain 
action or parts of an action;
     Minimizing impacts by limiting the degree or magnitude of 
the action and its implementation;
     Rectifying the impact by repairing, rehabilitating, or 
restoring the affected environment;
     Reducing or eliminating the impact over time by 
preservation and maintenance operations during the life of the action; 
and
     Compensating for the impact by replacing or providing 
substitute resources or environments.
    In 600 DM 6, the Department of the Interior states that mitigation, 
as

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enumerated by CEQ, is compatible with Departmental policy; however, as 
a practical matter, the mitigation elements are categorized into three 
general types that form a sequence: Avoidance, minimization, and 
compensatory mitigation for remaining unavoidable (also known as 
residual) impacts. Historically, those administering the ESA have often 
used a condensed mitigation sequence--avoid, minimize, and compensate; 
or avoid, minimize, and mitigate. This policy adopts the Department's 
definition of compensatory mitigation: Compensation for remaining 
unavoidable impacts after all appropriate and practicable avoidance and 
minimization measures have been applied, by replacing or providing 
substitute resources or environments (see 40 CFR 1508.20) through the 
restoration, establishment, enhancement, or preservation of resources 
and their values, services, and functions (600 DM 6.4C). Throughout 
this policy, ``compensatory mitigation'' or ``compensation'' is used in 
this broad sense to include any measure that would rectify, reduce, or 
compensate for an impact to an affected resource. We also use the term 
``minimize'' in the broad sense throughout this policy to include any 
conservation measure, including compensation, which would lessen the 
impact of the action on the species or other affected resource. We 
recognize there is some overlap in the use of these terms but, as a 
practical matter, this use in practice is consistent with the intent of 
the ESA. Information regarding avoidance and observance of the 
mitigation sequence can be found at our Mitigation Policy (81 FR 83440, 
November 21, 2016). This ESA Compensatory Mitigation Policy covers 
permittee-responsible mitigation, conservation banking, in-lieu fee 
programs, and all other compensatory mitigation mechanisms.

Implementation

    The Service will issue interim guidance containing specific 
operational steps to assist Service staff in implementing this policy. 
This interim guidance will be issued in the form of a Director's 
memorandum, which will be used to develop a Service Manual chapter at a 
later date. Throughout this policy, the term ``implementation 
guidance'' will be used when referencing the interim guidance and 
future Service Manual chapter.

Changes From the Draft Policy

    This final policy differs from the draft policy in a few 
substantive respects, which we list below, and contains editorial 
changes in response to comments we received that requested greater 
clarity of expression regarding various aspects of the policy's 
purpose, authorities, scope, general principles, framework for 
formulating mitigation measures, and definitions. The most common 
editorial change to the final policy addresses the concern that the 
Service lacks authority to apply compensatory mitigation to the ESA. 
Reasons cited by the commenters for not applying compensatory 
mitigation to the ESA included: (a) The ESA does not provide authority 
to require mitigation; and (b) policy concepts such as ``net 
conservation gain'' and a ``landscape approach'' to conservation are 
inconsistent with ESA statutory authority and regulatory requirements. 
This final policy adds new text to 2. Authorities and Coordination that 
identifies those circumstances under which we have specific authority 
to require, consistent with other applicable laws and regulations, one 
or more forms of compensatory mitigation for impacts to federally 
listed species, proposed species, and candidates as defined in the ESA. 
This policy provides a common framework for the Service when 
identifying and implementing compensatory mitigation measures pursuant 
to the ESA. The policy, however, cannot and does not alter or 
substitute for the regulations implementing the ESA. We summarize below 
the few substantive changes from the draft policy, listed by section.
    Section 5 in the draft policy, Application of Compensatory 
Mitigation Under the ESA, was moved in its entirety to replace section 
4, as we felt it more appropriate to discuss the policy's application 
under the ESA after section 2. Authorities and Coordination, and 
section 3. Scope. Section 4 in the draft policy, Compensatory 
Mitigation Standards, is now section 5 in this final policy.
    In section 5.1, Siting Sustainable Compensatory Mitigation, this 
final policy focuses on overarching considerations and leaves specific 
factors or examples to be explained in the implementation guidance.
    In section 6.1.3, ``Preference for Consolidated Compensatory 
Mitigation,'' we removed habitat credit exchanges as a specifically 
identified preference for compensatory mitigation because we do not yet 
have the record of success with this mechanism that we have with other 
mechanisms such as conservation banks.
    The bulk of sections 6.2.3, ``Ensuring Durability on Public 
Lands,'', and 6.2.4, ``Transfer of Private Mitigation Lands to Public 
Agencies,'' was removed from the policy and will be discussed in the 
implementation guidance, as well as the prescriptive operational detail 
from section 6.6, Managing Risk and Uncertainty.
    In section 7.1.4 ``Habitat Credit Exchange,'' we added text 
indicating that habitat credit exchanges are a relatively new 
mitigation mechanism, and warrant additional care and consideration 
when implementing them. We also removed section 7.1.5, ``Other Third-
party Compensatory Mitigation,'' as this is a purely hypothetical 
mechanism which seems to differ little from proponent-responsible 
mitigation, and it was redundant with section 7.3, Other Compensatory 
Mitigation Programs or Projects.
    In Table 1. ``Comparison of Habitat-based Compensatory Mitigation 
Sites Established Under Different Mechanisms,'' we removed the column 
``Instrument Required'' because all discussion of instruments will be 
in the implementation guidance, and we removed the final row of the 
table: ``Other Third-party Mitigation Site.''
    We removed the draft policy's section 8, Establishment and 
Operation of Compensatory Mitigation Programs and Projects; it will 
form the basis of the implementation guidance.
    Section 9 of the draft policy, Criteria for Use of Third-party 
Mitigation, has been re-numbered in this policy, and is now section 8.
    The majority of section 10, Compliance and Tracking, has been 
removed from the policy, and will be discussed in the implementation 
guidance; accordingly, the remaining paragraph has been renumbered in 
this policy as section 9.
    Regarding appendix B, Glossary of Terms Related to Compensatory 
Mitigation, we removed several terms that are more appropriate for the 
implementation guidance document as well as items that could be 
confused with terms used in the ESA's implementing regulations.
    Finally, we have removed appendix C, Requirement of the Marine 
Mammal Protection Act, to avoid confusion with the policy's focus on 
implementing the ESA.

Summary of Comments and Responses

    The September 2, 2016, notice announcing our draft Endangered 
Species Act Compensatory Mitigation Policy (draft policy) (81 FR 61032) 
requested written comments, information, and recommendations from 
governmental agencies, tribes, the scientific community, industry 
groups, environmental interest groups, and any other interested members 
of the public.

[[Page 95320]]

    That notice established a 45-day comment period, ending October 17, 
2016, on the draft policy. Several commenters (1) requested an 
extension of time to provide their comments; (2) asked the Service to 
revise and recirculate the draft policy for comment; or (3) asked the 
Service to withdraw the draft policy to allow interested parties 
additional time to comment. The November 3, 2015, Presidential 
Memorandum on Mitigation states, ``Within 1 year of the date of this 
memorandum, the Department of the Interior, through the U.S. Fish and 
Wildlife Service, shall finalize a revised mitigation policy that 
applies to all of the U. S. Fish and Wildlife Service's authorities and 
trust responsibilities. The U.S. Fish and Wildlife Service shall also 
finalize an additional policy that applies to compensatory mitigation 
associated with its responsibilities under the Endangered Species Act 
of 1973.'' In order to finalize the policy as close as possible to the 
date outlined in the Presidential Memorandum on Mitigation, we were 
unable to publish an extension or reopen the comment period.
    During the comment period, we received approximately 150 public 
comment letters, including comments from Federal, State, and local 
government entities; industry; trade associations; conservation 
organizations; nongovernmental organizations; private citizens; and 
others. The range of comments varied from those that provided general 
statements of support or opposition to the draft policy, to those that 
provided extensive comments and information supporting or opposing the 
draft policy in its entirety or specific aspects of the draft policy. 
The majority of comments submitted included detailed suggestions for 
revisions addressing major concepts, as well as editorial suggestions 
for specific wording or line edits.
    All comments submitted during the comment period have been fully 
considered in preparing this final policy. All substantive information 
provided has been incorporated, where appropriate, directly into this 
final policy or is addressed below. The comments we received were 
grouped into general issues specifically relating to the draft policy, 
and are presented below along with the Service's responses to these 
substantive comments.
    We received several comments requesting clarification on various 
aspects of the draft policy, including: Reporting; monitoring; 
financial instruments; coordination with States, tribes, and local 
groups; the compensatory mitigation mechanisms; and other 
implementation elements. We recognize the value of these comments and 
are giving them due consideration. We have removed these elements from 
this policy and will address them in the implementation guidance.

A. Definitions

    Comment (1): One commenter suggested a more precise definition of 
compensatory mitigation. The commenter stated the draft policy's 
definition suggests any remaining impacts must be ``unavoidable'' and 
not simply ``un-avoided.'' The commenter suggests the draft policy's 
definition is confusing and inconsistent with the ESA language that 
uses ``minimize'' and ``mitigate.''
    Response: The definition of ``compensatory mitigation'' in this 
policy derives from the Department of the Interior's Department Manual 
(600 DM 6.4C). This definition gives more flexibility in the use of 
avoidance and minimization measures for listed species than the 
recommendation provided in the comment. The use of the terms 
``appropriate and practicable'' in this policy's definition give 
deference to project proponents and Federal agencies.
    Comment (2): Comments included a statement that the definition of 
landscape-scale approach is unclear.
    Response: Our definition of landscape-scale approach is informed by 
the definition used in 600 DM 6 and our Service's mitigation policy. 
The landscape approach to conservation considers the functional context 
of the species or habitat under consideration. For example, activities 
involving fairy shrimp might be evaluated at a vernal pool complex or 
regional scale. Issues affecting sturgeon may require strategies that 
consider an entire river system, thousands of miles long. Fundamental 
to this approach is an understanding of what is important to ensure the 
ecological function of the species or habitat in question, at the 
appropriate scale. Examples include the North American Waterfowl 
Management Plan, many fisheries management plans, recovery plans for 
federally listed species, watershed restoration plans, and State 
wildlife plans.

B. Policy Is Based on Existing Authority

i. ESA Sections 7 and 10
    Comment (3): Several commenters stated that the mitigation sequence 
that uses ``avoidance'' cannot be required under sections 7 and 10 of 
the ESA, unless it alleviates a jeopardy situation. One of the 
commenters noted that ``avoidance'' is voluntary on the part of an 
action agency or applicant.
    Response: The use of ``avoidance'' in the mitigation sequence is 
not a requirement in the sense that all impacts to listed species or 
critical habitat must be avoided. Through the policy, we are neither 
requiring nor mandating avoidance. One of the stated purposes of the 
ESA at section 2(b) is to ``provide a means whereby the ecosystems upon 
which endangered species and threatened species depend may be 
conserved.'' Developing options to avoid impacts to listed resources 
under sections 7 and 10 is important to furthering this purpose and 
effectively implementing the ESA.
    The policy is consistent with the Presidential memorandum 
(``Mitigating Impacts on Natural Resources from Development and 
Encouraging Related Private Investment'') issued November 3, 2015 (see 
80 FR 68743, November 6, 2015), in which the President directed all 
Federal agencies that manage natural resources ``to avoid and then 
minimize harmful effects to land, water, wildlife, and other ecological 
resources (natural resources) caused by land- or water-disturbing 
activities, and to ensure that any remaining harmful effects are 
effectively addressed, consistent with existing mission and legal 
authorities.'' The Service agrees that some impacts to listed species 
or critical habitat may be unavoidable and that the ESA provides a 
mechanism for both Federal agencies (section 7) and non-Federal 
entities (section 10) to receive take coverage in the case of any 
unavoidable impacts. There are multiple sections of our implementing 
regulations in title 50 of the Code of Federal Regulations (CFR) at 50 
CFR part 402 (Sec. Sec.  402.10, 402.13) that direct the Service to 
suggest modifications or make advisory recommendations to Federal 
action agencies and applicants to avoid the likelihood of adverse 
effects to listed species or critical habitat. Additionally, if the 
Service is required to provide a reasonable and prudent alternative 
under section 7 consultation, the regulations state that such an 
alternative must be one ``that the Director believes would avoid the 
likelihood of jeopardizing the continued existence of listed species or 
resulting in the destruction or adverse modification of critical 
habitat'' (50 CFR 402.02). Use of the full mitigation sequence 
including avoidance and minimization of impacts to listed species is 
consistent with the purposes and mandates set forth in the ESA.
    Comment (4): Several commenters suggested compensatory mitigation 
cannot be required under section 7 of

[[Page 95321]]

the ESA, and that there is no authority to include such mitigation in 
reasonable and prudent measures (RPMs) and the accompanying mandatory 
terms and conditions that the Service includes in incidental take 
statements. Some stated that compensation is limited to voluntary 
actions on behalf of the action agency and recommendations on the part 
of the Service. One comment stated compensation was not appropriate in 
both RPMs and reasonable and prudent alternatives (RPAs). Another 
suggested that compensation under section 7 consultation was 
appropriate but not under section 7(a)(4) conference. Commenters cited 
the ESA, its implementing regulations, and the Service's 1998 
Consultation Handbook.
    Response: As discussed in sections 4.1.2 and 4.1.3 of this policy, 
compensatory mitigation can play an important role in section 7(a)(2) 
consultations and 7(a)(4) conferences. Compensatory mitigation can 
appropriately be included as part of an action subject to consultation, 
or in reasonable and prudent alternatives to avoid the likelihood of 
jeopardy, in order to reduce the net adverse effect of an action on 
proposed or listed species or designated critical habitat. This policy 
clarifies those circumstances where it may be appropriate to 
incorporate mitigation into reasonable and prudent measures and terms 
and conditions as part of a section 7(a)(2) consultation. For example, 
throughout this policy, ``compensatory mitigation'' or ``compensation'' 
is used to include any measure that would rectify, reduce, or 
compensate for an impact to an affected resource. Rectifying the impact 
means ``repairing, rehabilitating, or restoring the affected 
environment'' (40 CFR 1508.20). Restoring impacted habitat is a 
commonly used reasonable and prudent measure that meets the definition 
of compensatory mitigation in this policy, minimizes the amount or 
extent of incidental take, and can be accomplished consistent with the 
ESA and its implementing regulations at 50 CFR part 402.
    Comment (5): Commenters said the policy's emphasis on the role of 
conservation in the section 7 consultation process is misdirected. 
Section 7(a)(2) does not include a conservation requirement for Federal 
agencies.
    Response: The Service respectfully disagrees. Section 7(a)(2) 
requires that Federal agencies ensure their actions do not jeopardize 
the continued existence of endangered and threatened species or result 
in the destruction or adverse modification of critical habitat. This 
requirement is accomplished through the consultation process, which 
concludes with the Service's biological opinion. In the event a section 
7 consultation concludes with a jeopardy or adverse modification 
determination, the Service will include reasonable and prudent 
alternatives (RPAs), when possible, that the action agency can 
implement to avoid violation of section 7(a)(2) of the ESA. Options for 
RPAs can include compensatory mitigation in order to avoid a jeopardy 
or adverse modification situation, as long as they are consistent with 
the definitions at 50 CFR 402.02. When the Service's biological opinion 
concludes that the agency action would not result in jeopardy or 
adverse modification, the Service will include reasonable and prudent 
measures (RPMs) to minimize any incidental take associated with the 
action. As described in the policy, minimization of impacts of the 
taking on the species may include compensation as consistent with the 
ESA implementing regulations. The Service provides technical assistance 
during the section 7(a)(2) consultation process to help reduce the need 
for RPMs and RPAs. These measures fall within the ESA's definition of 
``conserve,'' which means ``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 ESA] are no longer necessary.''
    Comment (6): Several commenters expressed concern that the policy 
would complicate the process for sections 7 and 10, and cause project 
delays. The commenters stated that such delays could create increased 
project costs.
    Response: The Service respectfully disagrees. Mitigation provided 
in advance of impacts, such as through a conservation banking program, 
can expedite project reviews by the Service, because the mitigation is 
already established and has already gone through the due diligence 
process. Clear guidance on application of compensatory mitigation 
mechanisms as provided in this policy, should assist Service staff and 
project proponents implement their ESA responsibilities in a timely 
fashion. Furthermore, conducting compensatory mitigation may assist in 
the compliance with other required laws, which may expedite the project 
process. For example, compensatory mitigation may lower the level of 
analysis required by NEPA (allowing a mitigated environmental 
assessment/finding of no significant impact instead of an environmental 
impact statement).
    Comment (7): One commenter objected to the phrase ``recovery 
measure'' when discussing section 7(a)(1) of the ESA. The commenter 
provided substantial information, including a section of the preamble 
from the Service's 1986 interagency cooperation rulemaking (51 FR 
19926, June 3, 1986), noting the ESA does not mandate specific actions 
under section 7(a)(1), nor does it authorize the Service to mandate how 
or when Federal agencies should implement their section 7(a)(1) 
responsibilities. Specifically, the commenter said that section 7(a)(1) 
is not a recovery measure, and the policy failed to properly state the 
basis for such a characterization.
    Response: We agree that the directive under section 7(a)(1) of the 
ESA does not give the Service authority over other Federal agencies, 
nor does it specifically authorize actions to be implemented. It does, 
however, direct other Federal agencies to consult with the Service when 
developing conservation programs under section 7(a)(1). To this end, 
the policy provides guidance and recommendations on how Federal 
agencies may achieve the greatest effectiveness when implementing their 
section 7(a)(1) obligations.
    The policy clearly describes the basis for the use of the term 
``recovery measure'' when describing section 7(a)(1), which comes from 
the definition of the terms ``conserve,'' ``conserving,'' and 
``conservation'' in section 3 of the ESA. Although the word 
``recovery'' is not used in the definition, it clearly describes 
recovery as ``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 ESA] are no longer 
necessary.'' Additionally, section 7(a)(1) directs all Federal agencies 
to ``utilize their authorities in furtherance of the purposes of [the 
ESA]''. One of the stated purposes of the ESA is to ``provide a means 
whereby the ecosystems upon which endangered and threatened species 
depend may be conserved.'' The intent is that all Federal agencies have 
a responsibility, using their existing authorities, to help recover 
listed species.
    Comment (8): One commenter stated the policy should focus only on 
implementation of voluntary mitigation actions under the ESA. The 
commenter noted that mitigation guidance for sections 7 and 10 under 
the ESA are provided in the habitat conservation planning and 
consultation handbooks.
    Response: This policy provides greater clarity and detail with 
regard to mitigation implementation than the

[[Page 95322]]

section 7 and habitat conservation planning handbooks. As stated 
earlier, this policy reflects the many lessons learned by the Service 
during our more than 40-year history implementing the ESA, particularly 
sections 7 and 10. We agree that the use of voluntary mitigation 
programs and actions that further the purposes of the ESA should be 
encouraged. The development and implementation of voluntary mitigation 
programs should also be effective and consistent with other forms of 
mitigation. The policy will guide such voluntary efforts to promote 
consistency in the same way it will guide mitigation efforts in 
regulatory processes.
    Comment (9): One commenter recommended we add ``and applicants'' 
following ``Federal agencies'' in two sentences in section 4.1.2.
    Response: Applicants are not typically involved in the 
establishment of mitigation programs such as conservation banks and in-
lieu fee programs; moreover, the responsibility for ensuring a Federal 
action does not violate section 7(a)(2) of the ESA ultimately lies with 
the Federal agency proposing the action. We did not make the suggested 
change.
    Comment (10): One commenter thought the Service should recognize 
the importance of the Habitat Conservation Plan (HCP) Assurances (``No 
Surprises'') Rule (63 FR 8859, February 23, 1998) and explicitly state 
that remediation and alternative mitigation will not erode protections 
afforded by the No Surprises Rule.
    Response: The Service does recognize the importance of the No 
Surprises Rule in the section 10 process, and agrees that remediation 
and alternative mitigation should not erode protections afforded by the 
No Surprises Rule. The Service works with applicants to develop HCPs 
that include contingencies for mitigation that does not function as 
expected, including remediation or alternative mitigation. The No 
Surprises Rule is not eroded in this case, because these contingencies 
are included in the HCPs and agreed upon ahead of time.
    Comment (11): One commenter requested clarification of how the 
draft policy would apply to reinitiation of consultations under section 
7(a)(2) of the ESA. Specifically, what would be different, especially 
with regard to the concepts of ``net gain'' and ``no net loss?''
    Response: During the reinitiation process under section 7(a)(2), 
the concepts under this policy and their application to any 
consultation do not change. The ESA's directive to agencies to ensure 
any action is not likely to jeopardize the continued existence of any 
endangered or threatened species or adversely modify its critical 
habitat guides that process. The Service will recommend actions 
consistent with this policy, including consideration of the goal of a 
``net gain'' or, at a minimum, ``no net loss.'' Considering the variety 
of actions under consultation, the reasons for reinitiation, and the 
multitude of species covered, it is not possible for the policy to 
provide specific details regarding the application of such concepts 
during the consultation process.
    Comment (12): One commenter was concerned about section 4.7 
(Effective Conservation Outcomes and Accountability Through Monitoring, 
Adaptive Management, and Compliance) of the draft policy, which states 
that: ``A process for achieving remediation or alternative mitigation 
for compensatory mitigation failures beyond the control of the 
responsible party (e.g., unforeseen circumstances) must be clearly 
described in the mitigation instrument, biological and/or conference 
opinion, or permit.'' The commenter asked the Service to the clarify 
the statement to say that biological opinions issued in connection with 
section 7 consultations with Federal agencies, other than the Service 
itself, are not required to provide for unforeseen circumstances, 
saying that such a requirement is associated with ESA section 10(a) 
HCPs, but is not required in the context of section 7 consultations by 
the section 7 handbook, or existing law or regulations. They were 
concerned the current language of the draft policy could be 
misinterpreted to mean that section 7 biological opinions must include 
alternative mitigation for compensatory mitigation failures ``beyond 
the control of the responsible party,'' and this policy should not 
change the section 7 requirements for avoiding jeopardy to the species 
and adverse modification of critical habitat.
    Response: The development and implementation of mitigation programs 
should be effective and consistent among all forms of mitigation 
offered in sections 7 and 10 of the ESA, regardless of whether the 
mitigation is voluntary or required. Planning for unforeseen 
circumstances is part of effective mitigation. The policy will guide 
efforts to promote consistency, and Service staff will work with 
applicants and Federal agencies to explain how all mitigation standards 
can be incorporated into their mitigation plans. Nevertheless, the ESA 
and its implementing regulations ultimately determine how the Service 
makes decisions regarding listed species. We do not include the 
statement in question in this final policy; we will address this topic 
in implementation guidance.
    Comment (13): One commenter stated the Service has no statutory 
authority to require section 7 consultation on candidate or at-risk 
species or to include such species in HCPs. If the policy pursues a 
conservation goal in excess of the Service's actual regulatory and 
statutory authorities, separate guidance should be issued to draw this 
clear distinction, in order to provide complete transparency and 
direction to both Service staff and others in actual implementation.
    Response: The commenter is correct that the Service cannot require 
section 7 consultation for candidate or at-risk species. ESA section 7 
regulations provide for a conference between a Federal action agency 
and the Service for actions that are likely to jeopardize the continued 
existence of a proposed species or likely to result in destruction or 
adverse modification of proposed critical habitat (50 CFR 402.10). 
Including candidate or other at-risk species in conferences would be 
voluntary on the part of the Federal agency; however, it is encouraged 
by the Service and through this policy, and other Federal agencies may 
voluntarily conference to expedite possible future re-consultations. 
This is consistent with ESA goals of recovering listed species and, 
ideally, avoiding the need to list species because threats to them have 
been addressed. Further, intra-Service consultations and conferences 
will consider effects of the Service's actions on listed, proposed, and 
candidate species. Candidate species are treated as if they are 
proposed for listing for purposes of conducting internal Service 
conferencing.
    Additionally, under section 10 of the ESA, HCPs are voluntary and 
developed by the applicant, in consultation with the Service. It is the 
applicant who decides which candidate or non-listed at-risk species 
they wish to include. The Service has found that many applicants elect 
to include at-risk species to receive ``no surprises'' assurances and 
preclude the need to amend the associated incidental take permit, 
should the species become listed in the future. The voluntary inclusion 
of at-risk species in both the conference and HCP processes are 
proactive approaches to reduce the need for future listing of the 
species.
    Comment (14): One commenter said the Service mixes the concepts of 
voluntary conservation recommendations that can be provided under ESA 
section 7(a)(1) with requirements under ESA section 7(a)(2).

[[Page 95323]]

They also commented that neither standard under ESA section 10 imposes 
a ``no net loss'' requirement.
    Response: Federal agencies are directed to consult with the Service 
under ESA section 7(a)(1) to assist their development of programs to 
conserve listed species. Technical assistance to agencies with actions 
that require compliance with section 7(a)(2) is a logical nexus for the 
Service to advise Federal agencies about section 7(a)(1) conservation 
opportunities associated with these actions. Similarly, technical 
assistance to non-Federal applicants for incidental take permits under 
section 10(a)(1)(B) is a logical nexus to advise them about 
conservation opportunities associated with these actions. This policy 
provides a framework for such recommendations, and does not otherwise 
alter or substitute for standards under the ESA or the regulations 
implementing ESA sections 7(a)(2) and 10(a)(1)(B). Though not required, 
striving for ``no net loss'' in the status of the species' conservation 
is an appropriate mitigation goal, and may be to the benefit of the 
other agency or private landowner in greater future regulatory 
certainty or expedited future compliance (e.g., including ``at-risk'' 
species).
ii. Authorities--Other
    Comment (15): One commenter requested that we revise section 5.3 of 
the draft policy to provide more detail about how compensatory 
mitigation would work in relation to section 4(d) rules for threatened 
species.
    Response: This policy is intended to be general in nature. More 
detailed guidance documents covering specific activities may be 
developed in the future, such as for rules promulgated under section 
4(d) of the ESA.
    Comment (16): One commenter said that it was unclear how the policy 
would ``replace'' rules promulgated by other Federal agencies for 
guiding implementation of Federal laws such as the Clean Water Act (33 
U.S.C. 1251 et seq.) and natural resources such as ``waters of the 
United States.'' They requested clarification of how the April 10, 
2008, joint rulemaking of the U.S. Army Corps of Engineers (USACE) and 
the Environmental Protection Agency (EPA) (73 FR 19594) applies to ESA 
actions and what the impact of the policy would be.
    Response: The Service has added clarification to this final policy 
that it does not replace or alter the referenced April 10, 2008, rule 
(73 FR 19594). Processes established by applicable statutes and 
regulations remain in effect and are not superseded by this policy. 
This policy applies to compensatory mitigation for all species and 
habitat protected under the ESA and for which the Service has 
jurisdiction. The April 10, 2008, rule (73 FR 19594) applies to impacts 
to aquatic resources permitted by section 404 of the Clean Water Act.
    Comment (17): One commenter said that issuance of this policy 
violates the Administrative Procedure Act (APA; 5 U.S.C. subchapter II) 
or the Regulatory Freedom Act (RFA).
    Response: The Service complied with all necessary requirements in 
publishing the final policy. We are unaware of the Regulatory Freedom 
Act but for the purposes of this response, will assume the commenter is 
referring to the Regulatory Flexibility Act (RFA) (5 U.S.C. 601 et 
seq.). The policy does not require compliance with the APA or the RFA 
because it is not a regulatory document.
    Comment (18): One commenter was concerned that voluntary mitigation 
could be abused if an agency were to unreasonably withhold action for 
the purpose of applying undue pressure to force an applicant to 
volunteer mitigation measures. They said the policy should acknowledge 
and protect against this possibility.
    Response: We agree with the commenter that such an approach by 
Service or other agency staff would be unacceptable. It would also be 
contrary to this policy and existing authority. Processes established 
by applicable statutes and regulations remain in effect and are not 
superseded by this policy.
    Comment (19): One commenter stated that the policy goes beyond the 
authorities granted the Service in both sections 7 and 10 of the ESA. 
The other authorities relied on by the Service in adopting this policy, 
including the Presidential directives and memoranda, cannot legally 
form the basis for the promulgation of the policy.
    Response: This policy is designed to improve and clarify 
implementation of the ESA. Towards that end, it seeks to provide a 
framework for effecting mitigation that reflects a permissible reading 
of the law, while fulfilling the conservation purposes of the ESA. 
Federal agencies are directed to consult with the Service under ESA 
section 7(a)(1) to assist their development of programs to conserve 
listed species. A mitigation framework may provide valuable expertise 
for an agency considering their section 7(a)(1) responsibilities. 
Additionally, a framework may assist agencies with actions that require 
compliance with section 7(a)(2) of the ESA. Similarly, technical 
assistance to non-Federal applicants for incidental take permits under 
section 10(a)(1)(B) of the ESA is a logical nexus to advise them about 
conservation opportunities associated with these actions. The policy 
provides a framework for such recommendations and does not otherwise 
alter or substitute for the regulations implementing ESA sections 
7(a)(2) and 10(a)(1)(B). Authority to make recommendations to mitigate 
impacts to resources covered by the ESA is provided by that statute. 
Promulgation of this policy is consistent with not only the ESA, but 
also the Office of Management and Budget's guidelines on interpretive 
policies. Those guidelines state that public policies, such as this 
one, guide administrative processes while increasing an agency's 
predictability to external parties.
    Comment (20): One commenter noted the ESA imposes different 
standards and prohibitions with respect to pre-listing versus post-
listing activities for candidate conservation agreements with 
assurances (CCAAs) and safe harbor agreements (SHAs). By incorporating 
the net conservation benefit standard used for SHAs, the Service fails 
to account for these differences and conflates its treatment of pre-
listing and post-listing activities.
    Response: The Service does not intend to change the requirements 
for CCAAs and SHAs. The intent of the policy is to describe the 
requirements for converting either of these agreements to a mitigation 
agreement should a landowner desire to make their conservation more 
permanent and use it for mitigation.
iii. NEPA
    Comment (21): One commenter said that the policy should recommend 
that the Service comment on NEPA documents apart from, or in addition 
to, section 7 consultation.
    Response: We agree that application of the Service's authority to 
make advisory comments and recommendations under NEPA provides a 
powerful capability for influencing conservation of a broad array of 
natural resources while helping agencies and proponents identify 
appropriate project alternatives. The Service will continue to comment 
on NEPA documents in addition to conducting section 7 consultations 
whenever warranted. Our application of NEPA in a mitigation context is 
covered in the Service mitigation policy (81 FR 83440, November 21, 
2016).
    Comment (22): One commenter said the policy would increase the time 
and resources required by Federal agencies to comply with section 7 of 
the ESA and by proponents of any projects that may

[[Page 95324]]

adversely affect an at-risk species. The commenter said that the policy 
meets the definition of a major Federal action defined at 40 CFR 
1508.18 and should be analyzed in an environmental impact statement to 
comply with NEPA.
    Response: As explained in more detail below, neither of the two 
alternatives evaluated in the NEPA assessment would be expected to 
result in significant effects to the human environment within the 
meaning of NEPA and the CEQ regulations. Although we describe potential 
actions and consequences that could flow from each of the alternatives, 
the nature and scope of environmental consequences that are likely to 
result from any of the alternatives would depend on a variety of 
intervening circumstances that are impossible to identify in this 
analysis. However, we find there is no basis to infer that any such 
effects, even viewed generously, would be significant.
    In addition, because of the programmatic nature of the draft policy 
and the breadth of activities under consideration, the analyses of 
environmental effects must be very general, addressing the consequences 
from each alternative at a programmatic scale. Regardless of the 
alternative, we anticipate that the majority of the specific actions 
covered under the policy would receive additional project-specific NEPA 
review, either by other Federal agencies during their project review or 
by the Service during review of an ESA section 10(a)(1)(B) application. 
Those project-specific reviews would include development of 
appropriately detailed alternatives based on information necessary to 
complete informed and meaningful effects analyses. That information 
(e.g., location, timing, duration, and affected resources, etc.) is 
currently not available. More detailed information is contained in the 
environmental assessment, which is available on the Internet at http://www.regulations.gov at Docket Number FWS-HQ-ES-2015-0165.

C. Net Conservation Gain/No Net Loss

    Comment (23): One commenter stated the policy should more 
consistently emphasize throughout that ``conservation'' is the goal for 
protected species and their habitat, using our full suite of 
authorities including the ESA. While ``no net loss'' is appropriate 
under certain statutes like the Clean Water Act (as acknowledged in the 
April 10, 2008, joint rulemaking of USACE and EPA (73 FR 19594), for 
example), ``no net loss'' is a lower standard than what they have 
sought in conservation banking and in-lieu fee programs.
    Response: The Service's mitigation policy (81 FR 83440, November 
21, 2016) sets a mitigation planning goal of ``net conservation gain,'' 
which seeks to improve the status of affected resources, and, at a 
minimum, maintain the status of those resources (i.e., ``no net 
loss''). Adhering to the standards discussed in section 5 of this 
policy (Compensatory Mitigation Standards) is the best way to attain 
this goal, although we recognize that achieving a net conservation gain 
will not be possible in every circumstance, and in those cases will 
strive for ``no net loss.''
    Comment (24): One commenter strongly opposed the goal of a ``net 
gain'' in the policy, stating the Service lacks the underlying 
statutory authority to require it under the ESA and it will likely 
result in an uncompensated taking in violation of the U.S. 
Constitution. The commenter stated that the obligations under the 
policy, with the use of mandatory language such as ``must'' and 
``shall,'' constitute a rulemaking.
    Response: This policy adopts mitigation principles established by 
the Service's mitigation policy (81 FR 83440, November 21, 2016) and 
establishes compensatory mitigation standards to guide the use of 
compensatory mitigation under the ESA. The mitigation goal of ``net 
gain'' or, at a minimum, ``no net loss,'' is to assist the Service and 
its partners in developing mitigation programs and projects to further 
the purposes of the ESA. One of the stated purposes under section 2 of 
the ESA is to ``provide a means whereby the ecosystems upon which 
endangered and threatened species depend may be conserved.'' Section 3 
of the ESA defines ``conserved'' as ``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 this Act are no longer necessary.'' This conservation purpose of the 
ESA is served by the policy's goal of a ``net gain'' when developing 
compensatory mitigation.
    In this context, the policy is not a legally binding rulemaking; 
the ESA and its implementing regulations determine the Service's 
decisions for listed species. The policy will not effectively compel a 
property owner to suffer a physical invasion of property and will not 
deny all economically beneficial or productive use of the land or 
aquatic resources. This policy provides consistent standards for the 
Service, and its partners, to apply when developing compensatory 
mitigation programs or projects, as appropriate under the authority of 
the ESA. The use of the terms ``must'' and ``shall'' in the policy are 
directed toward the Service's authority in implementing the ESA.
    The policy is broadly framed to encompass all species covered under 
the ESA, but does not result in any particular actions concerning 
specific properties. Additionally, this policy substantially advances a 
legitimate government interest (conservation of species and their 
habitats) and does not present a barrier to all reasonable and expected 
beneficial use of private property.
    Comment (25): One commenter stated that the Service does not 
explain how it will determine or impose mitigation measures to meet a 
mitigation target that is somewhere between maintaining and improving 
the status of affected resources.
    Response: The Service, being national in scope of operations, wrote 
this policy to allow for further clarification on a regional and local 
scale. This will allow the Service to work with Federal agencies and 
applicants to develop mitigation measures that meet objectives based on 
local conditions and tailored to the specific species that are 
impacted. A less flexible policy could cause rigid adherence to a 
protocol, which may be more suitable in one region, or for one species, 
versus another.
    Comment (26): Commenters stated that the ESA requirements to avoid 
jeopardy or adverse modification and to minimize the impact of any take 
of listed species do not equate to the no net loss or net gain goal 
articulated in the draft policy, and the Service has no authority under 
the ESA to require measures that will result in a ``net gain'' or ``no 
net loss.'' In addition, one commenter said a ``net gain'' or ``no net 
loss'' goal is incompatible with well-established standards for 
administering sections 7 and 10 of the ESA.
    Response: Action agencies or proponents may adopt Service 
recommendations provided under this policy as part of their proposed 
actions, but electing to do so does not change the applicable standards 
under the ESA or otherwise alter the processes prescribed under the ESA 
and its regulations.
    The Service does not view a ``net gain'' or ``no net loss'' goal as 
incompatible with well-established standards for administering sections 
7 and 10 of the ESA. Instead, it is complementary to the ESA 
requirements to avoid jeopardizing the continued existence of any 
listed species, or destroying or adversely modifying any designated 
critical habitat. To achieve

[[Page 95325]]

this goal, an action agency or applicant need not abandon the actions 
they have taken to avoid jeopardizing the continued existence of any 
listed species, or destroying or adversely modifying any designated 
critical habitat. Instead, they may complement these actions by 
including additional measures that allow their action to reach the 
``net gain'' or ``no net loss'' goal.
    Comment (27): One commenter said by encouraging Service staff to 
work with applicants to implement ``no net loss'' or ``net conservation 
gain,'' the judgment of applications will no longer be standardized. 
They said the policy does not state how conservation gain will be 
measured, whether on a numerical basis or under what circumstances the 
Service will make a qualitative judgment regarding the level of 
mitigation that achieves this standard.
    Response: This policy is national in scope, and it is beyond the 
scope of the policy to provide specific quantifiable measures to 
achieve a ``net conservation gain'' or specify the methodology for 
assessing or measuring the ``net conservation gain.'' The Service's 
mitigation goal is to achieve a ``net conservation gain'' or, at a 
minimum, ``no net loss'' of the affected resources. The policy provides 
the framework for formulating compensatory mitigation measures to 
achieve this goal. The geographical and ecological breadth of this 
policy's coverage combined with the variation in project and impact 
types affecting species and habitats nationwide make the detailed 
specifications for calculating ``no net loss'' or ``net gain'' 
impossible to include. Such determinations will either be made on a 
case-by-case basis or will be addressed through additional guidance or 
planning processes.
    Comment (28): Commenters said the policy should be revised to help 
Service staff avoid crossing the line between ``encouraging'' Federal 
agencies and applicants to achieve ``a net gain or, at a minimum, no 
net loss in the conservation of listed species'' and incorrectly 
representing to Federal agencies and applicants that they are somehow 
``required'' to achieve a ``net gain'' or, at a minimum, ``no net 
loss'' in the conservation of listed species. Commenters added that 
Service staff should be instructed by the policy to clearly disclose to 
Federal agencies and applicants at all times that section 7 of the ESA 
does not require such a ``no net loss in the conservation of listed 
species'' or a ``net gain'' in relation to the ``no jeopardy'' and ``no 
adverse modification'' standards.
    Response: This policy clearly states that the mitigation planning 
goal is a goal, not a requirement. We expect further clarification on a 
regional and local scale to reiterate this distinction.
    Comment (29): One commenter stated the goal of ``no net loss'' is 
admirable and adequate with respect to the Presidential Memorandum (80 
FR 68743, November 6, 2015); however, the commenter is concerned this 
new language may unfairly prohibit or require mitigation for 
agricultural actions without due process of assessment.
    Response: The Service will consider the facts specific to the 
actions that we review under our authorities. This policy does not 
provide for the Service to categorically deny development or 
agricultural activities. Instead, our decisions and opinions on those 
activities will be guided by relevant statutes and regulations.
    Comment (30): One commenter said the sentence, ``Losses of habitat 
that require many years to restore may be best offset by . . . 
preservation of existing habitat . . .,'' is counter to the ``no net 
loss policy.''
    Response: The entire sentence reads, ``Losses of habitat that 
require many years to restore may best be offset by a combination of 
restored habitat, preservation of existing high-quality habitat, and 
improved management of existing habitat.'' It is the combination and 
ratios of these three habitat mitigation types that can create a ``no 
net loss'' scenario. Improved management can create an immediate 
conservation benefit and habitat restoration creates a long-term 
conservation benefit, while preservation of high quality habitat 
protects existing habitat from being lost. Long-term land management is 
included in the durability standard.

D. Applicability

    Comment (31): Several commenters had concerns about the 
applicability of the policy to existing mitigation programs, HCPs and 
associated incidental take permits, and ongoing section 7 consultations 
that were initiated between the Federal agency and the Service prior to 
the effective date of the final policy. The comments requested clarity 
that the policy does not apply to existing projects or projects 
currently under development, including the associated real estate and 
financial assurances.
    Response: The policy states that it applies to Federal and non-
Federal actions permitted or otherwise authorized or approved prior to 
issuance of the policy only under circumstances where the action may 
require additional compliance review under the ESA. In addition, the 
policy states that it does not apply where the Service has already 
agreed in writing to mitigation measures for pending actions, except 
where new activities or changes in current activities associated with 
those actions would result in new impacts, or where new authorities or 
failure to implement agreed-upon recommendations warrant new 
consideration regarding mitigation. Service offices may elect to apply 
this policy to actions that are under review as of its effective date 
(see DATES, above).
    Comment (32): The draft policy does not include any de minimus size 
consideration. While consultation considers the extent of potential 
impacts to ESA-listed species, the draft policy does not. It talks in 
general terms about credit valuation and ratios, but at some point, 
there should be a consideration of a de minimus project size to which 
this draft policy would not apply.
    Response: The policy is intended to guide compensatory mitigation 
projects for listed and at-risk species regardless of the scope, 
magnitude, or size of the project. As such, it would not be reasonable 
to attempt to define ``de minimis'' limits for the application of the 
policy that would cover all species and mitigation projects across the 
country. However, step-down guidance derived from this policy for 
particular species would be more specific for the biological needs of 
the species and therefore likely consider factors related to the scope 
of compensatory mitigation projects.

E. Scope of the Policy

    Comment (33): One commenter said that the Service should identify 
activities and projects that are exempt from the policy.
    Response: We agree that the scope of coverage should be clearly 
described and have listed those circumstances when the policy does not 
apply in section 3, Scope.
    Comment (34): One commenter said that it is important for the 
policy to address species protected under additional Federal laws, 
including the Bald and Golden Eagle Protection Act (BGEPA; 16 U.S.C. 
668-668d) and the Migratory Bird Treaty Act (MBTA; 16 U.S.C. 703-712).
    Response: We agree that conservation of the resources under BGEPA 
and MBTA is important. However, those resources, and processes 
specified by those Acts and any implementing regulations or guidance, 
are beyond the scope of this policy. We discuss these

[[Page 95326]]

authorities in the Service mitigation policy (81 FR 83440, November 21, 
2016).
    Comment (35): One commenter said that the policy should be limited 
to listed threatened species, listed endangered species, candidate 
species, and designated critical habitat.
    Response: We agree that the commenter's list of covered resources 
is similar to our description of covered resources in section 3, Scope, 
of this policy. There we state that the policy applies to all species 
and habitat protected under the ESA and for which the Service has 
jurisdiction. Endangered and threatened species, species proposed as 
endangered or threatened, designated critical habitat, and proposed 
critical habitat are the primary focus of this policy. We also state 
that candidates and other at-risk species would benefit from adherence 
to this policy, and encourage all Service programs to develop programs 
and tools in cooperation with States and other partners.

F. At-Risk Species

    Comment (36): Several commenters suggested only listed species 
should be covered by the policy, and ``at-risk'' species references 
should be removed. Commenters suggested there is no ESA basis for 
including at-risk species in the policy, that no standards exist for 
the definition of at-risk species, and that it would create additional 
burdens on the public. One comment requested clarification of the 
jurisdiction of the Service, States, and tribes regarding at-risk 
species.
    Response: The Service has addressed at-risk species through 
implementation of the ESA under many voluntary programs. Often partners 
(e.g., other agencies, private landowners) voluntarily consider ``at-
risk'' species for greater regulatory certainty and to expedite future 
compliance if these ``at-risk'' species are later listed under the ESA. 
Under section 6 of the ESA, the Service partners with the States to 
fund research and recovery actions on listed and at-risk species. 
Candidate conservation agreements with assurances (CCAAs) are a highly 
successful program for private landowners providing voluntary 
conservation for at-risk species. Many HCPs under section 10 of the ESA 
also include voluntary coverage for at-risk species. These and other 
proactive efforts for at-risk species, including our draft Policy 
Regarding Voluntary Prelisting Conservation Actions (79 FR 42525, July 
22, 2014), focus on preventing the need to list species under the ESA. 
The Service also values its partnerships with the States and tribes in 
conservation of fish and wildlife resources. This final policy aims to 
strengthen these partnerships and does not extend the Service's 
jurisdiction over at-risk species. We have included at-risk species, as 
appropriate, in the policy to further these efforts in preventing the 
decline of species to the point that protection under the ESA is 
necessary.

G. Equivalent Standards

    Comment (37): One commenter thought the policy should emphasize 
that there are no prescribed standards that will dictate mitigation but 
that every situation will be considered fact-specific and flexible, and 
be based upon the voluntary actions of the proponent.
    Response: The Service has written this policy in a manner that 
facilitates further clarification on a regional scale. As with many of 
the decisions made in impact analysis, determination of when and what 
type of mitigation should be implemented occurs on a project-by-project 
basis, under the authority at hand, with information most appropriate 
for the site or region of impact. Section 7 of this policy, 
Compensatory Mitigation Mechanisms, allows the Service flexibility in 
the type of mitigation mechanism used to meet this need. Section 5 of 
the policy, Compensatory Mitigation Standards, describes the standards 
we will require or recommend that all mechanisms meet.

H. Landscape-Scale Approach

    Comment (38): Individual actions that harm ESA-listed, proposed, 
and at-risk species must not be discounted or minimized because they 
are considered to impart only small or moderate impacts within the 
broader context of the landscape. The policy should consider how these 
site-specific impacts could be identified and accounted for prior to 
development of the most appropriate compensatory approach.
    Response: The Service agrees that small or moderate impacts that 
have cumulative effects are important to address. In each situation, 
the project effects analyses should identify all effects to the species 
under consideration, as well as measures to avoid, minimize, and 
compensate adverse effects. These analyses can characterize repeated, 
ongoing actions that may affect a species at a larger scale, and can 
help inform recovery efforts at a local or regional level. Ideally, the 
project proponent and the Service would also identify opportunities to 
support recovery/conservation of that species and include them in the 
action, if possible. This is a collaborative approach to conservation, 
consistent with relevant statutes and regulations, and can help offset 
the cumulative effects of many actions on the landscape.
    Comment (39): One commenter said the draft policy should provide 
additional guidance on how landscape-scale indirect effects would be 
evaluated for buffers surrounding existing mitigation sites, including 
mitigation banks. They recommend clarification regarding the process 
when additional compensation may be necessary for landscape-scale 
indirect effects to existing mitigation sites.
    Response: It is difficult at this time to provide specific guidance 
on buffers and indirect effects given the potential universe of actions 
that could arise and fact-specific situations of each mitigation site. 
We declined to provide such guidance in this policy.
    Comment (40): Some commenters were concerned that the landscape-
level approach to mitigation planning would focus too narrowly on 
certain species to the detriment of others, or that purchasing credits 
from a conservation bank or in-lieu fee program would not equate to 
replacing lost habitat.
    Response: The goal of a landscape-scale approach to mitigation is 
to ensure functionally successful compensatory mitigation efforts for 
the habitats or species under consideration. While no project or 
habitat benefits all species all the time, using a landscape context to 
frame mitigation actions should reinforce functionality at the 
appropriate scale (i.e., tract, regional, range) to benefit the target 
resource, and in most cases, other resources/species that also rely on 
that functional system. Using a landscape approach will help ensure the 
compensatory mitigation measures will meaningfully offset adverse 
effects to a species/habitat in a way that is ecologically sustainable 
over the long term. This is a more holistic approach to ensuring the 
functionality of the ecosystems on which federally listed and at-risk 
species depend.
    Comment (41): One commenter recommends that the Service consider 
revising the guidance provided under section 5.1.2 of the draft policy 
to discuss not only economies of scale associated with conservation 
banks and small impacts, but also to state that large-scale impacts 
require large-scale mitigation and such development projects have the 
potential to create landscape-scale conservation benefit for species, 
which may not be best achieved through banks.
    Response: The Service agrees large-scale projects have the 
potential to

[[Page 95327]]

provide large-scale mitigation measures to offset adverse effects and 
ideally contribute to recovery. The examples given in section 5.1.2 of 
the draft policy are compensatory mitigation programs that can be 
established in advance of impacts, such as conservation banking or in-
lieu fee programs. A large-scale mitigation project implemented in 
advance of impacts will likely offset the impacts of multiple projects, 
and is essentially a conservation bank.
    Comment (42): One commenter stated that landscape-scale mitigation 
is unauthorized and unfeasible. Landscape-scale impact evaluations and 
required mitigation measures on this basis imports a policy objective 
into official ESA decisions in excess of statutory authority and is 
incongruent with the ESA.
    Response: The goal of the ESA is to conserve endangered and 
threatened species and the ecosystems on which they depend. Through 
science and technological advances, conservation has more tools than 
ever to effectively evaluate land use, populations, hydrology, and so 
forth, at scales relevant to the needs of federally listed and at-risk 
species. To ensure the most effective mitigation measures for these 
resources, it is critical to put them in an ecologically functional 
context, i.e., a landscape. That does not mean every action requires 
advanced, ecosystem-level quantitative evaluations, but rather that the 
effects of an action and mitigation measures to offset those effects 
take into consideration truly functional strategies that will continue 
to provide long-term resource benefits. This does not expand any 
existing authorities for ESA implementation.
    Comment (43): We received comments requesting clarification of when 
programmatic approaches to mitigation would be appropriate.
    Response: This policy does not require the development of 
programmatic documents to support infrequent compensatory mitigations 
needs. The decision to develop programmatic approaches to mitigation 
will be made based upon resource-specific circumstances, such as how 
frequently agencies and applicants will need to compensate for their 
impacts.
    Comment (44): Comments included concerns about the Service's 
proposed extension of critical habitat to areas not currently occupied 
by a listed species, on the basis that an area may become critical 
because the species' range is expected to expand to that area. In 
determining the scale of a landscape-level approach to mitigation, the 
Service should not ignore the need for a rational connection to the 
area of actual impact of a proposed project. Instead, it should base 
requirements for landscape-scale mitigation on demonstrable connections 
between truly foreseeable or predictable impacts, rather than 
speculative projections of habitat or range modifications due to 
climate change.
    Response: The Service agrees that compensatory mitigation must be 
based on the best available science, and have a rational connection 
between project effects and proposed mitigation measures. The landscape 
approach provides the context within which to frame that connection. As 
our understanding of species' needs, habitats, and climate change 
increases, we will be better able to address potential future needs of 
species and their habitats. In planning mitigation strategies, it is 
also important to recognize uncertainties in future conditions, 
including habitats, water supplies, temperatures, etc. Those 
uncertainties should be built into the mitigation strategies to ensure 
that the proposed mitigation benefits adequately offset adverse effects 
over the long term. The policy does not address the designation of 
critical habitat; the regulations for the designation of critical 
habitat are found at 50 CFR 424.12.
    Comment (45): One commenter said the focus on landscape-scale 
conservation is laudable, but the draft policy introduces new processes 
and standards that could make achieving this goal more costly, time-
consuming, and burdensome. The policy should include ways to 
incentivize the creation of landscape-scale mitigation projects that 
capitalize on the multiple ecosystem services and efficiencies that 
landscapes provide. More consideration for the self-regulating aspects 
of natural landscapes that could reduce management and monitoring 
burdens (lowering costs), and the ability to unstack credits for 
different listed species when their habitats overlap in space but not 
in function (increasing market returns), would help make landscapes a 
priority for the conservation marketplace.
    Response: The landscape approach to conservation provides a 
conceptual framework to design effective and durable mitigation 
strategies. The intent is to approach mitigation planning and 
implementation from an ecologically functional perspective for more 
effective, durable outcomes. Designing mitigation that works with 
natural landscapes will help reduce management costs and increase 
effectiveness. Monitoring also will help confirm our underlying 
understanding of mitigation benefits and may help identify where our 
assumptions need revision. This is critical to mitigation success.
    Bundled or stacked credits cannot be unbundled or unstacked to 
offset the effects of multiple projects but can only be used to offset 
the effects of a single project. Once a unit of habitat is used as 
mitigation for one project, regardless of the number of listed species 
it supports, it cannot be used as mitigation a second time.
    Comment (46): One comment suggested that it is unclear why the 
required inclusion of adjacent ecosystems and human systems, which is 
how landscapes are defined, into conservation plans will provide a 
benefit to species that do not require those habitats or ecosystems for 
survival. The Service should clarify whether it intends mitigation 
consistent with a landscape-scale approach to require grouping of 
permittee proposed compensatory mitigation projects or grouping of 
project proponents, and in situations where this is desired, the 
benefits should be explained.
    Response: Including consideration of adjacent ecosystems and human 
systems into a landscape approach to compensatory mitigation recognizes 
the potential effects those systems may have on the species and 
habitats under consideration. This is especially important in ensuring 
long-term ecologic functioning of the compensatory mitigation that 
benefits the species/habitat. We are increasingly aware that adjacent 
landscapes and human management actions can significantly affect what 
was perceived as a protected area. This policy explicitly recognizes 
those factors in developing long-term, comprehensive conservation 
strategies for the resources under consideration. Because those 
strategies will be implemented using market-based and collaborative 
mitigation tools, the Service will work with our conservation partners 
to develop effective, feasible measures to put conservation on the 
ground. The policy does not require permittee proposed mitigation 
projects to be grouped, but they should be considered in the context of 
the landscape in which they occur.
    Comment (47): One commenter said that most species lack an up-to-
date analysis of conservation status, and few have forward-looking 
strategies that the Service intends to rely on in implementing the 
policy. Furthermore, not all landscape-scale conservation strategies 
noted by the Service are peer-reviewed, publicly vetted, scientifically 
sound, or without controversy. If the Service intends to rely on such 
strategies in the context of preparing

[[Page 95328]]

recovery plans, status reviews, and similar documents, then these 
landscape-scale conservation strategies and the process for 
implementing them must be vastly improved. The Service should let the 
conservation market identify lands that represent valuable conservation 
targets and take advantage of ``market efficiencies'' that are a 
benefit of the conservation banking and in-lieu fee forms of 
mitigation.
    Response: The Service agrees on the importance of using the best 
available scientific information in developing conservation strategies. 
We rely on our conservation partners to bring their information and 
expertise into a collaborative process to help us develop those 
strategies. We also appreciate the assistance of the conservation 
market in designing, implementing, and expanding our suite of 
conservation tools to benefit listed and at-risk species.
    Comment (48): One commenter said the policy would benefit from 
greater recognition that activities associated with the management, 
monitoring, protections, and assurances need not be as robust in some 
instances, yet will achieve a functional landscape that is capable of 
supporting the conservation of listed and at-risk species, different 
from the actions necessary to provide compensatory mitigation for 
wetlands and other aquatic resources.
    Response: The Service agrees that some larger landscapes may 
require less intensive management than smaller areas. However, in most 
areas of the country, there are few ``self-regulating'' systems left 
that are not greatly influenced by invasive species, altered hydrology, 
ongoing erosion, and climate change. It is important in designing 
feasible, meaningful mitigation to appropriately scale the monitoring 
and management actions to most effectively provide resource benefits. 
This will depend on the resources, landscapes, and scale of the 
project, and should have a rational connection between the effects 
being offset and the benefits provided. We declined to modify the 
policy based on this comment.
    Comment (49): One commenter said the draft policy's example of a 
proactive, landscape-scale mitigation approach provided by songbird 
mitigation guidance in Texas to encourage compensatory mitigation 
opportunities is misleading. The commenter cited two instances in which 
potential conservation banks were precluded from establishing species 
credits due to the requirements in the guidance.
    Response: We respectfully disagree. The example used in the policy 
is intended to show instances where the Service has taken landscape-
scale approaches for species conservation and compensatory mitigation. 
We recognize that not all proposals developed under the Texas example 
or other local guidance will ultimately be finalized and implemented, 
but the intent of this policy is to promote consistency and 
predictability so that mitigation providers may develop programs that 
are more likely to be implemented.
    Comment (50): Some commenters indicated that the policy should 
offer far more guidance on when and how the Service would apply a 
``landscape-level approach'' to ESA mitigation, questioned whether the 
Service would apply a landscape approach differently to species with 
different range sizes, and stated that the draft policy does not 
explicitly describe how or whether a landscape approach would apply to 
listed species with narrow ranges.
    Response: The landscape approach to conservation considers the 
functional context of the species or habitat under consideration. 
Working with our conservation partners and project proponents, the 
Service will use a landscape context to provide the most effective and 
durable mitigation for listed and at-risk species, while preserving the 
greatest flexibility to implement those measures at many scales. Given 
the breadth of species and landscapes under consideration, it is 
impossible to give a ``one size fits all'' set of instructions. Using a 
landscape context to frame mitigation actions should reinforce 
functionality at the appropriate scale (i.e., tract, regional, range) 
to benefit the target resource and, in most cases, other resources/
species that also rely on that functional system. Though some species 
may have relatively narrow ranges, their threats may be best addressed 
at a landscape scale (e.g., invasive species, altered hydrology, 
climate change). This approach will help ensure the compensatory 
mitigation measures will meaningfully offset adverse effects to a 
species/habitat in a way that is ecologically sustainable over the long 
term.
    Comment (51): One commenter noted that the statement requiring 
compensatory mitigation to be ``sited in locations that have been 
identified in landscape level conservation plans or mitigation 
strategies'' does not take into account the limited lands available for 
acquisition or restoration in some areas of the United States and the 
need to acquire property from willing sellers.
    Response: The Service recognizes conservation opportunities vary 
across the country by species and habitats. The landscape-scale 
approach is a way to place those opportunities in an ecologically 
functional context. The policy allows for compensatory mitigation on 
public lands (provided certain criteria are met, e.g., 
``additionality'') and on private lands. It also encourages market-
based tools and incentives to take advantage of the unique 
circumstances in each area. While there may be limitations in available 
lands in some regions, the policy includes a suite of tools that should 
provide meaningful options for feasible, durable compensatory 
mitigation nationwide.
    Comment (52): The policy will result in the creation of a 
landscape-scale system of conservation banks and other mitigation sites 
controlled by the Service that will take private land and their 
resources out of productive use.
    Response: The landscape approach to conservation considers the 
functional context of the species or habitat under consideration. It 
does not affect land ownership or control. Working with our 
conservation partners and project proponents, the Service will use a 
landscape context to provide the most effective and durable mitigation 
for listed and at-risk species, while preserving the greatest 
flexibility to implement those measures at many scales. Providing 
incentives for a market-based approach to conservation allows many 
tools to better meet the needs of species as well as the needs of 
landowner/project proponents. Generally, the use of conservation 
banking and other mitigation projects will not take resources out of 
``productive'' use. Rather, conservation banks and other mitigation 
projects located on private land remain under control of the property 
owner and often provide other productive uses, such as grazing 
livestock.

I. Metrics

    Comment (53): One commenter stated that the policy should clarify 
that actions can meet ESA conservation standards using mitigation when 
adverse effects, and mitigation offsets of those effects, are 
calculated using tools that consider more than mere gain or loss of 
animals or habitat. For example, tools like Habitat Equivalency 
Analysis consider spatial, temporal, and functional parameters that 
look beyond mere loss or gain to calculate the extent and quality of 
mitigation required in given situations.
    Response: A discussion of tools used to calculate mitigation is not 
within the scope of this policy.
    Comment (54): Several commenters were concerned that adequate 
detail

[[Page 95329]]

about how assessment methodologies are developed and applied was not 
provided in the draft policy. Commenters were also concerned that the 
numerical loss and benefit to a site is largely a qualitative 
measurement, and the no methodology for quantification is offered. They 
said that transparent formulas to calculate ``mitigation ratios'' are 
needed to reduce subjectivity and increase transparency. They also 
noted that equivalent metrics for determining losses due to impacts and 
gains due to mitigation would aid in the assessment of ``no net loss'' 
or ``net gain.''
    Response: The Service agrees that transparent formulas to calculate 
``mitigation ratios'' reduce subjectivity and increase transparency. We 
also agree that equivalent metrics for determining losses due to 
impacts and gains due to mitigation would aid in the assessment of ``no 
net loss'' or ``net gain.'' This policy does include a statement that 
equivalent metrics should be used whenever possible.
    Details about how to develop and apply assessment methodologies 
that are quantitative and transparent were not included in the draft, 
or this final, policy, because these details are species-specific and 
too complex to describe adequately within the framework of the policy. 
When detailed descriptions of assessment methodology development and 
application are prepared by the Service for a species-specific 
mitigation program, these descriptions are routinely shared with the 
public.
    Comment (55): One commenter said that since buffers are so 
important, they should be counted in the crediting of a mitigation site 
at some ratio of a full credit.
    Response: The Service agrees with this comment. In section 6.6, the 
policy states, ``If buffers also provide functions and services for the 
species or other resources of concern, compensatory mitigation credit 
will be provided at a level commensurate with the level of functions 
and/or services provided to the species.''
    Comment (56): One commenter stated that for the purposes of 
mitigation, the Service has not shown compelling evidence that adequate 
assessment methodologies exist to consider adverse and beneficial 
actions that are fundamentally different in nature. Determining the 
numerical loss and benefit to a site is largely a qualitative 
measurement, and the draft policy offers no quantification methodology.
    Response: The policy describes types of mitigation programs or 
projects that do not directly replace species or habitat losses 
resulting from development projects. These are the types of programs in 
which the adverse actions, like habitat development, would be offset by 
an action that is fundamentally different in nature, such as gating of 
caves that serve as habitat for the species. The Service acknowledges 
that these types of credit/debit systems can often be more subjective 
than the traditional habitat-for-habitat type of mitigation. However, 
this type of mitigation has been the exception rather than the rule, 
and we expect Service staff to use other programs or projects only when 
they are the best option to alleviate the greatest threats to the 
species involved. When these programs or projects are allowed as 
mitigation, the Service will clearly explain the link between the 
threat and the selected mitigation.
    Comment (57): One commenter was concerned that there was no 
discussion of how successful ``surrogate'' indicators of incidental 
take have been in assuring adequate mitigation.
    Response: The use of surrogate indicators for the species impacted, 
such as the species' habitat, when applying compensatory mitigation in 
accordance with 50 CFR 402.14(i)(1)(i) is discussed at section 5.2 of 
the policy. We declined to add additional detail to that discussion.
    Comment (58): One commenter suggested that the Service require that 
all credits and debits associated with the same species and region be 
aggregated and reported across all compensatory mitigation mechanisms. 
They indicated this is critical to ensure an offset achieves ``net 
conservation gain,'' to ensure the offsets created by all mechanisms 
are using the best available science, and to ensure equivalency across 
multiple mechanisms. They also suggested when the same metric is not 
used by two different mechanisms; the requirement to define ``the 
relationship (conservation) between credits and debits'' can also be 
used to define the relationship between different credit metrics.
    Response: Currently, the Service uses the Regulatory In-lieu Fee 
and Banking Information Tracking System (RIBITS) to track credits and 
debits for conservation banks. The Service intends to work with the 
USACE to adapt RIBITS for use by the Service to also track credits and 
debits for in-lieu fee programs. The type of credits that are 
acceptable for a given species is determined by the Service when a 
mitigation program for a specific species is developed and implemented. 
The Service agrees that tracking the types and amounts of credits used 
across a species' range is a good idea, as it informs our understanding 
of the species' status. Collecting this type of information and working 
to achieve consistency requires coordination among Service staff, 
including those from different program areas. Describing the actions 
necessary to ensure this coordination occurs is beyond the scope of 
this policy.
    Comment (59): One commenter suggested a monitoring and verification 
process should be required of all mitigation. They said the 
verification process should include a method to verify that the 
outcomes of the project achieve the performance standard throughout the 
entire life of the mitigation project, and that method could be the 
initial assessment method or an abbreviated assessment that still 
quantifies the quality of the resource. They also suggested the party 
responsible for conducting the verification should be identified 
upfront.
    Response: We agree that these are important requirements to ensure 
that mitigation remains adequate over time. Specific methodologies for 
such verification are beyond the scope of this policy.
    Comment (60): One commenter said it should be made explicitly clear 
that while adaptive management is critical as knowledge and conditions 
change, the necessary updates to metrics or plans do not invalidate 
previous metrics or credits. They suggested that each credit, and debit 
if applicable, should be labeled with the method used at the time of 
assessment. They also suggested that reports should acknowledge when 
metrics are modified, but credits should still be aggregated across 
time. They noted that it may be necessary to use a correction method, 
and these correction methods should be transparent, scientifically 
supported, and included in all reports.
    Response: We agree in concept; however, this comment goes beyond 
the scope of the policy.
    Comment (61): One commenter asked that we clarify that plans should 
rely more on the criteria that define high-quality habitat, including 
criteria for landscape-scale attributes, indicating these criteria 
should be consistently reflected in the development of metrics used to 
define credits and debits within the region. They noted that 
opportunities to enhance and protect habitat may be outside of 
predefined conservation areas, but they must meet the definition for 
high-quality habitat and be deemed acceptable.
    Response: We agree that metrics should define high-quality habitat. 
We also agree that opportunities to enhance

[[Page 95330]]

and protect habitat may be outside of predefined conservation areas, 
and regardless of location, they should meet the definition for high-
quality habitat and be deemed acceptable. This concept is captured in 
the final policy.
    Comment (62): One commenter liked the concept that ecological 
performance criteria must be tied to conservation goals and specific 
objectives identified in compensatory mitigation programs and projects, 
but they did not think the draft policy adequately describes how to 
accomplish this objective.
    Response: The level of detail necessary to describe how to 
accomplish this objective is beyond the scope of this policy and may be 
addressed in implementation guidance.
    Comment (63): One commenter stated the draft policy should more 
explicitly recognize the uncertainty associated with mitigation for 
certain species and describe a framework for managing the uncertainty. 
They said the policy should describe a framework the Service would use 
to assess the appropriate balance of avoidance, minimization, and 
mitigation, as informed by the likelihood of mitigation effectiveness 
and the species' recovery needs.
    Response: The Service agrees that there is uncertainty associated 
with mitigation for certain species. This policy includes a discussion 
of risk management tools. These tools can be used after the Service 
determines that a mitigation program or project is appropriate. 
Assessing risks and determining if mitigation is appropriate for a 
species is not within the scope of this policy, as uncertainty 
associated with mitigation for certain species will be fact specific.

J. Additionality

    Comment (64): We received two comments on the draft policy's use of 
``additionality'' when developing compensatory mitigation on both 
public and private lands. Commenters believed additionality is not 
feasible when coupled with the ``no net loss'' goal, and that some 
inconsistencies exist in the descriptions in the text of the draft 
policy.
    Response: One purpose of using ``additionality'' as a standard in 
the policy is to promote the ``net gain/no net loss'' goal. There are 
many examples of mitigation sites and programs that have achieved these 
standards. The concept of compensatory measures providing additional 
benefits above baseline conditions is described in general terms in the 
policy. Those descriptions in the text are intended to give context to 
the conservation benefits of mitigation actions being additive to 
baseline conditions on both private and public lands.

K. Durability

    Comment (65): Some commenters were concerned that the requirement 
for perpetual management of mitigation sites places an undue burden on 
mitigation providers, or that perpetual management would be detrimental 
to the resource. They said that the imposition of perpetual endowment 
and adaptive management places burdens on all projects, and it would be 
impossible for industry to manage and maintain mitigation sites in 
perpetuity.
    Response: Perpetual management of mitigation sites is essential to 
assure durability of compensatory mitigation. The species and resources 
present on a mitigation site will dictate what management actions are 
undertaken. Management plans are tailored to the needs of the site. 
Mitigation providers should carefully consider the long-term commitment 
they are making when they agree to implement a compensatory mitigation 
project. Mitigation that is permanent is expected to have appropriate 
financial and real estate assurances to meet the durability standard in 
the policy.

L. Collaboration and Coordination

    Comment (66): One commenter said the policy would mandate the 
Service to work directly with landowners, potentially resulting in the 
loss of confidential information. The commenter noted recent 
conservation plans produced in Texas were developed by stakeholders and 
administered through State agencies to preserve confidentiality of 
private landowners.
    Response: The Service has a long history of working with private 
landowners to conserve fish and wildlife resources, including 
endangered and threatened species. Our partnerships with private 
landowners are essential to achieving our conservation mission. The 
policy does not include a mandate to work directly with landowners, but 
supports the ESA and its implementing regulations, which allows us to 
work with a variety of entities towards the recovery of listed species, 
and encourages cooperative conservation with all of our partners, 
including the exchange of ideas and information to better inform 
species management and evaluation. As noted in the policy, transparency 
in compensatory mitigation programs and ESA implementation is essential 
to achieving success. The Service is considerate of confidentiality, 
and any personal information maintained by the Service is protected by 
law (e.g., Freedom of Information Act, 5 U.S.C. 552; Privacy Act, 5 
U.S.C. 552a) to prevent unlawful dissemination.
    Comment (67): One commenter was concerned that the Service 
developed the policy without having addressed concerns raised by States 
and other parties regarding the Service's mitigation policy. They said 
that moving forward with this guidance without finalizing the 
overarching mitigation policy was premature, and created uncertainty 
and confusion over what the Service was likely to adopt.
    Response: This compensatory mitigation policy is a step-down policy 
under the final Service mitigation policy, which published in the 
Federal Register on November 21, 2016 (81 FR 83440). There were no 
substantial changes between the draft and final Service mitigation 
policy. In finalizing the Service's mitigation policy, we fully 
considered all comments and concerns raised by States and other 
parties. We also considered those comments as we developed this policy.
    Comment (68): Two commenters addressed the relationship between 
this policy and mitigation policy developments underway in other 
agencies. One commenter was concerned that while interagency 
cooperation is addressed in the draft policy, it only provided a 
history of previous ESA requirements. They were concerned that the 
draft policy did not address the relationship between similar policies 
being developed by other Federal land management agencies such as the 
Bureau of Land Management and the U.S. Forest Service. Another 
commenter noted that other Federal agencies are also responding to the 
Presidential memorandum (``Mitigating Impacts on Natural Resources From 
Development and Encouraging Related Private Investment'') issued 
November 3, 2015. They said that this created the opportunity for the 
Service to enter into agreements with other Federal agencies to work 
together on the implementation of similar mitigation policies and to 
avoid conflicts, delays, and inefficiencies.
    Response: At the time this policy is being finalized, neither the 
Bureau of Land Management nor the U.S. Forest Service has published 
final mitigation policies or regulations. The Service did provide 
comments on their proposed policies, and we did receive comments on 
this policy from those agencies. This policy, like the Service 
mitigation policy published November 21, 2016 (81 FR 83440), was 
developed in accordance with the November 3, 2015, Presidential 
Memorandum; the

[[Page 95331]]

Secretary of the Interior's Order 3330 entitled, ``Improving Mitigation 
Policies and Practices of the Department of the Interior'' (October 31, 
2013); and Departmental Manual chapter (600 DM 6) on Landscape-Scale 
Mitigation Policy (October 23, 2015). The commenter's concern is 
anticipated by those documents, which envision the various agencies' 
mitigation policies applying common principles, terms, and approaches, 
thereby providing greater consistency and predictability for the 
public. Subsequent agreements between the Service and other agencies 
may be developed as need arises.
    Comment (69): One commenter said the draft policy would be improved 
if it built upon and utilized the USACE and EPA's definitions and 
mitigation policies. They said that a reconciliation of terms and 
process should be part of the Service's next steps.
    Response: We agree that this policy should apply concepts and 
definitions compatible with those developed through decades of 
mitigation practice under the Clean Water Act. Accordingly, we have 
developed this policy to use the same terms and approaches found in 
regulations and guidance promulgated by the USACE and EPA whenever 
possible. In some cases, we also recognized the need for language 
tailored to authorities, processes, and resources covered by the ESA 
rather than the Clean Water Act; in these cases, the policy's language 
complies with the Departmental Manual on Landscape-Scale Mitigation 
Policy (600 DM 6).
    Comment (70): One commenter said that the implementation of this 
policy will establish an inconsistent ESA framework because the 
National Marine Fisheries Service did not adopt the Service's 
mitigation policy (81 FR 83440, November 21, 2016). The commenter said 
this approach is contrary to the typical practice of promulgating joint 
regulations by the two agencies that provide for uniform application of 
the ESA. The commenter stated that by unilaterally proposing this 
policy and the Service mitigation policy (81 FR 83440, November 21, 
2016), the Service is creating disparate requirements that will impose 
significant and additional regulations on project sponsors based on the 
possibility of a species being affected.
    Response: This policy is not a rulemaking and cannot otherwise 
alter or substitute for the existing regulations applied by both the 
National Oceanic and Atmospheric Administration (NOAA) and the Service 
in implementing the ESA. We also have coordinated development of both 
this policy and the Service mitigation policy (81 FR 83440, November 
21, 2016) with NOAA, and incorporated their suggestions and 
modifications. Also, this policy was required under the Presidential 
Memorandum on Mitigation, the Department of the Interior Secretarial 
Order 3330, and 600 DM 6.
    Comment (71): One commenter said that the Service and other 
agencies risk unnecessary duplication of efforts and conflicting 
requirements, which will further delay project approval. They 
encouraged the Service to consider mitigation frameworks already in 
place before adding another layer of mitigation requirements to an 
already complex and burdensome project approval process.
    Response: We agree that existing mitigation programs and 
frameworks, as well as existing mitigation and conservation plans, 
should be considered. The Service recognizes that there may be existing 
plans developed by State and local governments and other stakeholders 
with characteristics that may be useful in mitigation planning 
depending on the specific action and the affected resources. The 
Service will work with project proponents and other stakeholders in 
reviewing existing programs, frameworks, and plans for applicability in 
the context of a specific action.
    Comment (72): One commenter said the policy would complicate other 
agencies' processes. They said that it would increase opportunities for 
the Service to force concessions from other Federal agencies and 
permittees, and that it has the potential to violate organic acts and 
will undoubtedly complicate the approval process for mining operations 
and other land users.
    Response: The scope of this policy does not limit the existing 
discretion of an action agency, or hold the action agency or applicant 
responsible for mitigation beyond an action agency's own authority, 
mission, and responsibilities. The Service recognizes that the 
authorities and processes of different agencies may limit or provide 
discretion regarding the level of mitigation for a project. This policy 
is not controlling upon other agencies, and the Service acknowledges 
that there may be limitations (e.g., agency-specific authorities and 
600 DM 6) on the implementation of measures that would achieve the 
policy's goal of ``net conservation gain'' or a minimum of ``no net 
loss'' when the costs of such mitigation are reimbursable by project 
beneficiaries under laws and regulations controlling agencies' 
activities (e.g., Bureau of Reclamation). Other agencies may 
voluntarily adopt Service recommendations, which may expedite their 
other requirements.
    Comment (73): Some commenters expressed interest in a collaborative 
approach to mitigation planning on a landscape level. One commenter 
expressed support for additional engagement with stakeholders; another 
commented that the role of State wildlife data, analyses, and expertise 
should be utilized to the greatest extent possible; another commenter 
was skeptical of the collaborative approach preferred by the Service.
    Response: The Service agrees that developing multi-scale 
conservation plans and strategies benefits from many invested 
stakeholders that bring their unique insights and perspectives to 
ensure a more comprehensive and robust blueprint, and looks forward to 
building on our conservation partnerships through collaborative 
planning efforts. Our State partners in particular are critical to 
successful compensatory mitigation of federally listed and at-risk 
species. They bring statutory responsibility, data, expertise, and 
management capabilities to better ensure successful, durable mitigation 
efforts on the ground.
    Comment (74): Several commenters were concerned about the level of 
coordination undertaken by the Service on establishment of mitigation 
programs, and encouraged the Service to engage with both mitigation 
partners and with State agencies, to avoid duplication of effort and 
cross-jurisdictional issues and to improve outcomes. One commenter 
urged the Service to expedite reviews by working with agencies that 
already have established mitigation policies and programs.
    Response: The Service agrees that we have common goals with our 
partners and achieve much better outcomes when we work together on 
coordinated mitigation programs, especially where our jurisdiction 
overlaps with that of other agencies as it often does with our State 
wildlife agency partners. The Service intends to continue working with 
all of our partners.

M. Transparency

    Comment (75): One commenter requested clarification on the 
Service's meaning of ``direct oversight'' in the draft policy regarding 
compensatory mitigation programs and projects. The commenter also 
requested clarification on use of third-party evaluators in preparing 
monitoring reports for programs or projects.
    Response: The policy identifies the Service's authority for direct 
oversight

[[Page 95332]]

of compensatory mitigation programs and projects through sections 7 and 
10 of the ESA. Under sections 7 and 10, the Service oversees the terms 
and conditions of the incidental take permit (section 10) or of the 
incidental take statement (section 7). Details on the roles of third-
party evaluators involved in specific project actions are beyond the 
scope of the policy.
    Comment (76): We received several comments pertaining to the 
availability of information generated from mitigation programs. 
Commenters recommended the policy include standards for transparency of 
data and documents, participation of stakeholders, and consistency of 
data reported through mitigation programs.
    Response: Information on conservation banks is available to the 
public on the Regulatory In-lieu Fee and Banking Information Tracking 
System (RIBITS), and the Service intends to work with the USACE to add 
Service-approved in-lieu fee programs to that platform. As noted in the 
policy, the Service will share appropriate information concerning 
mitigation programs with the public, with the exception of personally 
identifiable information or other information that would be exempt 
under the Freedom of Information Act. We declined to add specific 
standards for transparency to the policy. Prescriptive standards for 
the type of data to be shared would not be reasonable for a policy that 
covers the myriad listed species across the country. Such standards 
would be better suited for species-specific guidance.

N. Preference for Advance Mitigation

    Comment (77): One commenter stated the policy should adopt an 
approach similar to that taken in the HCP handbook to identify 
exceptions to the requirement to mitigate in advance of impacts.
    Response: The policy is intended to provide standards and guidance 
to improve consistency of compensatory mitigation programs and projects 
for listed, proposed, and at-risk species. The preference for advance 
mitigation is based on the years of experience with compensatory 
mitigation programs. We realize that in some cases advance mitigation 
may not be possible, or even preferable; however, attempting to 
identify exceptions for this preference would not be reasonable, 
considering the vast diversity of species and programs that would occur 
across the country.
    Comment (78): Several commenters were concerned about the draft 
policy's preference for compensatory mitigation in advance of project 
impacts. One commenter specifically identified that reclamation of 
mining operations often lacks the ability for advanced mitigation on 
site. Other commenters cited that: The process of project permitting 
and financing determinations would likely not allow for advanced 
mitigation; the Service should provide incentives such as higher ratios 
for ``after impact mitigation''; advance mitigation would be considered 
pre-decisional; or it is impossible to provide mitigation in advance of 
impacts.
    Response: We recognize that project scheduling and implementing on-
site mitigation may not always align with the Service's preference for 
advance mitigation; however, conservation banks, in-lieu-fee programs, 
and other third-party mechanisms provide advanced mitigation options 
that reduce timing and other constraints. The Service's current 
practice to recommend mitigation in advance of impacts under sections 7 
and 10 of the ESA is based on years of experience in compensatory 
mitigation practices. This policy promotes the development of advanced 
mitigation mechanisms, providing more options for mitigation users. The 
Service agrees that mitigation ratios can be used to incentivize 
mitigation accomplished in advance of impacts, but the discussion of 
specifics is beyond the scope of this policy. The Service does not 
consider advance mitigation to be pre-decisional, as the majority of 
advance mitigation programs, such as conservation banking, are 
established prior to any impacts, and projects that will mitigate at 
such sites may be unknown at the time of bank establishment. In all 
cases, the Service will evaluate the appropriateness of using a 
specific site or proposal as compensatory mitigation to offset the 
unavoidable impacts of a project at the time the Service reviews the 
project that will likely result in the impacts.

O. Eligible Lands

    Comment (79): Several commenters supported mitigation projects and 
programs on public lands and wanted us to add more flexibility to the 
policy. One commenter stated that if mitigation projects and programs 
occur on public lands, the land manager should be prepared to implement 
and fund alternative mitigation if a change in law allows incompatible 
uses to occur on mitigation lands. One commenter did not support 
mitigation projects and programs on Federal lands, but was in favor of 
it on State lands, and wanted State lands specifically mentioned in the 
policy.
    Response: Compensatory mitigation can occur on public lands, either 
Federal or State lands, and in some cases, such siting may lead to the 
best ecological outcome. Compensatory mitigation for impacts on public 
lands can be sited on both public and private lands. Compensatory 
mitigation for impacts on private lands can be located on public lands, 
but it is this combination, or that particular change in ownership 
classification, where Service staff should be attentive to additional 
considerations before making such a recommendation. These additional 
considerations are necessary to achieve the ``net gain'' or, at a 
minimum ``no net loss,'' goal of the policy.
    Comment (80): Several commenters provided comments on split 
estates. Commenters said the Service is arbitrarily limiting areas on 
which mitigation can occur by not allowing lands with split estates to 
qualify as mitigation lands; split estates do not necessarily result in 
an unsuitable mitigation site; and the holder of the rights would have 
to secure their own authorization under the ESA from the Service prior 
to exercising their rights.
    Response: The Service agrees that there are cases in which lands 
with split estates can be used for mitigation. The policy advises 
caution because we strive to ensure the durability of mitigation 
projects and programs, but the policy does mention possible remedies 
and that there could be other approaches to using lands with split 
estates for mitigation. A detailed discussion of remedies and other 
approaches is not within the scope of this policy.

P. Tribal Lands/Tribal Rights

    Comment (81): We received some comments regarding the siting of 
mitigation projects on tribal lands or on lands on which tribes hold 
treaty rights. One commenter expressed the need for local mitigation 
projects to be sited in or near reservation lands as well as on 
traditional off-reservation sites, to benefit the natural resources of 
the native peoples; another commenter was concerned that locating 
mitigation outside of treaty areas for projects that impact the 
resources in treaty areas would harm the treaty rights and the 
resources of the tribes. Other commenters asked that tribes be 
consulted in the siting and approval of mitigation sites and programs. 
Others were concerned about the impacts of habitat restoration and 
long-term management on treaty resources.
    Response: The Service is committed to upholding our trust 
responsibilities to federally recognized tribes to conserve shared 
natural resources, consistent with the Service's Native American

[[Page 95333]]

Policy (revised January 2016; see 81 FR 4638, January 27, 2016). This 
is accomplished under this policy by ensuring that mitigation projects 
and programs are located in areas that provide the most benefit to the 
affected resources, while respecting treaty rights. The Service 
recognizes the importance of tribal involvement and expertise when 
siting mitigation projects and when developing service areas and 
management plans for conservation banks and other types of mitigation 
mechanisms. Specific guidance on Service coordination with tribes is 
beyond the scope of this policy.
    Comment (82): We received some comments requesting specific 
guidance on facilitating creation of conservation banks on tribal 
lands, comments on including tribal cultural uses and practices as 
allowable uses on mitigation lands, and a suggestion for developing 
mitigation principles similar to those developed with the USACE in the 
State of Washington for specific mitigation programs.
    Response: The Service agrees that these are all important 
considerations, and such guidance and suggestions will be more 
effectively addressed in step-down guidance at a later time.
    Comment (83): We received comments regarding the applicability of 
the policy to tribes, or to a specific HCP under development, and a 
suggestion that the Service consult with any tribes who so request 
before finalizing this policy.
    Response: The Service notified tribal contacts when we made the 
draft policy available for review and comment (81 FR 61032, September 
2, 2016). We addressed all tribal comments, as appropriate, as we 
developed the final policy. The policy applies to all forms of 
compensatory mitigation for all species and habitat protected under the 
ESA and for which the Service has jurisdiction. The policy is flexible 
with regard to its application to specific mitigation projects or 
programs that are under development at the time this policy is 
finalized, leaving that decision to individual Service offices.

Q. Service Areas

    Comment (84): Several commenters requested more detail in the 
policy about requirements for developing service areas.
    Response: Specific considerations for developing service areas are 
beyond the scope of this policy and will be provided in implementation 
guidance.

R. Credit Bundling

    Comment (85): A few commenters were concerned about credit 
bundling, also known as credit stacking, where multiple resources exist 
on the same unit area. One commenter was concerned that any resources 
bundled or stacked with a listed species would suffer, as the site 
would be managed only for the benefit of the listed species and not the 
other resource(s), and wanted multi-agency review teams to be aware of 
this when authorizing mitigation banks. Other commenters wanted the 
Service to make it clear that credits could potentially be used for 
multiple purposes, and another wanted the Service to allow mitigation 
credits to be used to compensate for multiple impact projects.
    Response: The Service encourages credit bundling where multiple 
resources exist on the same unit area and where management actions 
benefit those multiple resources. However, bundled credits can only be 
used to compensate for one impact project (i.e., the credits can never 
be ``unbundled'' or ``unstacked'' to compensate for multiple projects). 
If two resources, such as a California red-legged frog (CRLF) and a 
wetland regulated pursuant to section 404 of the Clean Water Act are 
bundled together in a credit, that credit may be used to compensate for 
impacts to both resources from the same project, or to compensate for 
impacts to CRLF or to wetlands. If the credit were used to compensate 
for CRLF, then it can no longer be used to compensate for wetlands 
(i.e., that portion of the credit is ``retired''). Unbundling these 
functions and services would result in a net loss of habitat and would 
undermine the Service's efforts to conserve the species. This approach 
is consistent with the policies and regulations of the USACE, and other 
State and Federal agencies the Service works with on multi-agency-
approved mitigation projects and programs.

S. Mitigation Mechanisms

    Comment (86): One commenter suggested the Benefits of the Draft 
Policy section be clarified to include other mitigation mechanisms that 
may not be market-based. The commenter suggested that the first 
sentence of the final paragraph of that section be modified to read: 
``This draft policy would encourage mitigation in conjunction with 
programmatic approaches to ESA section 7 consultations and HCPs 
designed to focus on conservation outcomes that achieve ``no net loss'' 
or ``net gain'' through the use of market-based approaches (e.g., 
conservation banks), in-lieu fee programs, permittee-responsible, and 
other third-party implemented mitigation programs.''
    Response: The Service considers that one of the benefits of this 
policy is the opportunity it creates for a market-based approach to 
mitigation as highlighted in the Presidential Memorandum of November 3, 
2015, on Mitigating Impacts on Natural Resources From Development and 
Encouraging Related Private Investment (80 FR 68743, November 6, 2015), 
especially those that can be established in advance of impacts. 
Conservation banking is a proven example of this approach. The policy 
does not preclude the other mechanisms mentioned by the commenter. We 
declined to adopt the commenter's suggested sentence.
    Comment (87): Several commenters stated that the draft policy was 
confusing and complex, citing the Service's definition of compensatory 
mitigation being too broad, lack of a mitigation protocol, and need for 
a guidance document to ensure a separation of regulatory and 
nonregulatory authority, goals, and standards. One comment stated the 
complexity of obtaining approval, as well as cost, for a mitigation 
site would discourage investment.
    Response: One purpose of the policy is to provide predictability 
and thereby reduce uncertainty of investment for market-based 
mitigation programs. We acknowledge that the nature of existing 
compensatory mitigation mechanisms and programs currently being 
implemented is complex. We have revised the draft policy so that this 
final policy addresses overarching goals and standards only, and we 
will later provide more detailed implementation guidance. However, 
providing a mitigation ``protocol'' that covers the breadth of species 
and circumstances across the country would not be reasonable. We 
anticipate species- or geographic-specific guidance to be developed 
under the umbrella of this policy.
    Comment (88): We received two comments regarding section 7.2, 
Short-Term Compensatory Mitigation, in the draft policy. One comment 
indicated it may not be helpful, particularly when dealing with aquatic 
species. The other requested more detail in this section and stressed 
it should be more widely used.
    Response: The use of short-term compensatory mitigation is a novel 
approach, with long-term results yet to be evaluated. The policy fully 
acknowledges that it is likely to be limited in use, for a variety of 
reasons, primarily the ability to predict all temporal losses of an 
impact in order to provide an appropriate offset for those losses. 
However, the concept may be

[[Page 95334]]

useful in some circumstances. Thus, it is included in the policy in an 
effort to provide additional flexibility to conserve listed, proposed, 
and at-risk species.
    Comment (89): Several commenters requested that the Service express 
a preference for conservation bank credits over other forms of 
compensatory mitigation. One commenter requested the Service add a 
preference for rehabilitation or restoration over preservation and that 
the Service prohibit use of alternative forms of mitigation if 
conservation bank credits are available in the same proposed service 
area.
    Response: As stated in section 6 of this policy, the appropriate 
form of compensatory mitigation must be based on the species' needs and 
the nature of the impacts adversely affecting the species. All 
mitigation tools listed in the policy are capable of being 
strategically sited, consolidated, and provided in advance of impacts 
if they are designed to do so. These preferences will provide the best 
outcomes for species when they are implemented in any mitigation tool, 
and, therefore, we have retained flexibility for applicants when 
selecting mitigation tools. We decline to prohibit the use of 
alternative forms of mitigation where conservation bank credits are 
available, as that would limit flexibility and inherent choice of the 
applicant(s).

T. Climate Change

    Comment (90): Several commenters addressed sections of the draft 
policy that referenced climate change for consideration in mitigation 
planning. Some commenters were concerned about the uncertainty of 
calculating the effects of climate change for compensatory mitigation 
and the use of mitigation ratios to address climate change. One 
commenter said the policy should provide more detail on integrating 
climate change effects in the analysis of mitigation programs. Another 
requested the basis for the term ``accelerated'' climate change used in 
the policy.
    Response: Consistent with the Departmental Manual (600 DM 6), the 
Service recommends that climate change be considered when evaluating 
the effects of an action and developing appropriate mitigation 
measures. The Service recognizes the science of climate change is 
advancing, and assessment methodologies are continually being refined 
to address the effects of climate change to specific resources and at 
differing scales. Including specific information on these topics is 
beyond the scope of this policy. Therefore, the policy is written with 
language to ensure that it does not become quickly outdated as 
methodologies evolve. We use the term ``accelerated climate change'' in 
a general sense to reference a substantial portion of scientific 
literature and scholarly articles on the subject, including reports 
produced by the Intergovernmental Panel on Climate Change.
    The final policy follows:

U.S. Fish and Wildlife Service

Endangered Species Act Compensatory Mitigation Policy

1. Purposes

    This policy adopts the mitigation principles established in the 
U.S. Fish and Wildlife Service (Service) Mitigation Policy (81 FR 
83440, November 21, 2016), establishes compensatory mitigation 
standards, and provides guidance for the application of compensatory 
mitigation through implementation of the Endangered Species Act of 
1973, as amended (ESA; 16 U.S.C. 1531 et seq.). Compensatory mitigation 
(compensation) is defined in this policy as compensation for remaining 
unavoidable impacts after all appropriate and practicable avoidance and 
minimization measures have been applied, by replacing or providing 
substitute resources or environments (see 40 CFR 1508.20) through the 
restoration, establishment, enhancement, or preservation of resources 
and their values, services, and functions (600 DM 6.4C). This policy 
applies to all Service compensatory mitigation requirements and 
recommendations involving ESA compliance. It is also intended to assist 
other Federal agencies carrying out their statutory and regulatory 
responsibilities under the ESA and to provide applicants with guidance 
on the appropriate use of compensatory mitigation for proposed actions. 
The standards and guidance in the policy will also assist mitigation 
providers in developing compensatory mitigation project proposals.
    Adherence to the principles, standards, and guidance identified in 
this policy is expected to: (1) Provide greater clarity on applying 
compensatory mitigation to actions subject to ESA compliance 
requirements; (2) improve consistency and predictability in the 
implementation of the ESA by standardizing compensatory mitigation 
practices; and (3) promote the use of compensatory mitigation at a 
landscape scale to help achieve the purposes of the ESA.
    This policy encourages Service personnel to collaborate with other 
agencies, academic institutions, nongovernmental organizations, tribes, 
and other partners to develop and implement compensatory mitigation 
measures and programs through a landscape-scale approach to achieve the 
best possible conservation outcomes for activities subject to ESA 
compliance. It also encourages the use of programmatic approaches to 
compensatory mitigation that have the advantages of advance planning 
and economies of scale to: (1) Achieve a net gain in species' 
conservation; (2) reduce the unit cost of compensatory mitigation; and 
(3) improve regulatory procedural efficiency.
    Appendices A and B provide a list of acronyms and a glossary of 
terms used in this policy, respectively.

2. Authorities and Coordination

    This policy is focused on compensatory mitigation that can be 
achieved under the ESA. The Service's authority to require mitigation 
is limited, and our authority to require a ``net gain'' in the status 
of endangered and threatened (listed) or at-risk species has little or 
no application under the ESA. However, we can recommend the use of 
mitigation, and in particular compensatory mitigation, to offset the 
adverse impacts of actions under the ESA. Other statutes also provide 
the Service with authority for recommending compensatory mitigation for 
actions affecting fish, wildlife, plants, and their habitats (e.g., 
Fish and Wildlife Coordination Act (FWCA; 16 U.S.C. 661-667e), National 
Environmental Policy Act (NEPA; 42 U.S.C. 4321 et seq.), and Oil 
Pollution Act (33 U.S.C. 2701 et seq.)). In addition, statutes such as 
the Clean Water Act (CWA; 33 U.S.C. 1251 et seq.) and Federal Power Act 
(16 U.S.C. 791a-828c) provide other Federal agencies with authority to 
recommend or require compensatory mitigation for actions that result in 
adverse effects to species or their habitats. These other authorities 
are often used in combination with, or to supplement the authorities 
under, the ESA to recommend or require compensatory mitigation for a 
variety of resources including at-risk species and their habitats. For 
example, the ESA and the Federal Land Policy and Management Act (43 
U.S.C. 1701 et seq.) together provide a greater impetus to conserve 
desert tortoise habitat than either statute alone.
    Synchronizing environmental review processes, especially through 
early coordination with project proponents, allows the Service to 
provide comments

[[Page 95335]]

and recommendations for all mitigation types (i.e., avoidance, 
minimization, and compensation) included as part of proposed actions in 
an effort to reduce impacts to listed, proposed, and at-risk species 
and designated and proposed critical habitat. For example, the Service 
may comment on proposed actions under NEPA and State environmental 
review statutes (e.g., California Environmental Quality Act and Hawaii 
Environmental Policy Act). Coordination of environmental review 
processes generally results in conservation outcomes that have a 
greater likelihood of meeting the Service's mitigation goal.
    The supplemental mandate of NEPA (42 U.S.C. 4335) adds to the 
existing authority and responsibility of the Service to protect the 
environment when carrying out our mission under the ESA. The Service's 
goal is to provide a coordinated review and analysis of the impacts of 
proposed actions on listed, proposed, and at-risk species, and 
designated and proposed critical habitat that are also subject to the 
requirements of other statutes such as NEPA, CWA, and FWCA. 
Consultation, conference, and biological assessment procedures under 
section 7 and permitting procedures under section 10(a)(1)(B) of the 
ESA can be integrated with interagency cooperation procedures required 
by other statutes such as NEPA or FWCA. This is particularly the case 
for cumulative effects. Cumulative effects are often difficult to 
analyze, are defined differently under different statutes, and are 
often not adequately considered when making decisions affecting the 
type and amount of mitigation recommended or required.

3. Scope

    The ESA Compensatory Mitigation Policy covers all forms of 
compensatory mitigation, including, but not limited to, permittee-
responsible mitigation, conservation banking, in-lieu fee programs, and 
other third-party mitigation projects or arrangements, for all species 
and habitat protected under the ESA and for which the Service has 
jurisdiction. Endangered and threatened species, species proposed as 
endangered or threatened, and designated and proposed critical habitat, 
are the primary focus of this policy. Candidates and other at-risk 
species would also benefit from adherence to the standards set forth in 
this policy, and all Service programs are encouraged to develop 
compensatory mitigation programs and tools to conserve at-risk species 
in cooperation with States and other partners.
    This policy does not apply retroactively to approved mitigation 
programs; however, it does apply to amendments and modifications to 
existing conservation banks, in-lieu fee programs, and other third-
party compensatory mitigation arrangements unless otherwise stated in 
the mitigation instrument. Examples of amendments or modifications to 
which this policy applies include authorization of additional sites 
under an existing instrument or agreement, expansion of an existing 
site, or addition of a new type of resource credit such as addition of 
a new species credit.
    This policy does apply to other Federal or non-Federal actions 
permitted or otherwise authorized or approved prior to issuance of this 
policy under circumstances where the action may require additional 
compliance review under the ESA if: New information becomes available 
that reveals effects of the action to listed species or critical 
habitat not previously considered; the action is modified in a manner 
that causes effects to listed species and critical habitat not 
previously considered; authorized levels of incidental take are 
exceeded; a new species is listed or critical habitat is designated 
that may be affected by the actions; or the project proponent 
specifically requests the Service to apply the policy. This policy does 
not apply to actions that are specifically exempted under the ESA. It 
also does not apply where the Service has already agreed in writing to 
mitigation measures for pending actions, except where new activities or 
changes in current activities associated with those actions would 
result in new impacts, or where new authorities, or failure to 
implement agreed upon recommendations warrant new consideration 
regarding mitigation. Service offices may elect to apply this policy to 
actions that are under review as of December 27, 2016,
    This policy clarifies guidance given in the Service's ``Guidance 
for the Establishment, Use, and Operation of Conservation Banks,'' 
published in the Federal Register on May 8, 2003 (68 FR 24753), and 
``Guidance on Recovery Crediting for the Conservation of Threatened and 
Endangered Species,'' published in the Federal Register on July 31, 
2008 (73 FR 44761).

4. Application of Compensatory Mitigation Under the ESA

    Sections of the ESA under which the Service has authority to 
recommend or require compensatory mitigation for species or their 
habitat are identified below. In this section, we provide guidance on 
applications of these ESA authorities within the context of 
compensatory mitigation. The compensatory mitigation standards set 
forth in section 5. Compensatory Mitigation Standards of this policy 
apply to compensatory mitigation programs and projects established 
under the ESA, as appropriate.

4.1. Section 7--Interagency Cooperation

    Section 2(c)(1) of the ESA directs all Federal departments and 
agencies to conserve endangered and threatened species. ``Conserve'' is 
defined in section 3 of the ESA as all actions necessary to bring the 
species to the point that measures provided pursuant to the ESA are no 
longer necessary (i.e., recovery or the process through which recovery 
of listed species is accomplished). This requirement to contribute to 
the conservation of listed species is reaffirmed in section 7(a)(1) of 
the ESA. Congress recognized the important role Federal agencies have 
in conserving listed species.
    When the ESA was enacted in 1973, section 7 was a single paragraph 
directing ``all Federal departments and agencies . . . [to] utilize 
their authorities in furtherance of the purposes of [the ESA] by 
carrying out programs for the conservation of endangered species and 
threatened species listed pursuant to section 4 of [the ESA] and 
[emphasis added] by taking such action necessary to insure that actions 
authorized, funded, or carried out by them do not jeopardize the 
continued existence of such endangered species and threatened species 
or result in the destruction or modification of habitat of such species 
which is determined . . . to be critical.'' In 1979, section 7 was 
amended to create subsections 7(a)(1) and 7(a)(2). Federal agencies 
have separate responsibilities concerning species and their habitats 
under these two subsections. Section 7(a)(1) is a recovery measure that 
requires Federal agencies to carry out programs for the conservation of 
listed species. Section 7(a)(2) is a stabilization measure that 
requires Federal agencies to ensure actions they authorize, fund, or 
carry out are not likely to jeopardize the continued existence of a 
listed species or destroy or adversely modify critical habitat.
4.1.1. Section 7(a)(1)
    Section 7(a)(1) of the ESA states, ``. . . Federal agencies shall, 
in consultation with and with the assistance of the Secretary, utilize 
their authorities in furtherance of the purposes of [the ESA] by 
carrying out programs for the conservation of

[[Page 95336]]

endangered species and threatened species.'' The Secretary's section 
7(a)(1) consultation role has been delegated to the Service, and the 
Service therefore consults with and assists Federal agencies to 
accomplish these conservation programs. ``Conservation,'' as it is 
defined in section 3 of the ESA, means ``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 this Act are no longer necessary.'' Through this 
policy, the Service encourages Federal agencies to use section 7(a)(1) 
to achieve a goal of a ``net gain'' through their mitigation policies 
and approaches so that they may help bring endangered and threatened 
species to the point where they no longer need to be listed pursuant to 
the ESA.
    Mitigation Goal: Development of landscape-scale conservation 
programs for listed and at-risk species that are designed to achieve a 
net gain in conservation for the species.
    Guidance: One way that Federal agencies can meet their 
responsibility under section 7(a)(1) of the ESA is by working with the 
Service and other conservation partners to develop landscape-scale 
conservation plans that include compensatory mitigation programs 
designed to contribute to species recovery. Landscape-scale approaches 
to compensatory mitigation, such as conservation banking and in-lieu 
fee programs, are more likely to be successful if Federal agencies, 
especially those that carry out, fund, permit, or otherwise authorize 
actions that can use these programs, are involved in their 
establishment and support their use. For example, the Federal Highway 
Administration, as part of its long-term planning process, can use its 
authorities to work with the Service and other conservation partners on 
conservation programs for listed species that may be impacted by 
anticipated future actions. The conservation programs can include 
identifying priority conservation areas, developing crediting 
methodologies to value affected species, and developing guidance for 
offsetting those impacts that is expected to achieve ``no net loss,'' 
or even a ``net gain,'' in conservation for the species. These tools 
and information can then be used by conservation bank sponsors and 
other mitigation providers to develop compensatory mitigation 
opportunities (e.g., conservation banks) for use by the Federal Highway 
Administration, and also by State departments of transportation and 
other public and private entities seeking compensation to offset the 
impacts of their actions for those same species. The resulting 
compensatory mitigation program provides conservation for the species 
that would otherwise not have been achieved--a contribution to listed 
species conservation under section 7(a)(1) of the ESA by the Federal 
agency.
4.1.2. Section 7(a)(2)
    Section 7(a)(2) of the ESA states, ``[e]ach Federal agency shall . 
. . insure that any action authorized, funded, or carried out, by such 
agency . . . is not likely to jeopardize the continued existence of any 
endangered species or threatened species or result in the destruction 
or adverse modification of [critical] habitat.'' The Service determines 
through consultation under section 7(a)(2) whether or not the proposed 
action is likely to jeopardize the continued existence of listed 
species or destroy or adversely modify critical habitat. The Service 
then issues a biological opinion stating our conclusion and, in the 
case of a finding of no jeopardy (or jeopardy accompanied by reasonable 
and prudent alternatives that can be taken by the Federal agency to 
avoid jeopardy), formulates an incidental take statement, if such take 
is reasonably certain to occur, that identifies the anticipated amount 
or extent of incidental take of listed species and specifies reasonable 
and prudent measures necessary or appropriate to minimize such impacts 
under section 7(b)(4) of the ESA. If the proposed action is likely to 
adversely affect critical habitat, the Service's biological opinion 
also analyzes whether adverse modification is likely to occur and 
specifies reasonable and prudent alternatives to avoid adverse 
modification, as necessary and if available. If the listed species is a 
marine mammal, incidental taking is authorized pursuant to section 
101(a)(5) of the Marine Mammal Protection Act (MMPA; 16 U.S.C. 1361 et 
seq.) prior to issuance of an incidental take statement under the ESA.
    Mitigation Goal: The Service should work with Federal agencies to 
assist them in proposing actions that are not likely to jeopardize the 
continued existence of any listed species or result in the destruction 
or adverse modification of any designated critical habitat, as required 
under section 7(a)(2) of the ESA. While not required under section 
7(a)(2), the Service may also encourage Federal agencies and applicants 
(consistent with Federal action agency authorities) to include 
compensation as part of their proposed actions to offset any 
anticipated impacts to these resources that are not avoided to achieve 
a ``net gain'' or, at a minimum, ``no net loss'' in the conservation of 
listed species.
    Guidance: The Service should coordinate with Federal agencies and 
encourage them to use their authorities under appropriate statutes 
(e.g., Federal Land Policy and Management Act) to avoid, minimize, and 
offset adverse impacts to listed species and designated critical 
habitat using the full mitigation sequence. Compensation is a component 
of the mitigation sequence that can be applied to offset adverse 
effects of actions on listed species and critical habitat. Furthermore, 
the Service can work with Federal agencies to establish compensatory 
mitigation programs such as conservation banking and in-lieu fee 
programs that incentivize offsetting the effects of their actions 
through the appropriate use of compensation while expediting regulatory 
processes for the Federal agencies and applicants. Due to economies of 
scale, such mitigation programs are particularly effective at providing 
more effective and cost-efficient compensation opportunities for 
offsetting the effects of multiple actions that individually have small 
impacts.
4.1.2.1. Proposed Actions and Project Descriptions
    To better implement section 7(a)(2) of the ESA and prevent species 
declines, the Service will work with Federal agencies and applicants to 
identify conservation measures, using the full mitigation sequence, 
that can be included as part of proposed actions for unavoidable 
impacts to listed species and critical habitat to achieve, at a 
minimum, ``no net loss'' in the species' conservation. The mitigation 
sequence should be observed (i.e., avoid first, then minimize, then 
compensate), except where circumstances may warrant a departure from 
this preferred sequence. For example, it may be preferable to 
compensate for the loss of an occupied site that will be difficult to 
maintain based on projected future land use (e.g., the site is likely 
to be isolated from the population in the future) or climate change 
impacts. The Service will consider conservation measures, including 
compensatory mitigation, as appropriate, proposed by the action agency 
or applicant as part of the proposed action when developing a 
biological opinion addressing the effects of the proposed action on 
listed species and critical habitat. This consideration of beneficial 
actions (i.e., compensatory mitigation) is consistent with our 
implementing regulations at 50 CFR 402.14(g)(8). Federal agencies 
should coordinate early with the Service on the

[[Page 95337]]

appropriateness of such beneficial actions as compensation for 
anticipated future actions.
4.1.2.2. Jeopardy or Adverse Modification Determinations and RPAs
    When the Service issues a biological opinion with a finding of 
jeopardy or adverse modification of critical habitat, we include 
reasonable and prudent alternatives (RPAs) when possible. RPAs may 
include any and all forms of mitigation, including compensatory 
mitigation, that can be applied to avoid proposed actions from 
jeopardizing the existence of listed species or destroying or adversely 
modifying critical habitat, provided they are consistent with the 
regulatory definition of RPAs at 50 CFR 402.02.
4.1.2.3. No Jeopardy and No Adverse Modification Determinations and 
RPMs
    When the Service issues a biological opinion with a finding of no 
jeopardy, we provide the Federal agency and applicant (if any) with an 
incidental take statement, if take is reasonably certain to occur, in 
accordance with section 7(b)(4) of the ESA. The incidental take 
statement specifies the amount or extent of anticipated take, the 
impact of such take on the species, and any reasonable and prudent 
measures (RPMs) and implementing terms and conditions determined by the 
Service to be necessary or appropriate to minimize the impact of the 
take.
    RPMs can include mitigation, in appropriate circumstances, if such 
a measure minimizes the effect of the incidental take on the species, 
and as long as the measure is consistent with the interagency 
consultation regulations at 50 CFR 402.14. RPMs should also be 
commensurate with and proportional to the impacts associated with the 
action. The Service should provide an explanation of why the measures 
are necessary or appropriate. If the proposed action includes 
conservation measures sufficient to fully compensate for incidental 
take, it may not be necessary to include additional minimization 
measures (beyond monitoring) through RPMs.
4.1.3. Section 7(a)(4)
    Section 7(a)(4) of the ESA states, ``[e]ach Federal agency shall 
confer with [the Service] on any agency action which is likely to 
jeopardize the continued existence of any species proposed to be listed 
. . . or result in the destruction or adverse modification of critical 
habitat proposed to be designated for such species.'' The conference is 
designed to assist the Federal agency and any applicant to identify and 
resolve potential conflicts at an early stage in the planning process.
    Mitigation Goal: The Service should work with Federal agencies to 
assist them in proposing actions that are not likely to jeopardize the 
continued existence of any species proposed for listing or result in 
the destruction or adverse modification of any proposed critical 
habitat, in accordance with section 7(a)(4) of the ESA. The Service 
should also encourage Federal agencies and applicants to include 
compensation as part of their proposed actions to offset any 
anticipated impacts to resources that are not avoided to achieve a net 
gain or, at a minimum, no net loss in their conservation.
    Guidance: The Service should coordinate with Federal agencies and 
encourage them to use their authorities to avoid and minimize adverse 
impacts to proposed and at-risk species and proposed critical habitat 
using the full mitigation sequence. The Service may recommend 
compensatory mitigation for adverse effects to proposed or at-risk 
species during informal conference or in a conference report or 
conference opinion, or the Federal action agency or applicant may 
propose compensatory mitigation as part of the action. If a conference 
opinion or report determines that a proposed action is likely to 
jeopardize the continued existence of a proposed species or adversely 
modify or destroy proposed critical habitat, the Service will include 
RPAs, if any are available, that may include compensatory mitigation. 
If the species is subsequently listed or critical habitat is designated 
prior to completion of the action, the Service will give appropriate 
consideration to compensatory mitigation when confirming the conference 
opinion as a biological opinion or if formal consultation is necessary. 
This consideration of beneficial actions is consistent with our 
implementing regulations at 50 CFR 402.14(g)(8).

4.2. Section 10--Conservation Plans and Agreements

4.2.1. Safe Harbor and Candidate Conservation Agreements
    Under a candidate conservation agreement with assurances (CCAA), 
private and other non-Federal property owners may voluntarily undertake 
conservation management activities on their properties to address 
threats to unlisted species and to enhance, restore, or maintain 
habitat benefiting species that are candidates or proposed for listing 
under the ESA or other at-risk species in exchange for assurances that 
no further action on their part is required should the species become 
listed during the term of the CCAA. Under a safe harbor agreement 
(SHA), private and other non-Federal property owners may voluntarily 
undertake management activities on their property to enhance, restore, 
or maintain habitat benefiting species listed under the ESA in exchange 
for assurances that there will not be any increased property use 
restrictions as a result of their efforts that either attract listed 
species to their property or that increase the numbers or distribution 
of listed species already on their property during the term of the 
agreement. Both types of agreements are designed to encourage 
conservation of species on non-Federal land.
    Mitigation Goal: Transitioning CCAAs and SHAs into long-term/
permanent conservation that can serve as compensatory mitigation when 
appropriate and desired by landowners. Such transitions provide greater 
assurance that the species conservation efforts begun under the CCAA or 
SHA will persist on the landscape beyond the term of the original 
agreement.
    Guidance: CCAAs or SHAs are not intended to be mitigation programs 
and do not require site protection and financial assurances that meet 
the compensatory mitigation standards set forth in this policy, 
however, the conservation achieved through implementation of a CCAA or 
SHA may be `rolled over' for use as compensatory mitigation if: (1) The 
CCAA or SHA permit has expired or is surrendered; (2) the landowner is 
in compliance with the terms and conditions of the CCAA or SHA at the 
time of transition; (3) any commitments for conservation for which 
financial compensation from public sources was received has been 
fulfilled and if not fulfilled is prorated and deducted from the 
mitigation credit assigned to the property; and (4) all other 
requirements for providing compensatory mitigation are met. If the 
Service determines the CCAA or SHA would provide greater conservation 
to the species as compensatory mitigation, then the Service should 
inform the landowner of this assessment and provide the landowner with 
the opportunity to transition their property from a CCAA or SHA site to 
a mitigation site.
    Landowners enrolled in CCAAs while the species remains unlisted can 
provide compensatory mitigation under a State or other non-Service 
mitigation program if the actions related to the mitigation are 
additional to those taken to satisfy the CCAA requirement. Should the 
species become listed before the CCAA expires, the landowner has the 
option to roll over the existing

[[Page 95338]]

mitigation agreement to a Service-approved mitigation instrument that 
meets the standards established in this policy.
4.2.2. Habitat Conservation Plans
    Section 10(a)(1)(B) of the ESA allows the Service to issue an 
incidental take permit for ``any taking otherwise prohibited by section 
9(a)(1)(B) [of the ESA] if such taking is incidental to, and not the 
purpose of, the carrying out of an otherwise lawful activity.'' If, 
under section 10(a)(2)(B) of the ESA, the Service finds the issuance 
criteria are met by the applicant, including that the applicant will, 
``to the maximum extent practicable, minimize and mitigate the impacts 
of such taking,'' the Service will issue a permit. Plant species and 
unlisted animal species may also be covered in the habitat conservation 
plan (HCP), provided the applicant meets requirements for their 
coverage described in the implementing regulations. The Service 
incorporates these measures as terms and conditions of the permit. 
Regulations governing incidental take permits for endangered and 
threatened wildlife species are found at 50 CFR 17.22 and 17.32. The 
Service is required to conduct a section 7(a)(2) consultation on 
issuance of an incidental take permit.
    Mitigation Goal: Consistent with the purposes and polices of the 
ESA, the Service should work with applicants to assist them in 
developing HCPs that achieve a ``net gain'' or, at a minimum, ``no net 
loss'' in the conservation of covered species and critical habitat. 
Though the statute does not require this of HCP applicants, applicants 
often will request additional measures for greater future assurances. 
This is generally achievable through programmatic approaches, which 
provide opportunities for the use of landscape-scale compensatory 
mitigation programs to offset impacts of actions.
    Guidance: Compensatory mitigation should be concurrent with or in 
advance of impacts, whenever possible. Programmatic approaches are 
recommended when they will produce regulatory efficiency and improved 
conservation outcomes for the covered species. These HCPs operate on a 
landscape scale and often use conservation banks, in-lieu fee programs, 
or other compensatory mitigation opportunities established by 
mitigation sponsors and approved by the Service. These landscape-scale 
programmatic approaches can achieve a net gain in conservation for the 
covered species as a result of economies of scale. See the revised HCP 
Handbook for the various options available to address compensatory 
mitigation for HCPs.

4.3. Other Sections of the ESA Where Compensatory Mitigation Can Play a 
Role

    Section 4(d) of the ESA authorizes the Service to issue protective 
regulations that are necessary and advisable to provide for the 
conservation of threatened species. The Service used this authority to 
extend the prohibition of take (section 9 of the ESA) to all threatened 
species by regulation in 1978, through promulgation of a ``blanket 4(d) 
rule'' (50 CFR 17.31). This blanket 4(d) rule can be modified by a 
species-specific 4(d) rule (e.g., Special Rule Concerning Take of the 
Threatened Coastal California Gnatcatcher (58 FR 65088, December 10, 
1993)). Depending on the threats, the inclusion of compensatory 
mitigation in a species-specific 4(d) rule may help offset habitat 
loss, and could hasten recovery or preclude the need to reclassify the 
species as endangered.
    Section 5 of the ESA provides authority for the Service and the 
U.S. Department of Agriculture, with respect to the National Forest 
System, to establish and implement a program to conserve fish, 
wildlife, and plants, including those which are listed as endangered 
species or threatened species through:
     Use of land acquisition and other authority under the Fish 
and Wildlife Act of 1956, as amended (16 U.S.C. 742a-742j, not 
including 742d-1); the Fish and Wildlife Coordination Act, as amended 
(16 U.S.C. 661 et seq.); and the Migratory Bird Conservation Act (16 
U.S.C. 715-715d, 715e, 715f-715r), as appropriate; and
     Acquisition by purchase, donation, or otherwise, of lands, 
waters, or interests therein.
    Establishment of compensatory mitigation programs that conserve 
listed or at-risk species on lands adjacent to National Forests could 
be used to offset losses to those species and their habitats by actions 
authorized by the Service and also help buffer National Forests from 
incompatible neighboring land uses.

5. Compensatory Mitigation Standards

    The mitigation principles, as described in the Service's Mitigation 
Policy (81 FR 83440, November 21, 2016), are goals the Service intends 
to achieve, in part through recommending or requiring, as appropriate, 
under the ESA and other applicable authorities, the inclusion of 
compensatory mitigation in proposed actions with adverse impacts to 
listed, proposed, or at-risk species, and designated or proposed 
critical habitat. The compensatory mitigation standards described in 
this section of the policy will implement the mitigation principles, as 
outlined in the Mitigation Policy, including using a landscape approach 
to inform mitigation and aspiring to meet the goal to improve (i.e., a 
``net gain'') or, at minimum, to maintain (i.e., ``no net loss'') the 
current status of affected resources, as allowed by applicable 
statutory authority and consistent with the responsibilities of action 
proponents under such authority. Compensatory mitigation programs, 
projects, and measures that are consistent with the mitigation 
principles and adhere to the compensatory mitigation standards set 
forth in this section of the policy are expected to achieve the best 
conservation outcomes. The compensatory mitigation standards apply to 
all compensatory mitigation mechanisms (i.e., permittee-responsible 
mitigation, conservation banks, in-lieu fee programs, etc.) and all 
forms of compensatory mitigation (i.e., restoration, preservation, 
establishment, and enhancement) approved by the Service. Specific 
operational details regarding the standards will be in the 
implementation guidance to be issued by the Service. The standards are 
as follows:

5.1. Siting Sustainable Compensatory Mitigation

    Compensatory mitigation will be sited in locations that have been 
identified in landscape-scale conservation plans or mitigation 
strategies as areas that will meet conservation objectives and provide 
the greatest long-term benefit to the listed, proposed, and/or at-risk 
species and other resources of primary conservation concern. The 
Service will rely upon existing conservation plans that are based upon 
the best available scientific information, consider climate-change 
adaptation, and contain specific objectives aimed at the biological 
needs of the affected resources. Where existing conservation plans are 
not available that incorporate all of these elements or are not updated 
with the best available scientific information, Service personnel will 
otherwise incorporate the best available science into mitigation 
decisions and recommendations and continually seek better information 
in areas of greatest uncertainty.

5.2. In-Kind for Species

    Compensatory mitigation must be in-kind for the listed, proposed, 
or at-risk species affected by the proposed action. The same 
requirement does not

[[Page 95339]]

necessarily apply to the habitat type affected, as the best 
conservation outcome for the species may not be an offset of the same 
habitat type or ecological attribute of the habitat impacted by the 
action. Many species use different habitat types at different life 
stages or for different life-history requirements such as feeding, 
breeding, and sheltering. For example, some species are migratory. 
Selecting a habitat type different from that impacted by the action or 
selecting more than one type of habitat for compensatory mitigation may 
best meet the conservation needs of the species.
    Offsetting impacts to designated or proposed critical habitat 
through the use of compensatory mitigation should target the 
maintenance, restoration, or improvement of the recovery support 
function of the affected critical habitat as described in the relevant 
biological or conference opinion, conservation or mitigation plan, 
mitigation instrument, permit, or conference report. Recovery plans, 5-
year reviews, proposed and final critical habitat rules, and the best 
available science on species status, threats, and needs should be 
relied on to inform the selection of habitat types subject to 
compensatory mitigation actions for unavoidable adverse impacts to 
species or critical habitat.
    The use of compensatory mitigation to minimize the impacts of 
incidental take on listed species can be based on habitat or another 
surrogate such as a similarly affected species or ecological conditions 
under circumstances where it is not practicable to express or monitor 
the amount or extent of take in terms of the number of individuals of 
the species, in accordance with 50 CFR 402.14(i)(1)(i). A causal link 
between the surrogate and take of the species must be explained and 
must be scientifically defensible. For example, occupied habitat of a 
listed species has been used as a surrogate to express the amount or 
extent of take of the vernal pool fairy shrimp (Branchinecta lynchi) 
because quantification of take in terms of individuals is not 
practicable, but the surface area of occupied vernal pool habitat is 
easily measured and monitored.

5.3. Reliable and Consistent Metrics

    Metrics that measure ecological functions and/or services at 
compensatory mitigation sites and impact sites must be science-based, 
quantifiable, consistent, repeatable, and related to the conservation 
goals for the species. These metrics may be species- or habitat-based. 
Metrics used to calculate credits should be the same as those used to 
calculate debits for the same species or habitat type. If they are not 
the same, the relationship (conversion) between credits and debits must 
be transparent and scientifically defensible. Metrics must account for 
duration of the impact, temporal loss to the species, management of 
risk associated with compensatory mitigation, and other such measures. 
This does not mean that metrics developed to measure losses and gains 
on the landscape must be precise, as this is rarely possible in 
biological systems, but uncertainty should be noted where it exists and 
metrics must be based on the best scientific data available to gauge 
the adequacy of the compensatory mitigation. Modifying existing metrics 
on which approved conservation banks or other compensatory mitigation 
programs are based and still in use warrants careful consideration and 
must be based on best available science.
    Scientifically defensible metrics also are needed to measure 
biological and ecological performance criteria used to monitor the 
outcome of compensatory mitigation. It may be necessary to adjust 
metrics over time through monitoring and adaptive management processes 
in order to respond to changing conditions and ensure they remain 
effective at assessing the conservation objectives of the compensatory 
mitigation program. However, modifying metrics used to monitor 
performance should not be a substitute for lack of compliance or 
failure to implement adaptive management.
5.4. Judicious Use of Additionality
    Compensatory mitigation must provide benefits beyond those that 
would otherwise have occurred through routine or required practices or 
actions, or obligations required through legal authorities or 
contractual agreements. A compensatory mitigation measure is 
``additional'' when the benefits of the measure improve upon the 
baseline conditions of the impacted resources and their values, 
services, and functions in a manner that is demonstrably new and would 
not have occurred without the compensatory mitigation measure (600 DM 
6.4G). The additional benefits may result from restoration or 
enhancement of habitat; preservation of existing habitat that lacks 
adequate protection; management actions that protect, maintain, or 
create habitat (e.g., regularly scheduled prescribed burns or purchase 
of rights in a split estate); or other activities (e.g., an action that 
reduces threats from disease or predation, or captive breeding and 
reintroduction of individuals or populations). Baseline conditions for 
the habitat relevant to the species must be assessed prior to 
implementing the compensatory mitigation project for comparison to 
conditions after completion of the compensatory mitigation project in 
order to quantify and verify the additional benefits derived from the 
mitigation project.
    Demonstrating additionality on lands already designated for 
conservation purposes can be challenging, particularly when the lands 
under consideration are public lands. In general, credit can only be 
authorized for compensatory mitigation on public lands if additionality 
can be clearly demonstrated and is legally attainable. See section 6.2. 
Eligible Lands for guidance on using public lands for compensatory 
mitigation.
5.5. Timing and Duration
    Compensatory mitigation projects must achieve conservation 
objectives within a reasonable timeframe and for at least the duration 
of the impacts. Ideally, compensatory mitigation should be implemented 
in advance of the action that adversely impacts the species or critical 
habitat. When this is not possible or practicable, temporal losses to 
the affected species must be compensated through some means (e.g., 
increased mitigation ratio that reflects the degree of temporal loss). 
Temporal loss may include indirect effects of the action on the species 
that occur beyond the time period of any direct effects of the action 
(e.g., removal of habitat during a season when individuals of a 
migratory species are absent). Temporal loss to the species as a result 
of both direct and indirect adverse effects must be addressed when 
determining appropriate compensatory mitigation. Losses of habitat that 
require many years to restore may best be offset by a combination of 
restored habitat, preservation of existing high-quality habitat, and 
improved management of existing habitat. The amount of temporal loss, 
the form of compensatory mitigation (i.e., establishment, enhancement, 
restoration, preservation, or some combination of these forms), and the 
time anticipated to establish the compensatory mitigation on the 
landscape should be used to determine the amount of compensatory 
mitigation needed to meet the mitigation goal for the species, critical 
habitat, and/or other resources of concern.
5.6. Ensure Durability
    Compensatory mitigation must be secured by adequate legal, real 
estate, and financial protections that ensure the success of the 
mitigation. Most compensatory mitigation projects are

[[Page 95340]]

permanent, and the viability of the assurances to achieve long-term 
stewardship of a mitigation site must be carefully planned and 
implemented to ensure durability. A compensatory mitigation measure is 
``durable'' when the effectiveness of the measure is sustained for the 
duration of the associated impacts (including direct and indirect 
impacts) of the authorized action (600 DM 6.4H).
5.7. Effective Conservation Outcomes and Accountability
    The Service has authority to conduct direct oversight of all 
compensatory mitigation programs and projects for which we have 
exempted or permitted incidental take under the ESA. A standard 
condition of HCP incidental take permits provides for such oversight. 
Incidental take exemptions provided by statute to Federal agencies and 
applicants through the ESA section 7 process require that mandatory 
terms and conditions included with the take statement must be 
implemented by the Federal agency or its applicant to activate the 
exemption in 7(o)(2) of the Act. Should a mitigation project fail to 
meet its performance criteria and therefore fail to provide the 
expected conservation for the species, the responsible party must 
provide equivalent compensation through other means.
5.8. Encourage Collaboration
    Successful landscape-scale compensatory mitigation depends on the 
engagement of affected communities and stakeholders. Governments, 
communities, organizations, and individuals support what they help to 
develop. The Service will provide opportunities for and encourage 
appropriate stakeholder participation in development of landscape-scale 
compensatory mitigation strategies that affect listed, proposed, and 
at-risk species, and proposed and designated critical habitat through 
appropriate public processes such as those used for programmatic 
habitat conservation plans (HCPs). Programmatic approaches to 
compensatory mitigation programs for at-risk species are also 
encouraged, particularly when led by State agencies, and the Service 
will make every effort to participate in the planning, establishment, 
and operation of such programs as described in our draft Policy 
Regarding Voluntary Prelisting Conservation Actions (79 FR 42525, July 
22, 2014). The Service's regional and field offices will determine or 
assist in determining, as appropriate, the level and methods of public 
participation using transparent processes.
5.9. Maintain Transparency and Predictability
    Consistent implementation of ESA programs that permit or authorize 
incidental take of listed species will provide regulatory 
predictability for everyone. The Service will share appropriate 
information on the availability of compensatory mitigation programs and 
projects with the public through online media or other appropriate 
means. Information regarding conservation banks is available on the 
Regulatory In-lieu fee and Bank Information Tracking System (RIBITS) 
(https://ribits.usace.army.mil). The Service anticipates working with 
the USACE to update RIBITS so that it may be used for our in-lieu fee 
programs. Similar information for habitat credit exchanges and other 
third-party sponsored mitigation projects, or when it is not otherwise 
possible to use RIBITS, must be made publicly accessible.

6. General Considerations

    Specific operational details, in addition to the information 
provided below in this section, will be in implementation guidance 
issued by the Service.
6.1. Preferences
    The appropriate form of compensatory mitigation (i.e., 
preservation, restoration, enhancement, establishment, or a combination 
of some or all of these forms) must be based on the species' needs and 
the nature of the impacts adversely affecting the species. The Service 
has the following general preferences related to compensatory 
mitigation.
6.1.1. Preference for Strategically Sited Compensatory Mitigation
    Preference shall be given to compensatory mitigation projects sited 
within the boundaries of priority conservation areas identified in 
existing landscape-scale conservation plans as described in the 
Service's Mitigation Policy (81 FR 83440, November 21, 2016). Priority 
conservation areas for listed species may be identified in documents 
such as species status assessments, recovery plans, and/or 5-year 
reviews.
6.1.2. Preference for Compensatory Mitigation in Advance of Impacts
    After following the principles and standards outlined in this 
policy and all other considerations being equal, preference will be 
given to compensatory mitigation projects implemented in advance of 
impacts to the species. Mitigation implemented in advance of impacts 
reduces risk and uncertainty. Demonstrating that mitigation is 
successfully implemented in advance of impacts provides ecological and 
regulatory certainty that is rarely matched by a proposal of mitigation 
to be accomplished concurrent with, or subsequent to, the impacts of 
the actions even when that proposal is supplemented with higher 
mitigation ratios. While conservation banking is by definition 
mitigation in advance of impacts, other third-party mitigation 
arrangements and permittee-responsible mitigation may also satisfy this 
preference by implementing compensatory mitigation in advance of 
impacts. In-lieu fee programs can also satisfy this preference through 
a ``jump start'' that achieves and maintains a supply of credits that 
offer mitigation in advance of impacts.
6.1.3. Preference for Consolidated Compensatory Mitigation
    Mitigation mechanisms that consolidate compensatory mitigation on 
the landscape, such as conservation banks and in-lieu fee programs, are 
generally preferred to small, disjunct compensatory mitigation sites 
spread across the landscape. Consolidated mitigation sites generally 
have several advantages over multiple, small, isolated mitigation 
sites. These advantages include:
     Avoidance of a piecemeal approach to conservation efforts 
that often results in small, non-sustainable parcels of habitat 
scattered throughout the landscape;
     Sites that are usually a component of a landscape-level 
strategy for conservation of high-value resources;
     Cost effective compensatory mitigation options for small 
projects, allowing for effective offsetting of the cumulative adverse 
effects that result from numerous, similar, small actions;
     An increase in public-private partnerships that plan in 
advance and a landscape-scale approach to mitigation to provide 
communities with opportunities to conserve highly valued natural 
resources while still allowing for community development and growth;
     Greater capacity for bringing together financial resources 
and scientific expertise not practicable for small conservation 
actions;
     Economies of scale that provide greater resources for 
design and implementation of compensatory mitigation sites and a 
decreased unit cost for mitigation;
     Improved administrative and ecological compliance through 
the use of third-party oversight;

[[Page 95341]]

     Greater regulatory and financial predictability for 
project proponents, greatly reducing the uncertainty that often causes 
project proponents to view compensatory mitigation as a burden; and
     Expedited regulatory compliance processes, particularly 
for small projects, saving all parties time and money.
6.2. Eligible Lands
6.2.1. Lands Eligible for Use as Compensatory Mitigation
    Compensatory mitigation sites may be established by willing parties 
on private, public, or tribal lands that provide the maximum 
conservation benefit for the listed, proposed, and at-risk species and 
other affected resources. Maintaining the same classification of land 
ownership between the impact area and mitigation site may be important 
in preventing a long-term net loss in conservation, in particular a 
reduction in the range of the species. Because most private lands are 
not permanently protected for conservation and are generally the most 
vulnerable to development actions, the use of private lands for 
mitigating impacts to species occurring on any type of land ownership 
is usually acceptable as long as durability can be ensured. Locating 
compensatory mitigation on public lands for impacts to species on 
private lands is also possible, and in some circumstances may best 
achieve the conservation objectives for species, but should be 
carefully considered--see section 6.2.2. Use of Public Land to Mitigate 
Impacts on Private Land for additional guidance.
    Good candidates for compensatory mitigation sites are unprotected 
lands that are high value for conservation and that are acceptable to 
the Service. Designations of high conservation value may include lands 
with existing high-value habitat or habitat that when restored, 
enhanced, established, or properly managed will provide high value to 
the species. In addition to these general considerations, lands that 
may be good candidates for compensatory mitigation sites include:
     Lands previously secured through easements or other means 
but that lack the full complement of protections necessary to conserve 
the species (e.g., buffer lands for a military installation that do not 
include management, or private lands with existing conservation 
easements for which landowners have not received financial compensation 
from public sources or regulatory assurances from the Service.);
     Lands adjacent to undeveloped, protected public lands such 
as National Wildlife Refuges or State Wildlife Management Areas;
     Private lands enrolled in programs that provide financial 
compensation from public sources to landowners in exchange for 
agreements that protect, restore, or create habitat for federally 
listed or at-risk species for a limited period of time, such as the 
Service's Partners for Wildlife Program or some Farm Bill programs 
(e.g., Environmental Quality Incentives Program) if additional 
conservation benefits are provided above and beyond the terms and 
conditions of the agreement or if the agreement/easement has expired; 
and
     Private lands enrolled in programs that provide regulatory 
assurances to the landowner such as SHAs or CCAAs that can be 
transitioned into compensatory mitigation, after all terms and 
conditions of the agreement have been met and the agreement has expired 
or the permit is surrendered in exchange for a mitigation instrument 
(see section 4.2.1. Safe Harbor and Candidate Conservation Agreements 
for additional guidance).
    See section 5.1. Siting Sustainable Compensatory Mitigation for 
other considerations when selecting a site suitable for compensatory 
mitigation.
    Lands that generally do not qualify as compensatory mitigation 
sites include:
     Lands without clear title unless the existing encumbrances 
(e.g., liens, rights-of-way) are compatible with the objectives of the 
mitigation site or can be legally removed or subordinated;
     Split estates (i.e., lands that have separate owners of 
various surface and subsurface rights, usually mineral rights), unless 
a remedy can be found (see below for guidance on split estates);
     Private or public lands already designated for 
conservation purposes, unless the proposed compensatory mitigation 
project would add additional conservation benefit for the species above 
and beyond that attainable under the existing land designation;
     Private lands enrolled in government programs that 
compensate landowners who permanently protect, restore, or create 
habitat for federally listed or at-risk species (e.g., Wetland Reserve 
Program easements administered by the United States Department of 
Agriculture's Natural Resources Conservation Service);
     Inventory and debt restructure properties under the Food 
Security Act of 1985 (16 U.S.C. 3801 et seq.); and
     Lands protected or restored for conservation purposes 
under fee title transfers.
    Additional guidance on limitations involving Federal funding and 
mitigation, including grants, is provided in the Service's Mitigation 
Policy (81 FR 83440, November 21, 2016).
    Lands with split estate ownership and laws and policies governing 
existing rights (e.g., mining laws) may prevent land protection 
instruments (e.g., permanent conservation easements) from providing 
sufficient protection from future development of mineral rights, 
including oil and gas exploration or development. Many potential high-
value conservation properties throughout the United States are split 
estates. The risk of using split estate properties as compensatory 
mitigation should be carefully considered. When legal remedies to 
restore single ownership are not possible or practicable, other 
approaches to managing the risks may be available to bolster durability 
on split estates. A mineral deed acquisition, mineral assessment 
report, or subsurface use agreement are a few of the options for 
managing mineral rights on compensatory mitigation sites that provide 
varying levels of protection (Raffini 2012). Service personnel tasked 
with assessing the viability of split estates as mitigation sites 
should work with the Service's Realty Specialists and the Department of 
the Interior Solicitor to assess risks and possible remedies or other 
approaches.
6.2.2. Use of Public Land To Mitigate Impacts on Private Land
    In general, the Service supports compensatory mitigation on public 
lands that are already designated for the conservation of natural 
resources to offset impacts to the species on private lands only if 
additionality is clearly demonstrated and is legally attainable. 
Additionality is a reasonable expectation that the conservation 
benefits associated with the compensatory mitigation actions would not 
occur in the foreseeable future without those actions. Offsetting 
impacts to private lands by locating compensatory mitigation on public 
lands already designated for conservation purposes generally risks a 
long-term net loss in landscape capacity to sustain species (e.g., 
future reduction in the range of the species) by relying increasingly 
on public lands to serve conservation purposes. However, we recognize 
under certain circumstances this offset arrangement may provide the 
best possible conservation outcome for the species based on best 
available science. When this is the case, the Service will consider 
mitigation on

[[Page 95342]]

public lands to offset impacts to the species on private lands 
appropriate if:
     Compensatory mitigation is an appropriate means of 
achieving the mitigation planning goal for the species;
     Additionality can be clearly demonstrated and quantified, 
and is supplemental to conservation the public agency is foreseeably 
expected to implement absent the mitigation (only conservation benefits 
that provide additionality are counted towards achieving the mitigation 
planning goal);
     Durability of the compensatory mitigation is ensured (see 
section 6.2.3. Ensuring Durability on Public Lands);
     It is consistent with and not otherwise prohibited by all 
relevant statutes, regulations, and policies; and
     Private lands suitable for compensatory mitigation are 
unavailable or are available but cannot provide an equivalent or 
greater contribution towards offsetting the impacts to meet the 
mitigation planning goal for the species.
    When the public lands under consideration for use as compensatory 
mitigation for impacts on private lands are National Wildlife Refuge 
(NWR) System lands, the Service's Final Policy on the NWR System and 
Compensatory Mitigation Under the Section 10/404 Program (USFWS 1999) 
states that the Regional Director must recommend the mitigation to the 
Service Director for approval. Additional considerations may apply to 
NWR System lands for habitat losses authorized through the section 10/
404 program (i.e., Rivers and Harbors Act/Clean Water Act).
6.2.3. Ensuring Durability on Public Lands
    Ensuring the durability of compensatory mitigation on public lands 
presents particular challenges, especially regarding site protection 
assurances, long-term management, and funding assurances for long-term 
stewardship. Mechanisms available for ensuring durability of land 
protection for compensatory mitigation on public lands vary from agency 
to agency, are subject to site-specific limitations, and are likely to 
be politically and administratively challenging to secure. Some 
mechanisms may require a legislative act while other mechanisms can be 
achieved administratively at various levels of an agency's 
organization.
    To ensure the durability of long-term management on public lands, 
there should be a high degree of confidence that incompatible uses are 
removed or precluded to ensure that uses of the public lands do not 
conflict with or compromise the conservation of the species for which 
the compensatory mitigation project was established.
6.2.4. Transfer of Private Mitigation Lands to Public Agencies
    Private mitigation lands may be transferred to public agencies with 
a conservation mission if allowed by applicable laws, regulations, and 
policies.
6.2.5. Compensatory Mitigation on Tribal Lands
    Tribal lands are generally eligible as compensatory mitigation 
sites if they meet the standards and other requirements set forth in 
this policy. Ensuring durability, particularly site protection, is 
usually a sensitive issue for a tribal nation because a conservation 
easement entrusts the land to another entity (Terzi 2012), but 
acceptable entities may be available to hold easements. Additional 
guidance regarding mitigation and tribes is included in the Service's 
Mitigation Policy (81 FR 83440, November 21, 2016).

6.3. Service Areas

    A service area is the geographic area assigned to a compensatory 
mitigation site within which credits for a specific resource (e.g., a 
species) can be utilized. The impacts for which mitigation is sought 
must be located within the designated service area for the species, 
unless otherwise approved by the Service. If a proposed action is 
located within the identified service area of a specific conservation 
bank, in-lieu fee program, or other third-party mitigation program or 
site, then the proponent of that action may offset unavoidable impacts, 
with the Service's approval, through transfer of the appropriate type 
and number of credits from that mitigation program or site. Use of the 
credits outside of service areas is subject to approval by the Service. 
Service areas that apply to all mitigation mechanisms may be designated 
by the Service's regional or field offices, usually through issuance of 
species-specific mitigation guidance.
    The service area is an important component for a potential 
mitigation sponsor who will need to evaluate the market for credits 
prior to committing to a mitigation project. The mitigation sponsor has 
the responsibility to determine if a proposed mitigation project or 
program will be financially feasible and if they will move forward with 
the action.

6.4. Crediting and Debiting

    A credit is a defined unit representing the accrual or attainment 
of ecological functions and/or services at a mitigation site. Credits 
are often expressed as a measure of surface area (e.g., an acre or 
hectare), linear distance of constant width (e.g., stream miles), 
number of individuals or mating pairs of a particular species, habitat 
function (e.g., habitat suitability index), or other appropriate metric 
that can be consistently quantified.
    Metrics developed to support credits by measuring an increase in 
ecological functions and services at compensatory mitigation sites and 
those developed to measure an expected loss or debit in ecological 
functions and services at impact sites must be science-based, 
quantifiable, consistent, repeatable, and related to the conservation 
goals for the species. In general, the method of calculating credits at 
a mitigation site should be the same as calculating debits at project 
impact sites. If use of a common ``currency'' between credits and 
debits is not practicable, the conversion between crediting and 
debiting metrics must be transparent.
    Credits are available for use as mitigation once they are verified 
and released by the Service. Credits are released in proportion to 
administrative and ecological milestones. Credits are considered 
retired if they are no longer available for use as mitigation, 
including credits that have been transferred to fulfill mitigation 
obligations. Credits may also be voluntarily retired, without being 
used for mitigation, which may help achieve no net loss or net 
conservation benefit goals. Credits are not to be traded among 
developers or anyone else and cannot be re-sold. Once a credit has been 
transferred as mitigation for a particular action, it may not be used 
again.
    A mitigation site may contain habitat that is suitable for multiple 
listed species or other resources in the same spatial area. When this 
occurs, it is important to establish how the credits will be stacked or 
bundled and if they can be unstacked and transferred separately. See 
section 8.3. Credit Stacking and Bundling for guidance.
    Compensatory mitigation programs that use credits are voluntary, 
and permittees are never required to purchase credits from these 
compensatory mitigation sources. Pricing of credits is solely at the 
discretion of the mitigation provider.

6.5. Timelines

    The Service does not have mandated timelines for review of 
conservation banks, in-lieu fee programs, or other compensatory 
mitigation projects that are not part of a consultation or permit 
decision. However, this does not mean

[[Page 95343]]

that compensatory mitigation programs and projects are not a priority 
for the Service. Establishment of programmatic compensatory mitigation 
options for project proponents will provide efficiencies, particularly 
when developed in coordination with programmatic consultations and HCPs 
for large landscapes. These efficiencies include reducing the Service's 
workloads associated with ESA sections 7 and 10, expediting incidental 
take authorization for project proponents, and achieving better 
conservation outcomes for listed and other at-risk species.

6.6. Managing Risk and Uncertainty

    Compensatory mitigation can be a valuable conservation tool for 
offsetting unavoidable adverse impacts to listed and at-risk species if 
the risk can be sufficiently managed. Predictions about the 
effectiveness of compensatory mitigation measures have varying degrees 
of uncertainty. Compensatory mitigation accounting systems (e.g., 
debiting and crediting methodologies) should consider risk and adjust 
metrics and mitigation ratios to account for uncertainty. An exact 
accounting of the functions and services lost at the impact sites and 
gained at the mitigation sites is rarely possible due to the 
variability and uncertainty inherent in biological systems and 
ecological processes. To buffer risk and reduce uncertainty, it is 
often helpful to design compensatory mitigation programs and projects 
to achieve measures beyond no net loss to attain sufficient 
conservation benefits for the species. Designing conservation plans 
with mitigation that is expected to achieve more than no net loss in 
species conservation generally increases regulatory predictability and 
can result in shorter project reviews and facilitated permitting.

7. Compensatory Mitigation Mechanisms

    Compensatory mitigation mechanisms can be divided broadly into 
habitat-based mechanisms and other non-habitat-based mitigation 
programs or projects. Whatever mechanism(s) are selected, compensatory 
mitigation is expected to provide either equivalent or additional 
conservation for the species to that lost as a result of the action. 
Specific operational details regarding compensatory mitigation 
mechanisms will be in the implementation guidance to be issued by the 
Service.

7.1. Habitat-Based Compensatory Mitigation Mechanisms

    Compensatory mitigation mechanisms based on habitat acquisition and 
protection may consist of restoration of damaged or degraded habitat, 
enhancement of existing habitat, establishment of new habitat, 
preservation of existing habitat not already protected, or some 
combination of these that offsets the impacts of the action and results 
in or contributes to sustainable, functioning ecosystems for the 
species. Preservation of existing habitat often includes a change in 
land management that renders the site suitable for the species or 
provides additional ecological function or services for the species. 
Preservation includes site protection and is a valid mechanism for 
achieving compensatory mitigation that, at a minimum, reduces threats 
to the species. Existing habitat that is not protected and managed for 
the long term is vulnerable to loss and cannot count toward recovery of 
listed species.
    The five habitat-based mitigation mechanisms described below and 
compared in Table 1 differ by: (1) The party responsible for the 
success of the mitigation site (the permittee or a third party); (2) 
whether the mitigation site is within or adjacent to the action area 
(on-site) or elsewhere (off-site); and (3) whether credits are 
generated at the mitigation site for use by more than one action. 
Habitat-based compensatory mitigation will be held to equivalent 
standards (the standards set forth in this policy) regardless of the 
mitigation mechanism(s) proposed. Habitat-based compensatory mitigation 
programs developed to credit conservation actions that benefit unlisted 
species should meet all compensatory mitigation standards set forth in 
this policy if they are intended to be used as compensatory mitigation 
for adverse impacts of actions undertaken after listing.
7.1.1. Permittee-Responsible Compensatory Mitigation
    Permittee-responsible compensatory mitigation is a conserved and 
managed mitigation site that provides ecological functions and services 
as part of the conservation measures associated with a permittee's 
proposed action. Permittee-responsible mitigation sites are usually 
permanent, as most proposed actions with a need for compensatory 
mitigation are anticipated to result in permanent impacts to the 
species. The permittee retains responsibility for ensuring the required 
compensatory mitigation is completed and successful. This includes 
long-term management and maintenance when the mitigation is intended to 
be permanent. Permittee-responsible compensatory mitigation may be on-
site or off-site, and each permittee-responsible mitigation site is 
linked to the specific action that required the mitigation. Permittee-
responsible mitigation approved for a specific action is not 
transferable to other actions and cannot be used for other mitigation 
needs.
7.1.2. Conservation Bank Program
    A conservation bank is a site or suite of sites that is conserved 
and managed in perpetuity and provides ecological functions and 
services expressed as credits for specified species that are later used 
to compensate for adverse impacts occurring elsewhere to the same 
species. Bank sponsors may be public or private entities. Ensuring the 
required compensatory mitigation measures for a permitted action are 
completed and successful is the responsibility of the bank sponsor. The 
responsibility for success of the mitigation is transferred to the bank 
sponsor through the transfer (usually a purchase by the permittee) of 
credits. Conservation banks provide mitigation in advance of impacts.
7.1.3. In-Lieu Fee Program
    An in-lieu fee site is a conserved and managed compensatory 
mitigation site established as part of an in-lieu fee program that 
provides ecological functions and services expressed as credits for 
specified species and used to compensate for adverse impacts occurring 
elsewhere to the same species. In-lieu fee sites are usually permanent 
as most proposed actions with a need for compensatory mitigation are 
anticipated to result in permanent impacts to the species. In-lieu fee 
programs may be sponsored by a government agency or an environmental, 
conservation-based, not-for-profit organization with a mission that is 
consistent with species or habitat conservation. The in-lieu fee 
sponsor collects fees from permittees that have been approved by the 
Service to use the in-lieu fee program, instead of providing permittee-
responsible compensatory mitigation. An in-lieu fee site that meets the 
mitigation requirements for the impacts of permittees' actions will be 
established when the in-lieu fee program has collected sufficient 
funds. All responsibility for ensuring the required compensatory 
mitigation measures are completed and successful, including long-term 
management and maintenance, is transferred from the permittee to the 
in-lieu fee program sponsor through the transfer (usually purchase) of 
credits. In-lieu fee programs generally do not provide mitigation in 
advance of impacts.
    In-lieu fee programs can also be established to fund non-habitat-
based compensatory mitigation measures. See

[[Page 95344]]

section 7.3 Other Compensatory Mitigation Programs or Projects for 
guidance on these types of programs.
7.1.4. Habitat Credit Exchange
    Habitat credit exchanges are relatively new and warrant additional 
care and consideration when being considered as a mitigation mechanism. 
A habitat credit exchange is an environmental market that operates as a 
clearinghouse in which an exchange administrator, operating as a 
mitigation sponsor, manages credit transactions between compensatory 
mitigation providers and project permittees. This is in contrast to the 
direct transactions between compensatory mitigation providers and 
permittees that generally occur through conservation banking and in-
lieu fee programs. Exchanges provide ecological functions and services 
expressed as credits that are conserved and managed for specified 
species and are used to compensate for adverse impacts occurring 
elsewhere to the same species. Exchanges may be designed to provide 
credits for permanent compensatory mitigation sites, short-term 
compensatory mitigation sites, or both types of sites. Habitat credit 
exchanges may operate at a local or larger landscape scale, may consist 
of one or more mitigation sites, and may obtain credits from 
conservation banks or in-lieu fee programs. Exchange administrators may 
be public or private entities. Exchanges developed for federally listed 
species will require Service approval as with all other mitigation 
mechanisms described in this policy.

    Table 1--Comparison of Habitat-Based Compensatory Mitigation Sites Established Under Different Mechanisms
----------------------------------------------------------------------------------------------------------------
                                                                                              Responsibility
        Mitigation mechanism             Responsible party         Credits generated           transferable
----------------------------------------------------------------------------------------------------------------
Permittee-responsible Mitigation      Permittee..............  No......................  No.
 Site.
Conservation Bank...................  Bank Sponsor...........  Yes.....................  Yes.
In-lieu Fee Program Site............  In-lieu Fee Sponsor....  Yes.....................  Yes.
Habitat Credit Exchange Site........  Exchange Administrator,  Yes.....................  Yes.
                                       Mitigation Sponsor, or
                                       other identified
                                       responsible entity.
----------------------------------------------------------------------------------------------------------------

7.2. Short-Term Compensatory Mitigation

    The concept of short-term compensatory mitigation has merit if it 
serves the conservation goals of the species. Short-term compensatory 
mitigation may be appropriate in some situations to offset impacts that 
can be completely rectified by repairing, rehabilitating, or restoring 
the affected environment within a short and predictable timeframe. 
Under this policy, short-term compensatory mitigation includes 
rectifying the damage at the impact site and providing short-term 
compensation to offset the temporal loss caused by the action to 
achieve a conservation outcome that results in, at a minimum, no net 
loss to the species.
    A short-term impact is defined in this policy as an action that 
meets the following criteria: (1) The impact is limited to harassment 
or other forms of nonlethal take; (2) the impact can be completely 
rectified through natural or active processes, and the site will 
function long term within the landscape at the same or greater level 
than before the impact; (3) restoration of the impact site can occur 
within a short and predictable timeframe based on current science and 
the knowledge of the species; and (4) all temporal loss to the species 
by the impact can be estimated and compensated. Opportunities for 
short-term compensation are likely to be very limited and may not apply 
to most species.
    Inherent in applying short-term compensatory mitigation is the 
recovery of the affected species' populations to pre-disturbance levels 
and any additional increase in population levels that was anticipated 
to occur if the action had not taken place (i.e., adjusted for temporal 
loss). Determining the amount and duration of compensatory mitigation 
needed requires substantial knowledge of the biology of the species 
(e.g., abundance, distribution, fecundity). Actions that meet the 
criteria for short-term impacts are not limited to short-term 
compensatory mitigation as a mitigation option. The Service prefers 
mitigation mechanisms that protect conservation values in perpetuity. 
Permanent compensatory mitigation either at the same or a reduced 
mitigation ratio (determined by the Service) is usually an alternative. 
Conservation banks or in-lieu fee programs with available credits that 
meet the compensatory mitigation needs for actions with short-term 
impacts are usually a good alternative to short-term compensatory 
mitigation.

7.3. Other Compensatory Mitigation Programs or Projects

    Compensatory mitigation is based on the concept of replacing or 
providing substitute resources or environments for the impacted 
resource (40 CFR 1508.20). However, mechanisms or conservation measures 
that do not exactly meet this definition, but that meet the 
conservation objectives for the specified species and are expected to 
compensate for adverse effects to species or their habitats, may be 
suitable as compensatory mitigation. These types of compensatory 
mitigation measures are acceptable if they are closely tied to recovery 
actions identified in species status assessments, recovery plans, 5-
year reviews, or best available science on the threats and needs of the 
species. Compensatory mitigation of this type is often funded through 
an in-lieu fee program. Examples of potentially suitable compensatory 
measures include, but are not limited to:
    a. Transfer and retirement of timber, water, mineral, or other 
severed rights to an already existing conservation site, thereby 
significantly reducing or eliminating the risk of future development on 
the site that would be incompatible with conservation of the species;
    b. Restricting human use of waterways or other public spaces 
through legal means to allow for increased or exclusive use by the 
species;
    c. Controlled propagation, population augmentation, and 
reintroduction of individuals of the species to offset losses from an 
action;
    d. Captive rearing and release of individuals of the species to 
offset losses from an action;
    e. Administering vaccination programs vital to species survival and 
recovery;
    f. Gating of caves that serve as habitat for the species;
    g. Construction of wildlife overpasses or underpasses to protect 
migratory passages for the species; and/or
    h. Programs that reduce the exposure of the species to contaminants 
in the

[[Page 95345]]

environment that are known to cause injury or mortality.
    In rare circumstances, research or education that can be linked 
directly to the relative threats to the species and provide a 
quantifiable benefit to the species may be included as part of a 
mitigation package. Although research can assist in identifying 
substitute resources, it does not replace impacted resources or 
adequately compensate for adverse effects to species or habitat. See 
the Service's Mitigation Policy (81 FR 83440, November 21, 2016) for 
additional guidance on appropriate uses of research or education as 
mitigation.

8. Criteria for Use of Third-Party Mitigation

    Specific operational details regarding the use of third-party 
mitigation will be in the implementation guidance to be issued by the 
Service.

8.1. Project Applicability

    Activities regulated under sections 7 or 10 of the ESA may be 
eligible to use third-party sponsored mitigation, if the adverse 
impacts to the species from the particular project can be offset by 
transfer of the appropriate type and number of credits provided by the 
third-party sponsored mitigation program. The impacts for which third-
party sponsored mitigation is sought must be located within the service 
area for the species provided by the third-party sponsored mitigation 
program unless otherwise approved by the Service. In no case may the 
same credit(s) be used to compensate for more than one action. However, 
the same credit(s) may be used to compensate for a single action that 
requires authorization under more than one regulatory authority (e.g., 
a vernal pool restoration credit that provides mitigation for a listed 
species under the ESA and wetlands under section 404 of the CWA).
    Only credits that have been verified by the Service and released 
are considered available. Only available credits can be used to 
mitigate actions.

8.2. Transfer of Responsibility

    The mitigation sponsor assumes responsibility for success of the 
mitigation through the transfer (usually a purchase by the permittee) 
of credits or other quantified amount of compensatory mitigation.
    The Service's role is regulatory. Credit transfers are subject to 
approval by the Service, as to their conservation value and appropriate 
application for use related to any authorization or permit issued under 
the ESA. Market and legal risks arising from the purchase and use of 
mitigation credits are borne solely by the parties to the sale of such 
credits.

8.3. Credit Stacking and Bundling

    The Service recognizes the inherent efficiencies in leveraging 
multiple conservation efforts on the landscape and encourages these 
coordinated efforts. However, compensatory mitigation and other 
conservation actions that occur on the same mitigation site must be 
accounted for separately, and all aspects of the different actions must 
be managed and tracked in a transparent manner. Stacking mitigation 
credits within a mitigation site (i.e., more than one credit type on 
spatially overlapping areas) is allowed, but the stacked credits cannot 
be used to provide mitigation for more than one permitted impact action 
even if all the resources included in the stacked credit are not needed 
for that action. To do so would result in a net loss of resources in 
most cases because using a species credit separately from the functions 
and services that accompany its habitat, such as carbon sequestration 
or pollination services, would result in double counting (i.e., 
``double dipping''). Double counting is selling or using a unit of the 
same ecosystem function or service on the ground more than once. This 
can occur through an accounting error in which the credit is sold 
twice, and it also can occur when stacked credits are unstacked and one 
or more functions or services are sold separately. For example, a 
credit representing an acre of habitat is sold once as a species 
habitat credit for a permitted action and again as a carbon credit for 
a different action in a different location. The loss of species habitat 
at the first impact site included all functions and services associated 
with that habitat including carbon sequestration, so selling that same 
unit of compensatory mitigation again for carbon sequestration results 
in no carbon offset for the loss of carbon sequestration at the second 
impact location. Using a stacked credit separately to reflect its 
various values is an ecologically challenging accounting exercise.
    Compensatory mitigation projects may be designed to holistically 
address requirements under multiple programs and authorities for the 
same action and may use bundled credits to accomplish this goal. For 
example, a stream credit may satisfy requirements for an U.S. Army 
Corps of Engineers section 404 CWA permit and issuance of incidental 
take authority under the ESA for a listed mussel species occurring in 
that stream, or a county-wide HCP may establish an in-lieu fee program 
for which a single fee is collected from project applicants for a 
permit which covers multiple mitigation obligations under Federal, 
State, and local authorities. In both these examples, the bundled 
credit is used as a single commodity (i.e., it is not unbundled or 
unstacked) and is only used once.

8.4. Use of Credits for Mitigation Under Authorities Other Than the ESA

    Compensatory mitigation projects established for use under one 
Service program (e.g., Ecological Services) may also be used to satisfy 
the environmental requirements of other Service programs (e.g., 
Migratory Birds or Refuges) or other Federal, State, or local agency 
programs consistent with the laws and requirements of each respective 
program. However, the same credits may not be used for more than one 
authorized or permitted action (i.e., no double counting of mitigation 
credits).

9. Compliance and Tracking

    A tracking system is essential in ensuring compliance with the 
mitigation instruments used to implement compensatory mitigation 
programs described in this policy. Tracking systems also facilitate 
consistency in the implementation of compensatory mitigation programs 
and projects. It is vital that the Service track compliance directly 
for permittee-responsible mitigation and, at a minimum, through third 
parties responsible for operating compensatory mitigation programs or 
projects such as in-lieu fee programs and habitat exchanges. 
Transactions (credit withdrawals) at a Service authorized mitigation 
program or project that are not related to ESA compliance and are not 
approved by the Service must be tracked in the same tracking system. 
The Service is not liable for any event or transaction that eludes 
detection through the Service's tracking function. Specific operational 
details regarding compliance and tracking will be in the implementation 
guidance to be issued by the Service.

References Cited

Clement, J.P. et al. 2014. A strategy for improving the mitigation 
policies and practices of the Department of the Interior. A report 
to the Secretary of the Interior from the Energy and Climate Change 
Task Force, Washington, DC. 25 pp.
Fox, J. and A. Nino-Murcia. 2005. Status of Species Conservation 
Banking in the United States. Conservation Biology 19:996-1007.
Presidential Memorandum (PM). 2015. ``Mitigating Impacts on Natural

[[Page 95346]]

Resources for Development and Encouraging Related Private 
Investment.'' Issued November 3, 2015.
Raffini, E. 2012. Mineral Rights and Banking. National Environmental 
Newsletter 34:9-10. Environmental Law Institute, Washington, DC.
Terzi, G. 2012. The Lummi Nation Wetland and Habitat Bank--Restoring 
a Piece of History. National Wetlands Newsletter 34:12-13. 
Environmental Law Institute, Washington, DC.
U.S. Fish and Wildlife Service. 1999. Final Policy on the National 
Wildlife Refuge System and Compensatory Mitigation Under the Section 
10/404 Program. September 10, 1999. Federal Register 64:49229-49234.
U.S. Fish and Wildlife Service. 2003. Guidance on the Establishment, 
Use, and Operation of Conservation Banks. May 2, 2003. U.S. 
Department of the Interior Fish and Wildlife Service. 18 pp.
U.S. Fish and Wildlife Service. 2008. Guidance on Recovery Crediting 
for the Conservation of Threatened and Endangered Species. July 
2008. U.S. Department of the Interior Fish and Wildlife Service.
U.S. Fish and Wildlife Service. 2013. Guidelines for the 
Establishment, Management, and Operations of Golden-cheeked Warbler 
and Black-capped Vireo Mitigation Lands. July 2013. U.S. Department 
of the Interior Fish and Wildlife Service Southwest Region.
U.S. Fish and Wildlife Service. 2016. U.S. Fish and Wildlife Service 
Mitigation Policy. November 21, 2016. U.S. Department of the 
Interior Fish and Wildlife Service.
Williams, B.K., R.C. Szaro, and C.D. Shapiro. 2009. Adaptive 
Management: The U.S. Department of the Interior Technical Guide. 
Adaptive Management Working Group, U.S. Department of the Interior, 
Washington, DC.

Appendix A: List of Acronyms and Abbreviations Used in This Policy

CCAA--Candidate conservation agreement with assurances
CEQ--Council on Environmental Quality
CFR--Code of Federal Regulations
CWA--Clean Water Act
EPA--Environmental Protection Agency
ESA--Endangered Species Act
FWCA--Fish and Wildlife Coordination Act
HCP--Habitat conservation plan
MMPA--Marine Mammal Protection Act
NEPA--National Environmental Policy Act
NWR--National Wildlife Refuge
RPA--Reasonable and prudent alternative
RPM--Reasonable and prudent measure
RIBITS--Regulatory In-lieu fee and Bank Information Tracking System
SHA--Safe harbor agreement
USACE--United States Army Corps of Engineers
USFWS--United States Fish and Wildlife Service

Appendix B: Glossary of Terms Related to Compensatory Mitigation

    Definitions in this section apply to the implementation of the 
U.S. Fish and Wildlife Service (Service) Endangered Species Act 
Compensatory Mitigation Policy and were developed to provide clarity 
and consistency. Some definitions are defined in Service authorities 
such as the Endangered Species Act or the National Environmental 
Policy Act, or in regulations or policies existing at the time this 
policy was issued. Other definitions have been developed based on 
compensatory mitigation practices. Definitions in the glossary do 
not substitute for statutory or regulatory definitions in the 
exercise of those authorities.
    Action--an activity or program implemented, authorized, or 
funded, in whole or in part, by Federal agencies; or a non-Federal 
activity or program for which one or more of the Service's 
authorities apply to make mitigation recommendations, specify 
mitigation requirements, or provide technical assistance for 
mitigation planning (81 FR 83440; November 21, 2016).
    Action area--all areas to be affected directly or indirectly by 
the Federal action and not merely the immediate area involved in the 
action (50 CFR 402.02).
    Adaptive management--a systematic approach for improving 
resource management by learning from management outcomes. An 
adaptive approach involves exploring alternative ways to meet 
management objectives, predicting the outcomes of alternatives based 
on the current state of knowledge, implementing one or more of these 
alternatives, monitoring to learn about the impacts of management 
actions, and then using the results to update knowledge and adjust 
management actions. Adaptive management focuses on learning and 
adapting, through partnerships of managers, scientists, and other 
stakeholders who learn together how to create and maintain 
sustainable resource systems (Williams et al. 2009). As applied to 
compensatory mitigation, it is a management strategy that 
anticipates likely challenges associated with compensatory 
mitigation projects and provides for the implementation of 
activities to address those challenges, as well as unforeseen 
changes to those projects. It requires consideration of the risk, 
uncertainty, and dynamic nature of compensatory mitigation projects 
and guides modification of those projects to achieve stated 
biological goals. It includes the selection of appropriate measures 
that will ensure that the resource functions and services are 
provided and involves analysis of monitoring results to identify 
potential problems of a compensatory mitigation project and the 
identification and implementation of measures to rectify those 
problems (modified from 33 CFR 332.2).
    Additionality--conservation benefits of a compensatory 
mitigation measure that improve upon the baseline conditions of the 
impacted resources and their values, services, and functions in a 
manner that is demonstrably new and would not have occurred without 
the compensatory mitigation measure (600 DM 6.4G).
    Additive impacts, additive effects--the combined effects of past 
actions on a species, other resource, or community; impacts of an 
action may be relatively insignificant on their own, but when 
considered with the impacts from other actions as they accumulate 
over time collectively lead to significant overall loss or 
degradation of resources. See also ``cumulative effects.''
    Applicant--any person who requires formal approval or 
authorization from a Federal agency as a prerequisite to conducting 
an action (50 CFR 402.02); ``person'' means an individual, 
corporation, partnership, trust, association, or any other private 
entity; or any officer, employee, agent, department, or 
instrumentality of the Federal Government, of any State, 
municipality, or political subdivision of a State, or of any foreign 
government; any State, municipality, or political subdivision of a 
State; or any other entity subject to the jurisdiction of the United 
States (16 U.S.C. 1532(13)).
    At-risk species--candidate species and other unlisted species 
that are declining and are at risk of becoming a candidate for 
listing under the Endangered Species Act. This may include, but is 
not limited to, State listed species, species identified by States 
as species of greatest conservation need, or species with State 
heritage ranks of G1 or G2.
    Avoidance--avoiding the impact altogether by not taking a 
certain action or parts of an action (40 CFR 1508.20).
    Bank Sponsor--any public or private entity responsible for 
establishing and, in most circumstances, operating a conservation 
bank. Bank sponsors are most often private individuals, companies, 
or Limited Liability Corporations, but they may also be 
nongovernmental organizations, Tribes, or government agencies. See 
also ``mitigation sponsor.''
    Baseline--the pre-existing condition of a defined area of 
habitat or a species population that can be quantified by an 
appropriate metric to determine level of functions and/or services 
and re-measured at a later time to determine if the same area of 
habitat or species population has increased, decreased, or 
maintained the same level of functions and/or services.
    Candidate conservation agreement with assurances (CCAA)--a 
formal agreement between the Service or the National Marine 
Fisheries Service and one or more non-Federal parties who 
voluntarily agree to manage their lands or waters to remove threats 
to candidate or proposed species and in exchange receive assurances 
that their conservation efforts will not result in future regulatory 
obligations in excess of those they agreed to at the time they 
entered into the agreement. The management activities included in 
the agreement must significantly contribute to elimination of the 
need to list the target species when considered in conjunction with 
other landowners conducting similar management activities within the 
range of the species (USFWS CCAA Policy).
    Candidate species (candidate)--any species being considered by 
the Secretary for listing as an endangered or threatened species, 
but not yet the subject of a proposed rule (50 CFR 424.02); a 
species for which the Service or the National Marine Fisheries 
Service has on file sufficient information on biological 
vulnerability and threats to support a proposal to list as 
endangered or

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threatened under the Endangered Species Act.
    Compensatory mitigation (compensation)--compensation for 
remaining unavoidable impacts after all appropriate and practicable 
avoidance and minimization measures have been applied, by replacing 
or providing substitute resources or environments (see 40 CFR 
1508.20) through the restoration, establishment, enhancement, or 
preservation of resources and their values, services, and functions 
(600 DM 6.4C).
    Compensatory mitigation project--compensatory mitigation 
implemented by the action agency, a permittee, or a mitigation 
sponsor. Compensatory mitigation projects include permittee-
responsible mitigation, conservation banks, in lieu fee programs and 
sites, habitat credit exchanges, and other third-party compensatory 
mitigation projects.
    Conservation, conserve, conserving--to use and the use of all 
methods and procedures which are necessary to bring any endangered 
or threatened species to the point at which the measures provided 
pursuant to the Endangered Species Act are no longer necessary (16 
U.S.C. 1532(3)).
    Conservation bank--a site, or suite of sites, that is conserved 
and managed in perpetuity and provides ecological functions and 
services expressed as credits for specified species that are later 
used to compensate for impacts occurring elsewhere to the same 
species.
    Conservation easement--a recorded legal document established to 
conserve biological resources for a specified duration, usually in 
perpetuity, on a identified conservation property and which 
restricts certain activities and requires certain habitat management 
obligations for the conservation property.
    Conservation measures (conservation actions)--measures pledged 
in the project description that the Federal agency or applicant will 
implement to minimize, rectify, reduce, and/or compensate for the 
adverse impacts of the development project on the species. 
Conservation measures designed to compensate for unavoidable impacts 
may include the restoration, enhancement, establishment, and/or 
preservation of species habitat or other measures conducted for the 
purpose of offsetting adverse impacts to the species. Upon issuance 
of a permit, license or other such authorization associated with the 
proposed project, implementation of that project requires 
implementation of the conservation measures as well as any other 
terms and conditions of the permit.
    Conservation objective--a measurable expression of a desired 
outcome for a species or its habitat resources. Population 
objectives are expressed in terms of abundance, trend, vital rates, 
or other measurable indices of population status. Habitat objectives 
are expressed in terms of the quantity, quality, and spatial 
distribution of habitats required to attain population objectives, 
as informed by knowledge and assumptions about factors influencing 
the ability of the landscape to sustain the species (81 FR 83440; 
November 21, 2016).
    Conservation plan (species conservation plan)--a plan developed 
by Federal, State, and/or local government agencies, Tribes, or 
appropriate nongovernmental organizations, in consultation with 
relevant stakeholders, for the specific goal of conserving one or 
more listed or at-risk species. A conservation plan is developed 
using a landscape-scale approach and addresses the status of, needs 
of, and threats to the species, and usually includes recommended 
conservation measures for the conservation/recovery of the species. 
Examples of species conservation plans include species conservation 
frameworks, rangewide conservation plans, and conservation plans 
developed as part of a large landscape habitat conservation plan.
    Covered species--species specifically included in a conservation 
bank, habitat conservation plan, safe harbor agreement, candidate 
conservation agreement with assurances, rangewide conservation plan, 
or other such conservation plan for which a commitment is made to 
achieve specific conservation measures for the species.
    Credit (species credit, habitat credit)--a defined unit 
representing the accrual or attainment of ecological functions and/
or services for a species at a mitigation site or within a 
mitigation program.
    Credit bundling--allowing a single unit of a mitigation site to 
provide compensation for two or more spatially overlapping ecosystem 
functions or services that are grouped together into a single credit 
type and used as a single commodity to compensate for a single 
permitted action. A bundled credit may be used to compensate for all 
or a subset of the functions or services included in the credit type 
but may only be used once, even if all functions and services 
represented in the credit type were not required for the permitted 
action. See also ``credit stacking.''
    Credit reserve account--credits set aside in reserve to offset 
force majeure or other unforeseen events as agreed to by the 
Service, allowing a mitigation program to continue uninterrupted.
    Credit stacking--allowing a single unit of a mitigation site to 
provide two or more credit types representing spatially overlapping 
ecosystem functions or services which can be unstacked and used as 
separate commodities to compensate for different permitted actions. 
Credit stacking can result in double counting (i.e., a net loss of 
resources on the landscape) if the same functions or services are 
not also accounted for separately at all impact sites. See also 
``credit bundling'' and ``double-counting.''
    Credit transfer--the use, sale, or conveyance of credits by a 
bank sponsor or mitigation provider to a permittee or other entity 
for the purposes of offsetting impacts of an action.
    Critical habitat--specific areas within the geographical area 
occupied by the species at the time it is listed as endangered or 
threatened under the Endangered Species Act, on which are found 
those physical or biological features essential to the conservation 
of the species and which may require special management 
considerations or protection; and specific areas outside the 
geographical area occupied by the species at the time it is listed, 
which are determined by the Secretary of the Department of the 
Interior to be areas essential for the conservation of the species 
(16 U.S.C. 1532(5)(A)).
    Cumulative effects--those effects of future State or private 
activities, not involving Federal activities, that are reasonably 
certain to occur within the action area of the Federal action 
subject to consultation under the Endangered Species Act (50 CFR 
402.14(g)(3)). Under the National Environmental Policy Act, 
cumulative effects are defined as the impact on the environment 
which results from the incremental impact of the action when added 
to other past, present, and reasonably foreseeable future actions 
regardless of what agency (Federal or non-Federal) or person 
undertakes such other actions (40 CFR 1508.7).
    Debit--a defined unit representing the loss of ecological 
functions and/or services for a species at an impact site. Debits 
should be expressed using the same metrics used to value credits at 
mitigation sites.
    Direct effects--those effects to the species or other resource 
that are caused by the action and occur at the same time and place 
(81 FR 83440; November 21, 2016).
    Double-counting (double-dipping)--using a credit, however 
defined, representing the same unit of ecosystem function or service 
on a mitigation site more than once. This is not allowed.
    Durability--the condition or state in which the measurable 
environment benefits of the compensatory mitigation project or 
measure are sustained, at a minimum, for the duration of the 
associated impacts (including direct and indirect impacts) of the 
authorized action. To be durable, mitigation measures effectively 
compensate for remaining unavoidable impacts that warrant 
compensatory mitigation; use long-term administrative and legal 
provisions to prevent actions that are incompatible with the 
measure; and employ financial instruments to ensure the availability 
of sufficient funding for the measure's long-term monitoring, site 
protection, and management (600 DM 6.4G).
    Effects (effects of the action)--changes in the environmental 
conditions caused by an action that are relevant to the species or 
other resources (81 FR 83440; November 21, 2016), including the 
direct, indirect, and cumulative effects of the action on the 
species and other activities that are interrelated to, or 
interdependent with, that action as defined at 50 CFR 402.02. See 
also ``cumulative effects.''
    Endangered species--any species which is in danger of extinction 
throughout all or a significant portion of its range (16 U.S.C. 
1532(6)).
    Endowment--as used in this policy, funds that are conveyed 
solely for the long-term stewardship of a mitigation property and 
are permanently restricted to paying the costs of management and 
stewardship of that property. The management of endowment funds is 
generally governed by State and Federal laws, as applicable. 
Endowments do not include funds conveyed for meeting short-term 
performance objectives of a mitigation project.
    Enhancement--activities conducted in existing habitat of the 
species that improve one or more ecological functions or services 
for that species, or otherwise provide added

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benefit to the species and do not negatively affect other resources 
of concern. Compare with ``restoration.''
    Establishment--construction of habitat of a type that did not 
previously exist on a mitigation site but which will provide a 
benefit to the species and does not negatively affect other 
resources of concern. Compare with ``restoration.''
    Fee title (fee)--an interest in land that is the most complete 
and absolute ownership in land; it is of indefinite duration, freely 
transferable, and inheritable.
    Functions--the physical, chemical, and biological processes that 
occur in ecosystems (33 CFR 332.2); functions are the ecological 
processes necessary for meeting species' habitat and lifecycle 
needs.
    Habitat--an area with spatially identifiable physical, chemical, 
and biological attributes that supports one or more life-history 
processes for the species (81 FR 83440; November 21, 2016).
    Habitat conservation plan (HCP)--a planning document that 
describes the anticipated effects of a proposed activity on the 
taking of federally listed species, how those impacts will be 
minimized and mitigated, and how the plan will be funded (16 U.S.C. 
1539). The HCP is required as part of an incidental take permit 
application to the Service or the National Marine Fisheries Service 
(see ``incidental take'').
    Habitat credit exchange (habitat credit exchange program)--a 
market-based system that operates as a clearinghouse in which an 
exchange administrator, acting as a mitigation sponsor, manages 
credit transactions between compensatory mitigation providers and 
permittees or others authorized to implement actions that adversely 
affect protected species.
    Impact(s) (of an action)--adverse effects relative to the 
affected resources (81 FR 83440; November 21, 2016). More 
specifically under this policy, adverse effects on the species or 
its habitat anticipated in a proposed action or resulting from an 
authorized or permitted action.
    Incidental take--take of any endangered or threatened species 
that results from, but is not the purpose of, carrying out an 
otherwise lawful activity conducted by a Federal agency or an 
applicant (50 CFR 402.02). Incidental take may be authorized for 
endangered or threatened species through section 7 or 10, or for 
threatened species, through a rule codified under section 4(d) of 
the Endangered Species Act. (See also, ``take.'')
    Indirect effects--those effects to the species that are caused 
by the action at a later time or another place, but are reasonably 
certain to occur (50 CFR 402.02).
    In-kind--a resource of a similar structural and functional type 
to the impacted resource (33 CFR 332.2); when used in reference to a 
species, in-kind means the same species.
    In-lieu fee program--a program involving the restoration, 
establishment, enhancement, and/or preservation of habitat through 
funds paid to a governmental or nonprofit natural resources 
management entity to satisfy compensatory mitigation requirements 
for impacts to specified species or habitat (modified from 33 CFR 
332.2).
    In-lieu fee program sponsor--any government agency or nonprofit 
natural resources management organization responsible for 
establishing, and in most circumstances, operating an in-lieu fee 
program. See also, ``sponsor.''
    In-lieu fee site--a compensatory mitigation site established 
under an approved in-lieu fee program.
    Landscape--an area encompassing an interacting mosaic of 
ecosystems and human systems that is characterized by a set of 
common management concerns. The landscape is not defined by the size 
of the area, but rather by the interacting elements that are 
relevant and meaningful in a management context (600 DM 6D).
    Landscape-scale approach--an approach to conservation planning 
that applies the mitigation hierarchy for impacts to resources and 
their values, services, and functions at the relevant scale, however 
narrow or broad, necessary to sustain, or otherwise achieve 
established goals for those resources and their values, services, 
and functions. A landscape-scale approach should be used when 
developing and approving strategies or plans, reviewing projects, or 
issuing permits. The approach identifies the needs and baseline 
conditions of targeted resources and their values, services and 
functions, reasonably foreseeable impacts, cumulative impacts of 
past and likely projected disturbance to those resources, and future 
disturbance trends. The approach then uses such information to 
identify priorities for avoidance, minimization, and compensatory 
mitigation measures across that relevant area to provide the maximum 
benefit to the impacted resources and their values, services, and 
functions, with full consideration of the conditions of 
additionality and durability (600 DM 6E).
    Listed species--any species or subspecies of fish, wildlife, or 
plant which has been determined to be endangered or threatened under 
section 4 of the Endangered Species Act (50 CFR 402.02). Listed 
species are found at 50 CFR 17.11 and 17.12.
    Management plan--the stewardship plan prepared to instruct the 
land manager in the operations and biological management for the 
compensatory mitigation site to, at a minimum, maintain the 
functions and services for specified species and other resources on 
the mitigation site. These are generally long-term plans that 
include a detailed estimate of the itemized costs for all management 
actions required by the plan. These annual costs are used to 
estimate the size of the endowment that will be needed to maintain 
and monitor the mitigation site for the intended duration.
    Mitigation (mitigation hierarchy, mitigation sequence)--as 
defined and codified in the Council on Environmental Quality (CEQ) 
National Environmental Policy Act (42 U.S.C. 4321 et seq.) 
regulations (40 CFR 1508.20), mitigation includes:
     Avoid the impact altogether by not taking the action or 
parts of the action;
     Minimize the impact by limiting the degree or magnitude 
of the action and its implementation;
     Rectify the impact by repairing, rehabilitating, or 
restoring the affected environment;
     Reduce or eliminate the impact over time by 
preservation and maintenance operations during the life of the 
action; and
     Compensate for the impact by replacing or providing 
substitute resources or environments.
    This sequence is often condensed to: Avoidance, minimization, 
and compensation.
    Mitigation ratio--the relationship between the amount of the 
compensatory offset for, and the impacts to, the species, habitat 
for the species, or other resource of concern.
    Mitigation sponsor (mitigation project sponsor, sponsor, 
mitigation provider)--any public or private entity responsible for 
establishing, and in most circumstances, operating a compensatory 
mitigation program or project such as a conservation bank, in-lieu 
fee program, or habitat credit exchange (modified from 33 CFR 
332.2).
    Off-site--a mitigation area that is located neither on nor 
adjacent to the same parcel of land as the impact site (33 CFR 
332.2).
    On-site--a mitigation site located on or adjacent to the same 
parcel of land as the impact site (33 CFR 332.2).
    Performance criteria--observable or measurable administrative 
and ecological (physical, chemical, or biological) attributes that 
are used to determine if a compensatory mitigation project meets the 
agreed upon conservation objectives identified in a mitigation 
instrument or the conservation measures proposed as part of a 
permitted or otherwise authorized action.
    Permittee--any person who receives formal approval or 
authorization, generally in the form of a permit or license, from a 
Federal agency to conduct an action. See also, ``applicant.''
    Permittee-responsible mitigation--activities or projects 
undertaken by a permittee or an authorized agent or contractor to 
provide compensatory mitigation for which the permittee retains full 
responsibility. As used in this policy, permittee-responsible 
mitigation also includes compensatory mitigation undertaken by 
Federal agencies to offset impacts resulting from actions carried 
out directly by the Federal agency.
    Perpetuity--endless or infinitely long duration or existence; 
permanent.
    Practicable--available and capable of being done after taking 
into consideration existing technology, logistics, and cost in light 
of a mitigation measure's beneficial value and a land use activity's 
overall purpose, scope, and scale (81 FR 83440; November 21, 2016).
    Preservation--the protection and management of existing 
resources for the species that would not otherwise be protected 
through removal of a threat to, or preventing the decline of, the 
resources to compensate for the loss of the same species or 
resources elsewhere.
    Proponent (project proponent)--the agency proposing an action, 
and if applicable, any applicant(s) for agency funding or 
authorization to implement a proposed action (81 FR 83440; November 
21, 2016). For purposes of this policy, any person, organization, or 
agency advocating a development proposal that is anticipated to 
result in adverse impacts to one or more listed or at-risk species. 
See also, ``applicant'' and ``permittee.''

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    Resources (resources of concern)--fish, wildlife, plants, and 
their habitats for which the Service has authority to recommend or 
require the mitigation of impacts resulting from proposed actions 
(81 FR 83440; November 21, 2016) .
    Restoration--repairing or rehabilitating habitat for the benefit 
of the species on a mitigation site with the goal of returning it to 
its natural/historic habitat type with the same or similar functions 
where they have ceased to exist, or exist in a substantially 
degraded state.
    Retired credit--a credit that is no longer available for use as 
mitigation. Credits that have been sold or otherwise used to fulfill 
a mitigation obligation are considered retired. Credits may also be 
voluntarily retired or forfeited, without being used for mitigation.
    Safe harbor agreement (SHA)--formal agreement between the 
Service or National Marine Fisheries Service and one or more non-
Federal property owners in which property owners voluntarily manage 
for listed species for an agreed amount of time providing a net 
conservation benefit to the species and, in return, receive 
assurances from the Service or National Marine Fisheries Service 
that no additional future regulatory restrictions will be imposed 
(USFWS Safe Harbor Policy). Under the Safe Harbor Policy, ``net 
conservation benefit'' is defined as contributing to the recovery of 
the listed species covered by the SHA.
    Service area--the geographic area within which impacts to the 
species or other resources of concern can be mitigated at a specific 
compensatory mitigation site.
    Species--the term ``species'' includes any species, subspecies 
of fish, or wildlife, or plants, and any distinct population segment 
of any species of vertebrate fish or wildlife which interbreeds when 
mature (16 U.S.C. 1532(16)).
    Take--means to harass, harm, pursue, hunt, shoot, wound, kill, 
trap, capture or collect a federally listed species, or to attempt 
to engage in any such conduct (16 U.S.C. 1532(19)). ``Take'' applies 
only to fish and wildlife, not plants.
    Temporal loss--the cumulative loss of functions and/or services 
relevant to the species attributed to the time between the loss of 
habitat functions and/or services or individuals of the 
population(s) caused by the action and the replacement of habitat 
functions and/or services or repopulation of the species at the 
compensatory mitigation site to the same level had the action not 
occurred.
    Threatened species--any species which is likely to become an 
endangered species within the foreseeable future throughout all or a 
significant portion of its range (16 U.S.C. 1532(20)).
    Unavoidable impact--an impact for which an appropriate and 
practicable alternative to the proposed action that would not cause 
the impact is not available (81 FR 83440; November 21, 2016).

Determinations Under Other Authorities

    As mentioned above, we intend to apply this policy when 
considering the adequacy of compensatory mitigation programs, 
projects, and measures proposed by Federal agencies and applicants 
as part of a proposed action and mitigation sponsors. Below we 
discuss compliance with several Executive Orders and statutes as 
they pertain to this policy.

National Environmental Policy Act (NEPA)

    We have analyzed this policy in accordance with the criteria of 
the National Environmental Policy Act, as amended (NEPA) (42 U.S.C. 
4332(c)), the Council on Environmental Quality's regulations for 
implementing the procedural provisions of NEPA (40 CFR parts 1500-
1508), and the Department of the Interior's NEPA procedures (516 DM 
2 and 8; 43 CFR part 46). Issuance of policies, directives, 
regulations, and guidelines are actions that may generally be 
categorically excluded under NEPA (43 CFR 46.210(i)). Based on 
comments received, we determined that a categorical exclusion can 
apply to this policy; nevertheless, the Service chose to prepare an 
environmental assessment (EA) to inform decision makers and the 
public regarding the possible effects of the policy revisions.
    We announced our intent to prepare an EA pursuant to NEPA when 
we published the draft policy. We requested comments on the scope of 
the NEPA review, information regarding important environmental 
issues that should be addressed, the alternatives to be analyzed, 
and issues that should be addressed at the programmatic stage in 
order to inform the site-specific stage during the comment period on 
the draft policy. Comments from the public were considered in the 
drafting of the final EA. The final EA is available on the Internet 
at http://www.regulations.gov under Docket Number FWS-HQ-ES-2015-
0165.

Paperwork Reduction Act of 1995

    This final policy does not contain any new collections of 
information that require approval by the Office of Management and 
Budget (OMB) under the Paperwork Reduction Act of 1995 (44 U.S.C. 
3501 et seq.). OMB has reviewed and approved the information 
collection requirements for applications for incidental take 
permits, annual reports, and notifications of incidental take for 
native endangered and threatened species for safe harbor agreements, 
candidate conservation agreements with assurances, and habitat 
conservation plans under OMB Control Number 1018-0094, which expires 
on January 31, 2017. We are currently in the process of seeking 
renewal for OMB Control Number 1018-0094. We may not conduct or 
sponsor and a person is not required to respond to a collection of 
information unless it displays a currently valid OMB control number.

Government-to-Government Relationship With Tribes

    In accordance with the President's memorandum of April 29, 1994, 
``Government-to-Government Relations with Native American Tribal 
Governments'' (59 FR 22951), Executive Order 13175 ``Consultation 
and Coordination with Indian Tribal Governments,'' and the 
Department of the Interior Manual at 512 DM 2, we have considered 
possible effects on federally recognized Indian tribes and have 
determined that there are no potential adverse effects of issuing 
this policy. Our intent with the policy is to provide a consistent 
approach to the consideration of compensatory mitigation programs, 
projects, and measures, including those taken on Tribal lands. We 
will work with Tribes as applicants proposing compensatory 
mitigation as part of proposed actions and with Tribes as mitigation 
sponsors.

    Authority: The authorities for this action include the 
Endangered Species Act of 1973, as amended (16 U.S.C. 1531 et seq.), 
and the National Environmental Policy Act (42 U.S.C. 4321 et seq.).

    Dated: December 15, 2016.
Daniel M. Ashe,
Director, U.S. Fish and Wildlife Service.
[FR Doc. 2016-30929 Filed 12-23-16; 8:45 am]
 BILLING CODE 4333-15-P



                                                    95316                      Federal Register / Vol. 81, No. 248 / Tuesday, December 27, 2016 / Notices

                                                    DEPARTMENT OF THE INTERIOR                              both the public and private sectors to                that mitigation programs and projects
                                                                                                            work with us to conserve species and                  must meet to achieve conservation that
                                                    Fish and Wildlife Service                               the ecosystems on which they depend.                  is effective and sustainable.
                                                    [Docket No. FWS–HQ–ES–2015–0165;
                                                                                                            This collaborative effort includes                    Compensatory mitigation is defined in
                                                    FXES11140900000–                                        conservation of endangered and                        this policy as compensation for
                                                    178nmdash;FF09E33000]                                   threatened (listed) species and their                 remaining unavoidable impacts after all
                                                                                                            designated critical habitat protected                 appropriate and practicable avoidance
                                                    Endangered and Threatened Wildlife                      under the Endangered Species Act of                   and minimization measures have been
                                                    and Plants; Endangered Species Act                      1973, as amended (ESA; 16 U.S.C. 1531                 applied, by replacing or providing
                                                    Compensatory Mitigation Policy                          et seq.), and other species proposed for              substitute resources or environments
                                                                                                            listing or at-risk of being listed. The               (see 40 CFR 1508.20) through the
                                                    AGENCY:   Fish and Wildlife Service,                    purposes of the ESA are to provide a                  restoration, establishment,
                                                    Interior.                                               means whereby the ecosystems upon                     enhancement, or preservation of
                                                    ACTION: Notice of final policy.                         which listed species depend may be                    resources and their values, services, and
                                                                                                            conserved, and to provide a program for               functions (part 600, chapter 6 of the
                                                    SUMMARY:   We, the U.S. Fish and                        the conservation of such species. The                 Departmental Manual (600 DM 6.4C)).
                                                    Wildlife Service (Service or USFWS),                    Service and National Oceanic and                      While this policy addresses only the
                                                    announce the final Endangered Species                   Atmospheric Administration’s National                 role of compensatory mitigation under
                                                    Act (ESA) Compensatory Mitigation                       Marine Fisheries Service share                        the ESA, avoidance and minimization of
                                                    Policy. The new policy steps down and                   responsibilities for administering the                impacts retain their central role in both
                                                    implements recent Executive Office,                     ESA. However, this policy only applies                the section 7 and section 10 processes.
                                                    Department of the Interior, and Service                 to the Service and species under our                  Guidance on the application of the
                                                    mitigation policies that reflect a shift                jurisdiction.                                         mitigation hierarchy is provided in our
                                                    from project-by-project to landscape-                      This policy is the first comprehensive             Mitigation Policy (81 FR 83440,
                                                    scale approaches to planning and                        treatment of compensatory mitigation                  November 21, 2016), regulations
                                                    implementing compensatory mitigation.                   under authority of the ESA to be issued               implementing the ESA, and other
                                                    The new policy is established to                        by the Service. Both the 1995                         policies and guidance documents
                                                    improve consistency and effectiveness                   interagency policy on the establishment               specific to various sections of the ESA.
                                                    in the use of compensatory mitigation as                and operation of wetland mitigation
                                                    recommended or required under the                       banks (60 FR 58605, November 28,                      Alignment of the Policy With Existing
                                                    ESA. The ESA Compensatory Mitigation                    1995) and the 2000 interagency policy                 Directives
                                                    Policy covers permittee-responsible                     on the use of in-lieu fee arrangements                   By memorandum (80 FR 68743,
                                                    mitigation, conservation banking, in-                   (65 FR 66914, November 7, 2000) are                   November 6, 2015), the President
                                                    lieu fee programs, and other third-party                specific to wetland mitigation, but                   directed all Federal agencies that
                                                    mitigation mechanisms, and stresses the                 provide guidance that is generally                    manage natural resources, ‘‘to avoid and
                                                    need to hold all compensatory                           applicable to conservation banking and                then minimize harmful effects to land,
                                                    mitigation mechanisms to equivalent                     in-lieu fee programs for species                      water, wildlife, and other ecological
                                                    and effective standards.                                associated with wetlands or uplands.                  resources (natural resources) caused by
                                                    DATES: This policy is effective on                      These interagency policies were                       land- or water-disturbing activities, and
                                                    December 27, 2016.                                      superseded by the Environmental                       to ensure that any remaining harmful
                                                                                                            Protection Agency—U.S. Army Corps of                  effects are effectively addressed,
                                                    ADDRESSES: Comments and materials
                                                                                                            Engineers 2008 Compensatory                           consistent with existing mission and
                                                    received, as well as supporting
                                                                                                            Mitigation Rule for Losses of Aquatic                 legal authorities.’’ This policy is
                                                    documentation used in the preparation
                                                                                                            Resources (73 FR 19594, April 10,                     consistent with the Presidential
                                                    of this policy, including an
                                                                                                            2008). In 2003, the Service issued                    memorandum (‘‘Mitigating Impacts on
                                                    environmental assessment, are available
                                                                                                            guidance on the establishment, use, and               Natural Resources From Development
                                                    on the Internet at http://
                                                                                                            operation of conservation banks (68 FR                and Encouraging Related Private
                                                    www.regulations.gov at Docket Number
                                                                                                            24753, May 8, 2003). In 2008, we issued               Investment’’) issued November 3, 2015;
                                                    FWS–HQ–ES–2015–0165.                                                                                          the Department of the Interior
                                                                                                            recovery crediting guidance (73 FR
                                                    FOR FURTHER INFORMATION CONTACT:                        44761, July 31, 2008). This ESA                       (Department) Secretarial Order 3330
                                                    Craig Aubrey, U.S. Fish and Wildlife                    Compensatory Mitigation Policy                        entitled, ‘‘Improving Mitigation Policies
                                                    Service, Division of Environmental                      clarifies Service expectations regarding              and Practices of the Department of the
                                                    Review, 5275 Leesburg Pike, Falls                       all compensatory mitigation                           Interior,’’ issued October 31, 2013; the
                                                    Church, VA 22041–3803; telephone                        mechanisms recommended or                             new Interior Departmental Manual
                                                    703–358–2442. Persons who use a                         supported by the Service when                         Chapter on Landscape-Scale Mitigation
                                                    telecommunications device for the deaf                  implementing the ESA, including, but                  Policy, 600 DM 6 (October 23, 2015);
                                                    (TDD) may call the Federal Relay                        not limited to, conservation banks, in-               and is intended to institute the policies
                                                    Service at 800–877–8339.                                lieu fee programs, habitat credit                     and procedures reflected in the guiding
                                                    SUPPLEMENTARY INFORMATION:                              exchanges, and permittee-responsible                  principles on mitigation established by
                                                                                                            mitigation.                                           the Department through the report to the
                                                    Background                                                                                                    Secretary entitled, ‘‘A Strategy for
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                                                      The mission of the U.S. Fish and                      Purpose and Importance of the Policy                  Improving the Mitigation Policies and
                                                    Wildlife Service (Service or USFWS) is                    The primary intent of the policy is to              Practices of The Department of the
                                                    working with others to conserve,                        provide Service personnel with                        Interior,’’ issued in April 2014 (Clement
                                                    protect, and enhance fish, wildlife, and                direction and guidance in the planning                et al. 2014). These directives emphasize
                                                    plants and their habitats for the                       and implementation of compensatory                    a comprehensive landscape-scale
                                                    continuing benefit of the American                      mitigation, primarily through                         approach to planning and implementing
                                                    people. As part of our mission, we                      encouraging strategic planning at the                 mitigation programs, and they also
                                                    continually seek opportunities to engage                landscape level and setting standards                 include a mitigation goal to improve


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                                                                               Federal Register / Vol. 81, No. 248 / Tuesday, December 27, 2016 / Notices                                            95317

                                                    (i.e., ‘‘net gain’’) or, at a minimum, to                  Adherence to the mitigation                        reminder of the challenges still before
                                                    maintain (i.e., ‘‘no net loss’’) the current            principles and compensatory mitigation                us.
                                                    status of affected resources, as allowed                standards identified in this policy will                 Incorporating a landscape-scale
                                                    by applicable statutory authority and                   achieve greater consistency,                          approach to development and
                                                    consistent with the responsibilities of                 predictability, and transparency in                   conservation planning, including
                                                    action proponents under such authority,                 implementation of the ESA. Service                    mitigation, that ensures a ‘‘net gain’’ or,
                                                    primarily for important, scarce, or                     offices are encouraged to work with                   at a minimum, ‘‘no net loss’’ in the
                                                    sensitive resources, or as required or                  Federal agencies and other partners to                status of affected resources, as directed
                                                    appropriate.                                            establish compensatory mitigation                     by the Presidential memorandum (80 FR
                                                       The mitigation principles set forth in               programs based on landscape-scale                     68743, November 6, 2015), helps
                                                    the above directives, including the                     conservation plans, such as more                      address the additive impacts that lead to
                                                    landscape scale approach and the goal                   efficient, better coordinated, and                    significant deterioration of resources
                                                    of ‘‘net gain,’’ have been adopted in both              expedited regulatory processes, which                 over time and has the potential to foster
                                                    the Service’s Mitigation Policy (81 FR                  can provide project applicants with                   recovery of listed species and avoid
                                                    83440, November 21, 2016), and in this                  incentives to mitigate their actions.                 listing of additional species.
                                                    policy. The landscape-scale approach to                 Compensatory mitigation programs and                     As discussed later in this document,
                                                    mitigation is not a new concept. For                    projects designed and implemented in                  the Service’s authority to require
                                                    example, in 2013, the Service issued                    accordance with the standards set forth               compensatory mitigation under the ESA
                                                    mitigation guidance for two listed                      in this policy are expected to achieve                is limited and differs under sections 7
                                                    songbirds in central Texas based on                     the best conservation outcomes for                    and 10. However, we can more broadly
                                                    recovery goals for these species. The                   listed, proposed, and at-risk species                 recommend the use of compensatory
                                                                                                            through effective management of the                   mitigation to offset the adverse impacts
                                                    songbird mitigation guidance sets
                                                                                                            risks associated with compensatory                    of actions under certain provisions of
                                                    minimum standards that must be met by
                                                                                                            mitigation.                                           the ESA and under other authorities,
                                                    mitigation providers and encourages the
                                                                                                               This policy encourages the use of                  such as the Fish and Wildlife
                                                    use of consolidated compensatory
                                                                                                            market-based compensatory mitigation                  Coordination Act (16 U.S.C. 661 et seq.)
                                                    mitigation in the form of permanent
                                                                                                            programs such as conservation banking                 and the National Environmental Policy
                                                    protection and management of large,
                                                                                                            in conjunction with programmatic                      Act (NEPA; 42 U.S.C. 4321 et seq.). This
                                                    contiguous patches of the species’
                                                                                                            approaches to ESA section 7                           policy encourages Service offices to
                                                    habitat. Proactive approaches, such as
                                                                                                            consultations and habitat conservation                work with Federal agencies and
                                                    this example, provide greater regulatory
                                                                                                            plans (HCPs) that can be designed to                  applicants, and to recommend or
                                                    certainty for project proponents and                                                                          require, if appropriate, the inclusion of
                                                                                                            achieve a ‘‘no net loss’’ or a ‘‘net gain’’
                                                    encourage the establishment of                                                                                compensatory mitigation for all
                                                                                                            mitigation goal. Consultations and HCPs
                                                    conservation banks and other mitigation                                                                       unavoidable adverse impacts to listed,
                                                                                                            that establish a ‘‘program’’ to address
                                                    opportunities by mitigation sponsors for                                                                      proposed, and at-risk species and their
                                                                                                            multiple, similar actions and/or impacts
                                                    use by project proponents.                                                                                    habitat anticipated as a result of any
                                                                                                            to one or more species operate on a
                                                       The mitigation goal (i.e., ‘‘net gain’’              larger landscape scale and expedite                   proposed action. While this practice
                                                    or, at a minimum, ‘‘no net loss’’) is not               regulatory processes. Market-based                    currently exists for some species, it is
                                                    necessarily based on habitat area, but on               mitigation programs improve regulatory                not used broadly throughout the
                                                    numbers of individuals, size and                        predictability, provide efficiencies of               Service. Recommending, where
                                                    distribution of populations, the quality                scale, and incentivize private                        applicable, that Federal agencies use
                                                    and carrying capacity of habitat, or the                investment in species conservation (Fox               their authorities to fully mitigate the
                                                    capacity of the landscape to support                    and Nino-Murcia 2005). The benefits                   adverse effects of their actions (i.e.,
                                                    stable or increasing populations of the                 provided by these mitigation programs                 ensure ‘‘no net loss’’ in the status of
                                                    affected species after the action                       generally encourage Federal agencies                  affected resources) is consistent with the
                                                    (including all proposed conservation                    and incentivize applicants to develop                 Presidential memorandum (80 FR
                                                    measures) is implemented. In other                      proposed actions that fully compensate                68743, November 6, 2015), the
                                                    words, it is based on those factors that                for adverse impacts to affected species               Department’s and the Service’s
                                                    determine the ability of the species to be              anticipated as a result of their actions.             mitigation planning goals, and the
                                                    conserved.                                                                                                    purposes of the ESA. Effective
                                                                                                            Discussion
                                                    Benefits of the Policy                                                                                        mitigation that fully offsets the impacts
                                                                                                              ‘‘In enacting the ESA, Congress                     of an action prevents that action from
                                                       This policy sets forth standards for                 recognized that individual species                    causing a decline in the status of
                                                    compensatory mitigation that                            should not be viewed in isolation, but                affected species (i.e., achieves ‘‘no net
                                                    implement the tenets in the directives                  must be viewed in terms of their                      loss’’).
                                                    cited above and reflect the many lessons                relationship to the ecosystem of which
                                                    learned by the Service during our more                  they form a constituent element.                      Compensatory Mitigation Under
                                                    than 40-year history implementing the                   Although the regulatory mechanisms of                 Sections 7 and 10 of the ESA
                                                    ESA, particularly sections 7 and 10 of                  the [ESA] focus on species that are                     The additive effects of impacts
                                                    the ESA. The standards apply to all                     formally listed as endangered or                      adversely affecting listed and at-risk
                                                    compensatory mitigation mechanisms                      threatened, the purposes and policies of              species as a result of many past and
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                                                    (i.e., permittee-responsible mitigation,                the [ESA] are far broader than simply                 current human-caused actions are
                                                    conservation banks, in-lieu fee                         providing for the conservation of                     significant. The number of listed species
                                                    programs, habitat exchanges, and other                  individual species or individual                      has increased from slightly more than
                                                    third-party mitigation arrangements),                   members of listed species’’ (Conference               300 in 1982 (when the ESA was
                                                    which are instrumental to achieving                     Report No. 97–835 House of                            reauthorized) to more than 1,500 by the
                                                    effective compensatory mitigation on                    Representatives, September 17, 1982).                 end of 2016. While some listed species
                                                    the landscape and encouraging private                   This comment, made over 30 years ago                  have been reclassified from endangered
                                                    investment in compensatory mitigation.                  during reauthorization of the ESA, is a               to threatened (i.e., ‘‘downlisted’’) or


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                                                    95318                      Federal Register / Vol. 81, No. 248 / Tuesday, December 27, 2016 / Notices

                                                    removed from either the Federal List of                 climate change. Conservation banking is               (often referred to as ‘‘death by a
                                                    Endangered and Threatened Wildlife or                   a market-based compensatory mitigation                thousand cuts’’), when not compensated
                                                    List of Endangered and Threatened                       mechanism based on a landscape                        for, can have substantial adverse effects
                                                    Plants (i.e., ‘‘delisted’’) within the last             approach to mitigation that achieves                  on these resources by degrading the
                                                    40 years, the projected increase in                     compensation for listed and other                     environmental baseline and impairing
                                                    human population growth, increasing                     resources of concern in advance of                    the potential for future actions. In
                                                    demand on our natural resources                         project impacts. In-lieu fee programs                 general, conservation banking, in-lieu
                                                    associated with this projected                          also establish compensatory mitigation                fee programs, and similar mitigation
                                                    population growth, accelerated climate                  sites but generally not in advance of                 mechanisms that consolidate
                                                    change, continued introductions of                      impacts and often not through a market-               compensatory mitigation on larger
                                                    invasive species, and other stressors are               based approach. Habitat credit                        landscapes are designed to serve project
                                                    putting even more species at risk and                   exchanges are a relatively new market-                proponents with small to moderate
                                                    compromising the essential functions of                 based compensatory mitigation                         impact actions, are ecologically more
                                                    ecosystems necessary to improve the                     mechanism based on a clearinghouse                    effective, and provide more economical
                                                    status and recover these species. We                    model that may or may not accomplish                  options to achieve compensation than
                                                    cannot expect to change the status                      mitigation in advance of project                      permittee-responsible mitigation.
                                                    trajectories of these species without a                 impacts. All three of these mitigation                   Furthermore, larger landscape-scale
                                                    commitment to responsible and                           mechanisms use a landscape-level                      conservation programs with market-
                                                    implementable standards for                             approach to consolidate and locate                    based compensatory mitigation
                                                    accomplishing effective, sustainable                    compensatory mitigation in areas                      opportunities create an economic
                                                    compensatory mitigation that fully                      identified as conservation priorities.                incentive for private landowners,
                                                    offsets the adverse impacts of actions to               These programs have designated service                investors, and mitigation project
                                                    species and other resources of concern.                 areas within which proposed actions                   sponsors to participate in these
                                                       Compensatory mitigation is a                         that meet certain criteria may be                     programs. The most robust programs
                                                    conservation measure that can be used                   mitigated with Service approval. The                  generate competition among mitigation
                                                    within an appropriate context under                     functions and services provided for                   sponsors and may provide cost-effective
                                                    section 7 of the ESA to address                         listed, proposed, and at-risk species by              means for complying with natural
                                                    proposed actions that may result in                     these compensatory mitigation programs                resource laws such as the ESA. To be
                                                    adverse impacts to listed species that                  are represented by credits. Credits are               successful, these market-based and
                                                    cannot be avoided. For example, under                   used to offset impacts (often referred to             other compensatory mitigation programs
                                                    section 7(a)(1) of the ESA, all Federal                 as debits). Most credit transactions                  must operate transparently and be held
                                                    agencies are required to use their                      involve a permittee purchasing the                    to high standards that are uniformly
                                                    authorities to carry out conservation                   amount of credits needed to offset the                applied across all compensatory
                                                    programs for listed species. Federal                    anticipated adverse effects of an action              mitigation mechanisms. Equally
                                                    agencies may choose to develop and                      from the mitigation project sponsor. The              important is transparency in the
                                                    implement section 7(a)(1) conservation                  Service must approve credit                           implementation of the ESA and the
                                                    programs for listed species in                          transactions as to their conservation                 development of mitigation programs for
                                                    conjunction with section 7(a)(2)                        value and appropriate application for                 use by regulated communities.
                                                    consultation through a coordinated                      use related to any authorization or
                                                    program. The Service supports these                     permit issued under the ESA.                          Mitigation Defined
                                                    efforts, and we encourage Federal                          The conservation banking model is                     Because endangered and threatened
                                                    agencies to coordinate with us on                       generally perceived as successful at                  species are by definition in danger of
                                                    development of such programs.                           achieving effective conservation                      extinction or likely to become so in the
                                                       Compensatory mitigation can be used                  outcomes and, when used in                            foreseeable future, avoiding,
                                                    under section 10(a)(1)(B) of the ESA                    conjunction with section 7                            minimizing, and compensating for
                                                    through HCPs developed to address                       consultations and section 10 HCPs, has                impacts to their populations are all
                                                    adverse impacts of non-Federal actions                  achieved notable regulatory efficiencies.             forms of mitigation that the Service may
                                                    on listed and other covered species that                Results include ecological performance                consider when administering the ESA.
                                                    cannot be avoided. Landscape-scale                      that usually achieves ‘‘no net loss,’’ and            The Council on Environmental Quality
                                                    HCPs developed for use by multiple                      often a net benefit, in species                       (CEQ) NEPA regulations (40 CFR
                                                    applicants to conserve multiple                         conservation; increased regulatory                    1508.20) state that mitigation includes:
                                                    resources are generally the most                        predictability for Federal agencies and                  • Avoiding the impact altogether by
                                                    efficient and effective approaches. The                 applicants; and more efficient and better             not taking a certain action or parts of an
                                                    Service supports these efforts and                      coordinated permitting processes,                     action;
                                                    encourages applicants, particularly local               especially when multiple agencies with                   • Minimizing impacts by limiting the
                                                    and State agencies and organizations, to                overlapping regulatory jurisdictions are              degree or magnitude of the action and
                                                    coordinate with us on the development                   involved.                                             its implementation;
                                                    of such plans.                                             Permittee-responsible mitigation for                  • Rectifying the impact by repairing,
                                                                                                            many small to moderate impacts often                  rehabilitating, or restoring the affected
                                                    Landscape-Level Approaches to                           cannot provide adequate compensation
                                                    Compensatory Mitigation                                                                                       environment;
                                                                                                            because it is often difficult to achieve                 • Reducing or eliminating the impact
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                                                      Taking a landscape-level approach to                  effective conservation on a small scale.              over time by preservation and
                                                    mitigation will assist the Service to                   Small mitigation sites are often not                  maintenance operations during the life
                                                    modernize our compensatory mitigation                   ecologically defensible, and it is often              of the action; and
                                                    procedures and practices and better                     difficult to ensure long-term                            • Compensating for the impact by
                                                    meet the challenges posed by the                        stewardship of these sites. Most                      replacing or providing substitute
                                                    growing human population’s demands                      individual actions result in small or                 resources or environments.
                                                    on our natural resources and changing                   moderate impacts to species and habitat,                 In 600 DM 6, the Department of the
                                                    conditions such as those resulting from                 yet the additive effects of these actions             Interior states that mitigation, as


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                                                                               Federal Register / Vol. 81, No. 248 / Tuesday, December 27, 2016 / Notices                                           95319

                                                    enumerated by CEQ, is compatible with                   comments we received that requested                   implementation guidance, as well as the
                                                    Departmental policy; however, as a                      greater clarity of expression regarding               prescriptive operational detail from
                                                    practical matter, the mitigation elements               various aspects of the policy’s purpose,              section 6.6, Managing Risk and
                                                    are categorized into three general types                authorities, scope, general principles,               Uncertainty.
                                                    that form a sequence: Avoidance,                        framework for formulating mitigation                     In section 7.1.4 ‘‘Habitat Credit
                                                    minimization, and compensatory                          measures, and definitions. The most                   Exchange,’’ we added text indicating
                                                    mitigation for remaining unavoidable                    common editorial change to the final                  that habitat credit exchanges are a
                                                    (also known as residual) impacts.                       policy addresses the concern that the                 relatively new mitigation mechanism,
                                                    Historically, those administering the                   Service lacks authority to apply                      and warrant additional care and
                                                    ESA have often used a condensed                         compensatory mitigation to the ESA.                   consideration when implementing
                                                    mitigation sequence—avoid, minimize,                    Reasons cited by the commenters for not               them. We also removed section 7.1.5,
                                                    and compensate; or avoid, minimize,                     applying compensatory mitigation to the               ‘‘Other Third-party Compensatory
                                                    and mitigate. This policy adopts the                    ESA included: (a) The ESA does not                    Mitigation,’’ as this is a purely
                                                    Department’s definition of                              provide authority to require mitigation;              hypothetical mechanism which seems
                                                    compensatory mitigation: Compensation                   and (b) policy concepts such as ‘‘net                 to differ little from proponent-
                                                    for remaining unavoidable impacts after                 conservation gain’’ and a ‘‘landscape                 responsible mitigation, and it was
                                                    all appropriate and practicable                         approach’’ to conservation are                        redundant with section 7.3, Other
                                                    avoidance and minimization measures                     inconsistent with ESA statutory                       Compensatory Mitigation Programs or
                                                    have been applied, by replacing or                      authority and regulatory requirements.                Projects.
                                                    providing substitute resources or                       This final policy adds new text to 2.                    In Table 1. ‘‘Comparison of Habitat-
                                                    environments (see 40 CFR 1508.20)                       Authorities and Coordination that                     based Compensatory Mitigation Sites
                                                    through the restoration, establishment,                 identifies those circumstances under                  Established Under Different
                                                    enhancement, or preservation of                         which we have specific authority to                   Mechanisms,’’ we removed the column
                                                    resources and their values, services, and               require, consistent with other applicable             ‘‘Instrument Required’’ because all
                                                    functions (600 DM 6.4C). Throughout                     laws and regulations, one or more forms               discussion of instruments will be in the
                                                    this policy, ‘‘compensatory mitigation’’                of compensatory mitigation for impacts                implementation guidance, and we
                                                    or ‘‘compensation’’ is used in this broad               to federally listed species, proposed                 removed the final row of the table:
                                                    sense to include any measure that                       species, and candidates as defined in                 ‘‘Other Third-party Mitigation Site.’’
                                                    would rectify, reduce, or compensate for                the ESA. This policy provides a                          We removed the draft policy’s section
                                                    an impact to an affected resource. We                   common framework for the Service                      8, Establishment and Operation of
                                                    also use the term ‘‘minimize’’ in the                   when identifying and implementing                     Compensatory Mitigation Programs and
                                                    broad sense throughout this policy to                   compensatory mitigation measures                      Projects; it will form the basis of the
                                                    include any conservation measure,                       pursuant to the ESA. The policy,                      implementation guidance.
                                                    including compensation, which would                     however, cannot and does not alter or                    Section 9 of the draft policy, Criteria
                                                    lessen the impact of the action on the                  substitute for the regulations                        for Use of Third-party Mitigation, has
                                                    species or other affected resource. We                  implementing the ESA. We summarize                    been re-numbered in this policy, and is
                                                    recognize there is some overlap in the                  below the few substantive changes from                now section 8.
                                                    use of these terms but, as a practical                  the draft policy, listed by section.                     The majority of section 10,
                                                    matter, this use in practice is consistent                 Section 5 in the draft policy,                     Compliance and Tracking, has been
                                                    with the intent of the ESA. Information                 Application of Compensatory Mitigation                removed from the policy, and will be
                                                    regarding avoidance and observance of                   Under the ESA, was moved in its                       discussed in the implementation
                                                    the mitigation sequence can be found at                 entirety to replace section 4, as we felt             guidance; accordingly, the remaining
                                                    our Mitigation Policy (81 FR 83440,                     it more appropriate to discuss the                    paragraph has been renumbered in this
                                                    November 21, 2016). This ESA                            policy’s application under the ESA after              policy as section 9.
                                                    Compensatory Mitigation Policy covers                   section 2. Authorities and Coordination,                 Regarding appendix B, Glossary of
                                                    permittee-responsible mitigation,                       and section 3. Scope. Section 4 in the                Terms Related to Compensatory
                                                    conservation banking, in-lieu fee                       draft policy, Compensatory Mitigation                 Mitigation, we removed several terms
                                                    programs, and all other compensatory                    Standards, is now section 5 in this final             that are more appropriate for the
                                                    mitigation mechanisms.                                  policy.                                               implementation guidance document as
                                                                                                               In section 5.1, Siting Sustainable                 well as items that could be confused
                                                    Implementation                                          Compensatory Mitigation, this final                   with terms used in the ESA’s
                                                      The Service will issue interim                        policy focuses on overarching                         implementing regulations.
                                                    guidance containing specific operational                considerations and leaves specific                       Finally, we have removed appendix
                                                    steps to assist Service staff in                        factors or examples to be explained in                C, Requirement of the Marine Mammal
                                                    implementing this policy. This interim                  the implementation guidance.                          Protection Act, to avoid confusion with
                                                    guidance will be issued in the form of                     In section 6.1.3, ‘‘Preference for                 the policy’s focus on implementing the
                                                    a Director’s memorandum, which will                     Consolidated Compensatory                             ESA.
                                                    be used to develop a Service Manual                     Mitigation,’’ we removed habitat credit
                                                                                                            exchanges as a specifically identified                Summary of Comments and Responses
                                                    chapter at a later date. Throughout this
                                                    policy, the term ‘‘implementation                       preference for compensatory mitigation                  The September 2, 2016, notice
                                                                                                            because we do not yet have the record                 announcing our draft Endangered
asabaliauskas on DSK3SPTVN1PROD with NOTICES




                                                    guidance’’ will be used when
                                                    referencing the interim guidance and                    of success with this mechanism that we                Species Act Compensatory Mitigation
                                                    future Service Manual chapter.                          have with other mechanisms such as                    Policy (draft policy) (81 FR 61032)
                                                                                                            conservation banks.                                   requested written comments,
                                                    Changes From the Draft Policy                              The bulk of sections 6.2.3, ‘‘Ensuring             information, and recommendations from
                                                      This final policy differs from the draft              Durability on Public Lands,’’, and 6.2.4,             governmental agencies, tribes, the
                                                    policy in a few substantive respects,                   ‘‘Transfer of Private Mitigation Lands to             scientific community, industry groups,
                                                    which we list below, and contains                       Public Agencies,’’ was removed from                   environmental interest groups, and any
                                                    editorial changes in response to                        the policy and will be discussed in the               other interested members of the public.


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                                                    95320                      Federal Register / Vol. 81, No. 248 / Tuesday, December 27, 2016 / Notices

                                                       That notice established a 45-day                     compensatory mitigation mechanisms;                   ‘‘avoidance’’ is voluntary on the part of
                                                    comment period, ending October 17,                      and other implementation elements. We                 an action agency or applicant.
                                                    2016, on the draft policy. Several                      recognize the value of these comments                    Response: The use of ‘‘avoidance’’ in
                                                    commenters (1) requested an extension                   and are giving them due consideration.                the mitigation sequence is not a
                                                    of time to provide their comments; (2)                  We have removed these elements from                   requirement in the sense that all
                                                    asked the Service to revise and                         this policy and will address them in the              impacts to listed species or critical
                                                    recirculate the draft policy for comment;               implementation guidance.                              habitat must be avoided. Through the
                                                    or (3) asked the Service to withdraw the                                                                      policy, we are neither requiring nor
                                                    draft policy to allow interested parties                A. Definitions                                        mandating avoidance. One of the stated
                                                    additional time to comment. The                            Comment (1): One commenter                         purposes of the ESA at section 2(b) is to
                                                    November 3, 2015, Presidential                          suggested a more precise definition of                ‘‘provide a means whereby the
                                                    Memorandum on Mitigation states,                        compensatory mitigation. The                          ecosystems upon which endangered
                                                    ‘‘Within 1 year of the date of this                     commenter stated the draft policy’s                   species and threatened species depend
                                                    memorandum, the Department of the                       definition suggests any remaining                     may be conserved.’’ Developing options
                                                    Interior, through the U.S. Fish and                     impacts must be ‘‘unavoidable’’ and not               to avoid impacts to listed resources
                                                    Wildlife Service, shall finalize a revised              simply ‘‘un-avoided.’’ The commenter                  under sections 7 and 10 is important to
                                                    mitigation policy that applies to all of                suggests the draft policy’s definition is             furthering this purpose and effectively
                                                    the U. S. Fish and Wildlife Service’s                   confusing and inconsistent with the                   implementing the ESA.
                                                    authorities and trust responsibilities.                 ESA language that uses ‘‘minimize’’ and                  The policy is consistent with the
                                                    The U.S. Fish and Wildlife Service shall                ‘‘mitigate.’’                                         Presidential memorandum (‘‘Mitigating
                                                    also finalize an additional policy that                    Response: The definition of                        Impacts on Natural Resources from
                                                    applies to compensatory mitigation                      ‘‘compensatory mitigation’’ in this                   Development and Encouraging Related
                                                    associated with its responsibilities                    policy derives from the Department of                 Private Investment’’) issued November
                                                    under the Endangered Species Act of                     the Interior’s Department Manual (600                 3, 2015 (see 80 FR 68743, November 6,
                                                    1973.’’ In order to finalize the policy as              DM 6.4C). This definition gives more                  2015), in which the President directed
                                                    close as possible to the date outlined in               flexibility in the use of avoidance and               all Federal agencies that manage natural
                                                    the Presidential Memorandum on                          minimization measures for listed                      resources ‘‘to avoid and then minimize
                                                    Mitigation, we were unable to publish                   species than the recommendation                       harmful effects to land, water, wildlife,
                                                    an extension or reopen the comment                      provided in the comment. The use of                   and other ecological resources (natural
                                                    period.                                                 the terms ‘‘appropriate and practicable’’             resources) caused by land- or water-
                                                       During the comment period, we                        in this policy’s definition give deference            disturbing activities, and to ensure that
                                                    received approximately 150 public                       to project proponents and Federal                     any remaining harmful effects are
                                                    comment letters, including comments                     agencies.                                             effectively addressed, consistent with
                                                    from Federal, State, and local                             Comment (2): Comments included a                   existing mission and legal authorities.’’
                                                    government entities; industry; trade                    statement that the definition of                      The Service agrees that some impacts to
                                                    associations; conservation                              landscape-scale approach is unclear.                  listed species or critical habitat may be
                                                    organizations; nongovernmental                             Response: Our definition of                        unavoidable and that the ESA provides
                                                    organizations; private citizens; and                    landscape-scale approach is informed                  a mechanism for both Federal agencies
                                                    others. The range of comments varied                    by the definition used in 600 DM 6 and                (section 7) and non-Federal entities
                                                    from those that provided general                        our Service’s mitigation policy. The                  (section 10) to receive take coverage in
                                                    statements of support or opposition to                  landscape approach to conservation                    the case of any unavoidable impacts.
                                                    the draft policy, to those that provided                considers the functional context of the               There are multiple sections of our
                                                    extensive comments and information                      species or habitat under consideration.               implementing regulations in title 50 of
                                                    supporting or opposing the draft policy                 For example, activities involving fairy               the Code of Federal Regulations (CFR) at
                                                    in its entirety or specific aspects of the              shrimp might be evaluated at a vernal                 50 CFR part 402 (§§ 402.10, 402.13) that
                                                    draft policy. The majority of comments                  pool complex or regional scale. Issues                direct the Service to suggest
                                                    submitted included detailed suggestions                 affecting sturgeon may require strategies             modifications or make advisory
                                                    for revisions addressing major concepts,                that consider an entire river system,                 recommendations to Federal action
                                                    as well as editorial suggestions for                    thousands of miles long. Fundamental                  agencies and applicants to avoid the
                                                    specific wording or line edits.                                                                               likelihood of adverse effects to listed
                                                                                                            to this approach is an understanding of
                                                       All comments submitted during the                                                                          species or critical habitat. Additionally,
                                                                                                            what is important to ensure the
                                                    comment period have been fully                                                                                if the Service is required to provide a
                                                                                                            ecological function of the species or
                                                    considered in preparing this final                                                                            reasonable and prudent alternative
                                                                                                            habitat in question, at the appropriate
                                                    policy. All substantive information                                                                           under section 7 consultation, the
                                                                                                            scale. Examples include the North
                                                    provided has been incorporated, where                                                                         regulations state that such an alternative
                                                                                                            American Waterfowl Management Plan,
                                                    appropriate, directly into this final                                                                         must be one ‘‘that the Director believes
                                                                                                            many fisheries management plans,
                                                    policy or is addressed below. The                                                                             would avoid the likelihood of
                                                                                                            recovery plans for federally listed
                                                    comments we received were grouped                                                                             jeopardizing the continued existence of
                                                                                                            species, watershed restoration plans,
                                                    into general issues specifically relating                                                                     listed species or resulting in the
                                                                                                            and State wildlife plans.
                                                    to the draft policy, and are presented                                                                        destruction or adverse modification of
                                                    below along with the Service’s                                                                                critical habitat’’ (50 CFR 402.02). Use of
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                                                                                                            B. Policy Is Based on Existing Authority
                                                    responses to these substantive                                                                                the full mitigation sequence including
                                                                                                            i. ESA Sections 7 and 10
                                                    comments.                                                                                                     avoidance and minimization of impacts
                                                       We received several comments                           Comment (3): Several commenters                     to listed species is consistent with the
                                                    requesting clarification on various                     stated that the mitigation sequence that              purposes and mandates set forth in the
                                                    aspects of the draft policy, including:                 uses ‘‘avoidance’’ cannot be required                 ESA.
                                                    Reporting; monitoring; financial                        under sections 7 and 10 of the ESA,                      Comment (4): Several commenters
                                                    instruments; coordination with States,                  unless it alleviates a jeopardy situation.            suggested compensatory mitigation
                                                    tribes, and local groups; the                           One of the commenters noted that                      cannot be required under section 7 of


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                                                                               Federal Register / Vol. 81, No. 248 / Tuesday, December 27, 2016 / Notices                                            95321

                                                    the ESA, and that there is no authority                 the consultation process, which                          Comment (7): One commenter
                                                    to include such mitigation in reasonable                concludes with the Service’s biological               objected to the phrase ‘‘recovery
                                                    and prudent measures (RPMs) and the                     opinion. In the event a section 7                     measure’’ when discussing section
                                                    accompanying mandatory terms and                        consultation concludes with a jeopardy                7(a)(1) of the ESA. The commenter
                                                    conditions that the Service includes in                 or adverse modification determination,                provided substantial information,
                                                    incidental take statements. Some stated                 the Service will include reasonable and               including a section of the preamble from
                                                    that compensation is limited to                         prudent alternatives (RPAs), when                     the Service’s 1986 interagency
                                                    voluntary actions on behalf of the action               possible, that the action agency can                  cooperation rulemaking (51 FR 19926,
                                                    agency and recommendations on the                       implement to avoid violation of section               June 3, 1986), noting the ESA does not
                                                    part of the Service. One comment stated                 7(a)(2) of the ESA. Options for RPAs can              mandate specific actions under section
                                                    compensation was not appropriate in                     include compensatory mitigation in                    7(a)(1), nor does it authorize the Service
                                                    both RPMs and reasonable and prudent                    order to avoid a jeopardy or adverse                  to mandate how or when Federal
                                                    alternatives (RPAs). Another suggested                  modification situation, as long as they               agencies should implement their section
                                                    that compensation under section 7                       are consistent with the definitions at 50             7(a)(1) responsibilities. Specifically, the
                                                    consultation was appropriate but not                    CFR 402.02. When the Service’s                        commenter said that section 7(a)(1) is
                                                    under section 7(a)(4) conference.                       biological opinion concludes that the                 not a recovery measure, and the policy
                                                    Commenters cited the ESA, its                           agency action would not result in                     failed to properly state the basis for such
                                                    implementing regulations, and the                       jeopardy or adverse modification, the                 a characterization.
                                                    Service’s 1998 Consultation Handbook.                   Service will include reasonable and                      Response: We agree that the directive
                                                       Response: As discussed in sections                   prudent measures (RPMs) to minimize                   under section 7(a)(1) of the ESA does
                                                    4.1.2 and 4.1.3 of this policy,                         any incidental take associated with the               not give the Service authority over other
                                                    compensatory mitigation can play an                     action. As described in the policy,                   Federal agencies, nor does it specifically
                                                    important role in section 7(a)(2)                       minimization of impacts of the taking                 authorize actions to be implemented. It
                                                    consultations and 7(a)(4) conferences.                  on the species may include                            does, however, direct other Federal
                                                    Compensatory mitigation can                             compensation as consistent with the                   agencies to consult with the Service
                                                    appropriately be included as part of an                 ESA implementing regulations. The                     when developing conservation programs
                                                    action subject to consultation, or in                   Service provides technical assistance                 under section 7(a)(1). To this end, the
                                                    reasonable and prudent alternatives to                  during the section 7(a)(2) consultation               policy provides guidance and
                                                    avoid the likelihood of jeopardy, in                    process to help reduce the need for                   recommendations on how Federal
                                                    order to reduce the net adverse effect of               RPMs and RPAs. These measures fall                    agencies may achieve the greatest
                                                    an action on proposed or listed species                 within the ESA’s definition of                        effectiveness when implementing their
                                                    or designated critical habitat. This                    ‘‘conserve,’’ which means ‘‘to use and                section 7(a)(1) obligations.
                                                    policy clarifies those circumstances                                                                             The policy clearly describes the basis
                                                                                                            the use of all methods and procedures
                                                    where it may be appropriate to                                                                                for the use of the term ‘‘recovery
                                                                                                            which are necessary to bring any
                                                    incorporate mitigation into reasonable                                                                        measure’’ when describing section
                                                                                                            endangered species or threatened
                                                    and prudent measures and terms and                                                                            7(a)(1), which comes from the definition
                                                                                                            species to the point at which the
                                                    conditions as part of a section 7(a)(2)                                                                       of the terms ‘‘conserve,’’ ‘‘conserving,’’
                                                                                                            measures provided pursuant to [the
                                                    consultation. For example, throughout                                                                         and ‘‘conservation’’ in section 3 of the
                                                                                                            ESA] are no longer necessary.’’
                                                    this policy, ‘‘compensatory mitigation’’                                                                      ESA. Although the word ‘‘recovery’’ is
                                                    or ‘‘compensation’’ is used to include                     Comment (6): Several commenters                    not used in the definition, it clearly
                                                    any measure that would rectify, reduce,                 expressed concern that the policy would               describes recovery as ‘‘the use of all
                                                    or compensate for an impact to an                       complicate the process for sections 7                 methods and procedures which are
                                                    affected resource. Rectifying the impact                and 10, and cause project delays. The                 necessary to bring any endangered
                                                    means ‘‘repairing, rehabilitating, or                   commenters stated that such delays                    species or threatened species to the
                                                    restoring the affected environment’’ (40                could create increased project costs.                 point at which the measures provided
                                                    CFR 1508.20). Restoring impacted                           Response: The Service respectfully                 pursuant to [the ESA] are no longer
                                                    habitat is a commonly used reasonable                   disagrees. Mitigation provided in                     necessary.’’ Additionally, section 7(a)(1)
                                                    and prudent measure that meets the                      advance of impacts, such as through a                 directs all Federal agencies to ‘‘utilize
                                                    definition of compensatory mitigation in                conservation banking program, can                     their authorities in furtherance of the
                                                    this policy, minimizes the amount or                    expedite project reviews by the Service,              purposes of [the ESA]’’. One of the
                                                    extent of incidental take, and can be                   because the mitigation is already                     stated purposes of the ESA is to
                                                    accomplished consistent with the ESA                    established and has already gone                      ‘‘provide a means whereby the
                                                    and its implementing regulations at 50                  through the due diligence process. Clear              ecosystems upon which endangered and
                                                    CFR part 402.                                           guidance on application of                            threatened species depend may be
                                                       Comment (5): Commenters said the                     compensatory mitigation mechanisms as                 conserved.’’ The intent is that all
                                                    policy’s emphasis on the role of                        provided in this policy, should assist                Federal agencies have a responsibility,
                                                    conservation in the section 7                           Service staff and project proponents                  using their existing authorities, to help
                                                    consultation process is misdirected.                    implement their ESA responsibilities in               recover listed species.
                                                    Section 7(a)(2) does not include a                      a timely fashion. Furthermore,                           Comment (8): One commenter stated
                                                    conservation requirement for Federal                    conducting compensatory mitigation                    the policy should focus only on
                                                    agencies.                                               may assist in the compliance with other               implementation of voluntary mitigation
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                                                       Response: The Service respectfully                   required laws, which may expedite the                 actions under the ESA. The commenter
                                                    disagrees. Section 7(a)(2) requires that                project process. For example,                         noted that mitigation guidance for
                                                    Federal agencies ensure their actions do                compensatory mitigation may lower the                 sections 7 and 10 under the ESA are
                                                    not jeopardize the continued existence                  level of analysis required by NEPA                    provided in the habitat conservation
                                                    of endangered and threatened species or                 (allowing a mitigated environmental                   planning and consultation handbooks.
                                                    result in the destruction or adverse                    assessment/finding of no significant                     Response: This policy provides
                                                    modification of critical habitat. This                  impact instead of an environmental                    greater clarity and detail with regard to
                                                    requirement is accomplished through                     impact statement).                                    mitigation implementation than the


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                                                    95322                      Federal Register / Vol. 81, No. 248 / Tuesday, December 27, 2016 / Notices

                                                    section 7 and habitat conservation                      jeopardize the continued existence of                 decisions regarding listed species. We
                                                    planning handbooks. As stated earlier,                  any endangered or threatened species or               do not include the statement in question
                                                    this policy reflects the many lessons                   adversely modify its critical habitat                 in this final policy; we will address this
                                                    learned by the Service during our more                  guides that process. The Service will                 topic in implementation guidance.
                                                    than 40-year history implementing the                   recommend actions consistent with this                   Comment (13): One commenter stated
                                                    ESA, particularly sections 7 and 10. We                 policy, including consideration of the                the Service has no statutory authority to
                                                    agree that the use of voluntary                         goal of a ‘‘net gain’’ or, at a minimum,              require section 7 consultation on
                                                    mitigation programs and actions that                    ‘‘no net loss.’’ Considering the variety of           candidate or at-risk species or to include
                                                    further the purposes of the ESA should                  actions under consultation, the reasons               such species in HCPs. If the policy
                                                    be encouraged. The development and                      for reinitiation, and the multitude of                pursues a conservation goal in excess of
                                                    implementation of voluntary mitigation                  species covered, it is not possible for the           the Service’s actual regulatory and
                                                    programs should also be effective and                   policy to provide specific details                    statutory authorities, separate guidance
                                                    consistent with other forms of                          regarding the application of such                     should be issued to draw this clear
                                                    mitigation. The policy will guide such                  concepts during the consultation                      distinction, in order to provide
                                                    voluntary efforts to promote consistency                process.                                              complete transparency and direction to
                                                    in the same way it will guide mitigation                   Comment (12): One commenter was                    both Service staff and others in actual
                                                    efforts in regulatory processes.                        concerned about section 4.7 (Effective                implementation.
                                                       Comment (9): One commenter                           Conservation Outcomes and                                Response: The commenter is correct
                                                    recommended we add ‘‘and applicants’’                   Accountability Through Monitoring,                    that the Service cannot require section
                                                    following ‘‘Federal agencies’’ in two                   Adaptive Management, and                              7 consultation for candidate or at-risk
                                                    sentences in section 4.1.2.                             Compliance) of the draft policy, which                species. ESA section 7 regulations
                                                       Response: Applicants are not                         states that: ‘‘A process for achieving                provide for a conference between a
                                                    typically involved in the establishment                 remediation or alternative mitigation for             Federal action agency and the Service
                                                    of mitigation programs such as                          compensatory mitigation failures                      for actions that are likely to jeopardize
                                                    conservation banks and in-lieu fee                      beyond the control of the responsible                 the continued existence of a proposed
                                                    programs; moreover, the responsibility                  party (e.g., unforeseen circumstances)                species or likely to result in destruction
                                                    for ensuring a Federal action does not                  must be clearly described in the                      or adverse modification of proposed
                                                    violate section 7(a)(2) of the ESA                      mitigation instrument, biological and/or              critical habitat (50 CFR 402.10).
                                                    ultimately lies with the Federal agency                 conference opinion, or permit.’’ The                  Including candidate or other at-risk
                                                    proposing the action. We did not make                   commenter asked the Service to the                    species in conferences would be
                                                    the suggested change.                                   clarify the statement to say that                     voluntary on the part of the Federal
                                                       Comment (10): One commenter                          biological opinions issued in connection              agency; however, it is encouraged by the
                                                    thought the Service should recognize                    with section 7 consultations with                     Service and through this policy, and
                                                    the importance of the Habitat                           Federal agencies, other than the Service              other Federal agencies may voluntarily
                                                    Conservation Plan (HCP) Assurances                      itself, are not required to provide for               conference to expedite possible future
                                                    (‘‘No Surprises’’) Rule (63 FR 8859,                    unforeseen circumstances, saying that                 re-consultations. This is consistent with
                                                    February 23, 1998) and explicitly state                 such a requirement is associated with                 ESA goals of recovering listed species
                                                    that remediation and alternative                        ESA section 10(a) HCPs, but is not                    and, ideally, avoiding the need to list
                                                    mitigation will not erode protections                   required in the context of section 7                  species because threats to them have
                                                    afforded by the No Surprises Rule.                      consultations by the section 7                        been addressed. Further, intra-Service
                                                       Response: The Service does recognize                 handbook, or existing law or                          consultations and conferences will
                                                    the importance of the No Surprises Rule                 regulations. They were concerned the                  consider effects of the Service’s actions
                                                    in the section 10 process, and agrees                   current language of the draft policy                  on listed, proposed, and candidate
                                                    that remediation and alternative                        could be misinterpreted to mean that                  species. Candidate species are treated as
                                                    mitigation should not erode protections                 section 7 biological opinions must                    if they are proposed for listing for
                                                    afforded by the No Surprises Rule. The                  include alternative mitigation for                    purposes of conducting internal Service
                                                    Service works with applicants to                        compensatory mitigation failures                      conferencing.
                                                    develop HCPs that include                               ‘‘beyond the control of the responsible                  Additionally, under section 10 of the
                                                    contingencies for mitigation that does                  party,’’ and this policy should not                   ESA, HCPs are voluntary and developed
                                                    not function as expected, including                     change the section 7 requirements for                 by the applicant, in consultation with
                                                    remediation or alternative mitigation.                  avoiding jeopardy to the species and                  the Service. It is the applicant who
                                                    The No Surprises Rule is not eroded in                  adverse modification of critical habitat.             decides which candidate or non-listed
                                                    this case, because these contingencies                     Response: The development and                      at-risk species they wish to include. The
                                                    are included in the HCPs and agreed                     implementation of mitigation programs                 Service has found that many applicants
                                                    upon ahead of time.                                     should be effective and consistent                    elect to include at-risk species to receive
                                                       Comment (11): One commenter                          among all forms of mitigation offered in              ‘‘no surprises’’ assurances and preclude
                                                    requested clarification of how the draft                sections 7 and 10 of the ESA, regardless              the need to amend the associated
                                                    policy would apply to reinitiation of                   of whether the mitigation is voluntary or             incidental take permit, should the
                                                    consultations under section 7(a)(2) of                  required. Planning for unforeseen                     species become listed in the future. The
                                                    the ESA. Specifically, what would be                    circumstances is part of effective                    voluntary inclusion of at-risk species in
                                                    different, especially with regard to the                mitigation. The policy will guide efforts             both the conference and HCP processes
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                                                    concepts of ‘‘net gain’’ and ‘‘no net                   to promote consistency, and Service                   are proactive approaches to reduce the
                                                    loss?’’                                                 staff will work with applicants and                   need for future listing of the species.
                                                       Response: During the reinitiation                    Federal agencies to explain how all                      Comment (14): One commenter said
                                                    process under section 7(a)(2), the                      mitigation standards can be                           the Service mixes the concepts of
                                                    concepts under this policy and their                    incorporated into their mitigation plans.             voluntary conservation
                                                    application to any consultation do not                  Nevertheless, the ESA and its                         recommendations that can be provided
                                                    change. The ESA’s directive to agencies                 implementing regulations ultimately                   under ESA section 7(a)(1) with
                                                    to ensure any action is not likely to                   determine how the Service makes                       requirements under ESA section 7(a)(2).


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                                                                               Federal Register / Vol. 81, No. 248 / Tuesday, December 27, 2016 / Notices                                           95323

                                                    They also commented that neither                        This policy applies to compensatory                   under section 10(a)(1)(B) of the ESA is
                                                    standard under ESA section 10 imposes                   mitigation for all species and habitat                a logical nexus to advise them about
                                                    a ‘‘no net loss’’ requirement.                          protected under the ESA and for which                 conservation opportunities associated
                                                       Response: Federal agencies are                       the Service has jurisdiction. The April               with these actions. The policy provides
                                                    directed to consult with the Service                    10, 2008, rule (73 FR 19594) applies to               a framework for such recommendations
                                                    under ESA section 7(a)(1) to assist their               impacts to aquatic resources permitted                and does not otherwise alter or
                                                    development of programs to conserve                     by section 404 of the Clean Water Act.                substitute for the regulations
                                                    listed species. Technical assistance to                    Comment (17): One commenter said                   implementing ESA sections 7(a)(2) and
                                                    agencies with actions that require                      that issuance of this policy violates the             10(a)(1)(B). Authority to make
                                                    compliance with section 7(a)(2) is a                    Administrative Procedure Act (APA; 5                  recommendations to mitigate impacts to
                                                    logical nexus for the Service to advise                 U.S.C. subchapter II) or the Regulatory               resources covered by the ESA is
                                                    Federal agencies about section 7(a)(1)                  Freedom Act (RFA).                                    provided by that statute. Promulgation
                                                    conservation opportunities associated                      Response: The Service complied with                of this policy is consistent with not only
                                                    with these actions. Similarly, technical                all necessary requirements in publishing              the ESA, but also the Office of
                                                    assistance to non-Federal applicants for                the final policy. We are unaware of the               Management and Budget’s guidelines on
                                                    incidental take permits under section                   Regulatory Freedom Act but for the                    interpretive policies. Those guidelines
                                                    10(a)(1)(B) is a logical nexus to advise                purposes of this response, will assume                state that public policies, such as this
                                                    them about conservation opportunities                   the commenter is referring to the                     one, guide administrative processes
                                                    associated with these actions. This                     Regulatory Flexibility Act (RFA) (5                   while increasing an agency’s
                                                    policy provides a framework for such                    U.S.C. 601 et seq.). The policy does not              predictability to external parties.
                                                    recommendations, and does not                           require compliance with the APA or the                   Comment (20): One commenter noted
                                                    otherwise alter or substitute for                       RFA because it is not a regulatory                    the ESA imposes different standards
                                                    standards under the ESA or the                          document.                                             and prohibitions with respect to pre-
                                                    regulations implementing ESA sections                      Comment (18): One commenter was                    listing versus post-listing activities for
                                                    7(a)(2) and 10(a)(1)(B). Though not                     concerned that voluntary mitigation                   candidate conservation agreements with
                                                    required, striving for ‘‘no net loss’’ in               could be abused if an agency were to                  assurances (CCAAs) and safe harbor
                                                    the status of the species’ conservation is              unreasonably withhold action for the                  agreements (SHAs). By incorporating
                                                    an appropriate mitigation goal, and may                 purpose of applying undue pressure to                 the net conservation benefit standard
                                                    be to the benefit of the other agency or                force an applicant to volunteer                       used for SHAs, the Service fails to
                                                    private landowner in greater future                     mitigation measures. They said the                    account for these differences and
                                                    regulatory certainty or expedited future                policy should acknowledge and protect                 conflates its treatment of pre-listing and
                                                    compliance (e.g., including ‘‘at-risk’’                 against this possibility.                             post-listing activities.
                                                    species).                                                  Response: We agree with the                           Response: The Service does not
                                                                                                            commenter that such an approach by                    intend to change the requirements for
                                                    ii. Authorities—Other                                   Service or other agency staff would be                CCAAs and SHAs. The intent of the
                                                       Comment (15): One commenter                          unacceptable. It would also be contrary               policy is to describe the requirements
                                                    requested that we revise section 5.3 of                 to this policy and existing authority.                for converting either of these agreements
                                                    the draft policy to provide more detail                 Processes established by applicable                   to a mitigation agreement should a
                                                    about how compensatory mitigation                       statutes and regulations remain in effect             landowner desire to make their
                                                    would work in relation to section 4(d)                  and are not superseded by this policy.                conservation more permanent and use it
                                                    rules for threatened species.                              Comment (19): One commenter stated                 for mitigation.
                                                       Response: This policy is intended to                 that the policy goes beyond the
                                                    be general in nature. More detailed                     authorities granted the Service in both               iii. NEPA
                                                    guidance documents covering specific                    sections 7 and 10 of the ESA. The other                  Comment (21): One commenter said
                                                    activities may be developed in the                      authorities relied on by the Service in               that the policy should recommend that
                                                    future, such as for rules promulgated                   adopting this policy, including the                   the Service comment on NEPA
                                                    under section 4(d) of the ESA.                          Presidential directives and memoranda,                documents apart from, or in addition to,
                                                       Comment (16): One commenter said                     cannot legally form the basis for the                 section 7 consultation.
                                                    that it was unclear how the policy                      promulgation of the policy.                              Response: We agree that application
                                                    would ‘‘replace’’ rules promulgated by                     Response: This policy is designed to               of the Service’s authority to make
                                                    other Federal agencies for guiding                      improve and clarify implementation of                 advisory comments and
                                                    implementation of Federal laws such as                  the ESA. Towards that end, it seeks to                recommendations under NEPA provides
                                                    the Clean Water Act (33 U.S.C. 1251 et                  provide a framework for effecting                     a powerful capability for influencing
                                                    seq.) and natural resources such as                     mitigation that reflects a permissible                conservation of a broad array of natural
                                                    ‘‘waters of the United States.’’ They                   reading of the law, while fulfilling the              resources while helping agencies and
                                                    requested clarification of how the April                conservation purposes of the ESA.                     proponents identify appropriate project
                                                    10, 2008, joint rulemaking of the U.S.                  Federal agencies are directed to consult              alternatives. The Service will continue
                                                    Army Corps of Engineers (USACE) and                     with the Service under ESA section                    to comment on NEPA documents in
                                                    the Environmental Protection Agency                     7(a)(1) to assist their development of                addition to conducting section 7
                                                    (EPA) (73 FR 19594) applies to ESA                      programs to conserve listed species. A                consultations whenever warranted. Our
                                                    actions and what the impact of the                      mitigation framework may provide                      application of NEPA in a mitigation
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                                                    policy would be.                                        valuable expertise for an agency                      context is covered in the Service
                                                       Response: The Service has added                      considering their section 7(a)(1)                     mitigation policy (81 FR 83440,
                                                    clarification to this final policy that it              responsibilities. Additionally, a                     November 21, 2016).
                                                    does not replace or alter the referenced                framework may assist agencies with                       Comment (22): One commenter said
                                                    April 10, 2008, rule (73 FR 19594).                     actions that require compliance with                  the policy would increase the time and
                                                    Processes established by applicable                     section 7(a)(2) of the ESA. Similarly,                resources required by Federal agencies
                                                    statutes and regulations remain in effect               technical assistance to non-Federal                   to comply with section 7 of the ESA and
                                                    and are not superseded by this policy.                  applicants for incidental take permits                by proponents of any projects that may


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                                                    95324                      Federal Register / Vol. 81, No. 248 / Tuesday, December 27, 2016 / Notices

                                                    adversely affect an at-risk species. The                conservation banking and in-lieu fee                  compensatory mitigation programs or
                                                    commenter said that the policy meets                    programs.                                             projects, as appropriate under the
                                                    the definition of a major Federal action                   Response: The Service’s mitigation                 authority of the ESA. The use of the
                                                    defined at 40 CFR 1508.18 and should                    policy (81 FR 83440, November 21,                     terms ‘‘must’’ and ‘‘shall’’ in the policy
                                                    be analyzed in an environmental impact                  2016) sets a mitigation planning goal of              are directed toward the Service’s
                                                    statement to comply with NEPA.                          ‘‘net conservation gain,’’ which seeks to             authority in implementing the ESA.
                                                       Response: As explained in more detail                improve the status of affected resources,                The policy is broadly framed to
                                                    below, neither of the two alternatives                  and, at a minimum, maintain the status                encompass all species covered under
                                                    evaluated in the NEPA assessment                        of those resources (i.e., ‘‘no net loss’’).           the ESA, but does not result in any
                                                    would be expected to result in                          Adhering to the standards discussed in                particular actions concerning specific
                                                    significant effects to the human                        section 5 of this policy (Compensatory                properties. Additionally, this policy
                                                    environment within the meaning of                       Mitigation Standards) is the best way to              substantially advances a legitimate
                                                    NEPA and the CEQ regulations.                           attain this goal, although we recognize               government interest (conservation of
                                                    Although we describe potential actions                  that achieving a net conservation gain                species and their habitats) and does not
                                                    and consequences that could flow from                   will not be possible in every                         present a barrier to all reasonable and
                                                    each of the alternatives, the nature and                circumstance, and in those cases will                 expected beneficial use of private
                                                    scope of environmental consequences                     strive for ‘‘no net loss.’’                           property.
                                                    that are likely to result from any of the                  Comment (24): One commenter                           Comment (25): One commenter stated
                                                    alternatives would depend on a variety                  strongly opposed the goal of a ‘‘net                  that the Service does not explain how it
                                                    of intervening circumstances that are                   gain’’ in the policy, stating the Service             will determine or impose mitigation
                                                    impossible to identify in this analysis.                lacks the underlying statutory authority              measures to meet a mitigation target that
                                                                                                            to require it under the ESA and it will               is somewhere between maintaining and
                                                    However, we find there is no basis to
                                                                                                            likely result in an uncompensated                     improving the status of affected
                                                    infer that any such effects, even viewed
                                                                                                            taking in violation of the U.S.                       resources.
                                                    generously, would be significant.                                                                                Response: The Service, being national
                                                                                                            Constitution. The commenter stated that
                                                       In addition, because of the                          the obligations under the policy, with                in scope of operations, wrote this policy
                                                    programmatic nature of the draft policy                 the use of mandatory language such as                 to allow for further clarification on a
                                                    and the breadth of activities under                     ‘‘must’’ and ‘‘shall,’’ constitute a                  regional and local scale. This will allow
                                                    consideration, the analyses of                          rulemaking.                                           the Service to work with Federal
                                                    environmental effects must be very                         Response: This policy adopts                       agencies and applicants to develop
                                                    general, addressing the consequences                    mitigation principles established by the              mitigation measures that meet objectives
                                                    from each alternative at a programmatic                 Service’s mitigation policy (81 FR                    based on local conditions and tailored
                                                    scale. Regardless of the alternative, we                83440, November 21, 2016) and                         to the specific species that are impacted.
                                                    anticipate that the majority of the                     establishes compensatory mitigation                   A less flexible policy could cause rigid
                                                    specific actions covered under the                      standards to guide the use of                         adherence to a protocol, which may be
                                                    policy would receive additional project-                compensatory mitigation under the                     more suitable in one region, or for one
                                                    specific NEPA review, either by other                   ESA. The mitigation goal of ‘‘net gain’’              species, versus another.
                                                    Federal agencies during their project                   or, at a minimum, ‘‘no net loss,’’ is to                 Comment (26): Commenters stated
                                                    review or by the Service during review                  assist the Service and its partners in                that the ESA requirements to avoid
                                                    of an ESA section 10(a)(1)(B)                           developing mitigation programs and                    jeopardy or adverse modification and to
                                                    application. Those project-specific                     projects to further the purposes of the               minimize the impact of any take of
                                                    reviews would include development of                    ESA. One of the stated purposes under                 listed species do not equate to the no
                                                    appropriately detailed alternatives                     section 2 of the ESA is to ‘‘provide a                net loss or net gain goal articulated in
                                                    based on information necessary to                       means whereby the ecosystems upon                     the draft policy, and the Service has no
                                                    complete informed and meaningful                        which endangered and threatened                       authority under the ESA to require
                                                    effects analyses. That information (e.g.,               species depend may be conserved.’’                    measures that will result in a ‘‘net gain’’
                                                    location, timing, duration, and affected                Section 3 of the ESA defines                          or ‘‘no net loss.’’ In addition, one
                                                    resources, etc.) is currently not                       ‘‘conserved’’ as ‘‘the use of all methods             commenter said a ‘‘net gain’’ or ‘‘no net
                                                    available. More detailed information is                 and procedures which are necessary to                 loss’’ goal is incompatible with well-
                                                    contained in the environmental                          bring any endangered species or                       established standards for administering
                                                    assessment, which is available on the                   threatened species to the point at which              sections 7 and 10 of the ESA.
                                                    Internet at http://www.regulations.gov at               the measures provided pursuant to this                   Response: Action agencies or
                                                    Docket Number FWS–HQ–ES–2015–                           Act are no longer necessary.’’ This                   proponents may adopt Service
                                                    0165.                                                   conservation purpose of the ESA is                    recommendations provided under this
                                                    C. Net Conservation Gain/No Net Loss                    served by the policy’s goal of a ‘‘net                policy as part of their proposed actions,
                                                                                                            gain’’ when developing compensatory                   but electing to do so does not change the
                                                       Comment (23): One commenter stated                   mitigation.                                           applicable standards under the ESA or
                                                    the policy should more consistently                        In this context, the policy is not a               otherwise alter the processes prescribed
                                                    emphasize throughout that                               legally binding rulemaking; the ESA and               under the ESA and its regulations.
                                                    ‘‘conservation’’ is the goal for protected              its implementing regulations determine                   The Service does not view a ‘‘net
                                                    species and their habitat, using our full               the Service’s decisions for listed                    gain’’ or ‘‘no net loss’’ goal as
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                                                    suite of authorities including the ESA.                 species. The policy will not effectively              incompatible with well-established
                                                    While ‘‘no net loss’’ is appropriate                    compel a property owner to suffer a                   standards for administering sections 7
                                                    under certain statutes like the Clean                   physical invasion of property and will                and 10 of the ESA. Instead, it is
                                                    Water Act (as acknowledged in the                       not deny all economically beneficial or               complementary to the ESA requirements
                                                    April 10, 2008, joint rulemaking of                     productive use of the land or aquatic                 to avoid jeopardizing the continued
                                                    USACE and EPA (73 FR 19594), for                        resources. This policy provides                       existence of any listed species, or
                                                    example), ‘‘no net loss’’ is a lower                    consistent standards for the Service, and             destroying or adversely modifying any
                                                    standard than what they have sought in                  its partners, to apply when developing                designated critical habitat. To achieve


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                                                                               Federal Register / Vol. 81, No. 248 / Tuesday, December 27, 2016 / Notices                                          95325

                                                    this goal, an action agency or applicant                   Response: This policy clearly states               circumstances where the action may
                                                    need not abandon the actions they have                  that the mitigation planning goal is a                require additional compliance review
                                                    taken to avoid jeopardizing the                         goal, not a requirement. We expect                    under the ESA. In addition, the policy
                                                    continued existence of any listed                       further clarification on a regional and               states that it does not apply where the
                                                    species, or destroying or adversely                     local scale to reiterate this distinction.            Service has already agreed in writing to
                                                    modifying any designated critical                          Comment (29): One commenter stated                 mitigation measures for pending
                                                    habitat. Instead, they may complement                   the goal of ‘‘no net loss’’ is admirable              actions, except where new activities or
                                                    these actions by including additional                   and adequate with respect to the                      changes in current activities associated
                                                    measures that allow their action to reach               Presidential Memorandum (80 FR                        with those actions would result in new
                                                    the ‘‘net gain’’ or ‘‘no net loss’’ goal.               68743, November 6, 2015); however, the                impacts, or where new authorities or
                                                       Comment (27): One commenter said                     commenter is concerned this new                       failure to implement agreed-upon
                                                    by encouraging Service staff to work                    language may unfairly prohibit or                     recommendations warrant new
                                                    with applicants to implement ‘‘no net                   require mitigation for agricultural                   consideration regarding mitigation.
                                                    loss’’ or ‘‘net conservation gain,’’ the                actions without due process of                        Service offices may elect to apply this
                                                    judgment of applications will no longer                 assessment.                                           policy to actions that are under review
                                                    be standardized. They said the policy                      Response: The Service will consider                as of its effective date (see DATES,
                                                    does not state how conservation gain                    the facts specific to the actions that we             above).
                                                    will be measured, whether on a                          review under our authorities. This                       Comment (32): The draft policy does
                                                    numerical basis or under what                           policy does not provide for the Service               not include any de minimus size
                                                    circumstances the Service will make a                   to categorically deny development or                  consideration. While consultation
                                                    qualitative judgment regarding the level                agricultural activities. Instead, our                 considers the extent of potential impacts
                                                    of mitigation that achieves this                        decisions and opinions on those                       to ESA-listed species, the draft policy
                                                    standard.                                               activities will be guided by relevant                 does not. It talks in general terms about
                                                                                                            statutes and regulations.                             credit valuation and ratios, but at some
                                                       Response: This policy is national in                    Comment (30): One commenter said
                                                    scope, and it is beyond the scope of the                                                                      point, there should be a consideration of
                                                                                                            the sentence, ‘‘Losses of habitat that                a de minimus project size to which this
                                                    policy to provide specific quantifiable                 require many years to restore may be
                                                    measures to achieve a ‘‘net conservation                                                                      draft policy would not apply.
                                                                                                            best offset by . . . preservation of                     Response: The policy is intended to
                                                    gain’’ or specify the methodology for                   existing habitat . . .,’’ is counter to the           guide compensatory mitigation projects
                                                    assessing or measuring the ‘‘net                        ‘‘no net loss policy.’’                               for listed and at-risk species regardless
                                                    conservation gain.’’ The Service’s                         Response: The entire sentence reads,               of the scope, magnitude, or size of the
                                                    mitigation goal is to achieve a ‘‘net                   ‘‘Losses of habitat that require many                 project. As such, it would not be
                                                    conservation gain’’ or, at a minimum,                   years to restore may best be offset by a              reasonable to attempt to define ‘‘de
                                                    ‘‘no net loss’’ of the affected resources.              combination of restored habitat,                      minimis’’ limits for the application of
                                                    The policy provides the framework for                   preservation of existing high-quality                 the policy that would cover all species
                                                    formulating compensatory mitigation                     habitat, and improved management of                   and mitigation projects across the
                                                    measures to achieve this goal. The                      existing habitat.’’ It is the combination             country. However, step-down guidance
                                                    geographical and ecological breadth of                  and ratios of these three habitat                     derived from this policy for particular
                                                    this policy’s coverage combined with                    mitigation types that can create a ‘‘no               species would be more specific for the
                                                    the variation in project and impact types               net loss’’ scenario. Improved                         biological needs of the species and
                                                    affecting species and habitats                          management can create an immediate                    therefore likely consider factors related
                                                    nationwide make the detailed                            conservation benefit and habitat                      to the scope of compensatory mitigation
                                                    specifications for calculating ‘‘no net                 restoration creates a long-term                       projects.
                                                    loss’’ or ‘‘net gain’’ impossible to                    conservation benefit, while preservation
                                                    include. Such determinations will either                of high quality habitat protects existing             E. Scope of the Policy
                                                    be made on a case-by-case basis or will                 habitat from being lost. Long-term land                  Comment (33): One commenter said
                                                    be addressed through additional                         management is included in the                         that the Service should identify
                                                    guidance or planning processes.                         durability standard.                                  activities and projects that are exempt
                                                       Comment (28): Commenters said the                                                                          from the policy.
                                                    policy should be revised to help Service                D. Applicability                                         Response: We agree that the scope of
                                                    staff avoid crossing the line between                      Comment (31): Several commenters                   coverage should be clearly described
                                                    ‘‘encouraging’’ Federal agencies and                    had concerns about the applicability of               and have listed those circumstances
                                                    applicants to achieve ‘‘a net gain or, at               the policy to existing mitigation                     when the policy does not apply in
                                                    a minimum, no net loss in the                           programs, HCPs and associated                         section 3, Scope.
                                                    conservation of listed species’’ and                    incidental take permits, and ongoing                     Comment (34): One commenter said
                                                    incorrectly representing to Federal                     section 7 consultations that were                     that it is important for the policy to
                                                    agencies and applicants that they are                   initiated between the Federal agency                  address species protected under
                                                    somehow ‘‘required’’ to achieve a ‘‘net                 and the Service prior to the effective                additional Federal laws, including the
                                                    gain’’ or, at a minimum, ‘‘no net loss’’                date of the final policy. The comments                Bald and Golden Eagle Protection Act
                                                    in the conservation of listed species.                  requested clarity that the policy does                (BGEPA; 16 U.S.C. 668–668d) and the
                                                    Commenters added that Service staff                     not apply to existing projects or projects            Migratory Bird Treaty Act (MBTA; 16
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                                                    should be instructed by the policy to                   currently under development, including                U.S.C. 703–712).
                                                    clearly disclose to Federal agencies and                the associated real estate and financial                 Response: We agree that conservation
                                                    applicants at all times that section 7 of               assurances.                                           of the resources under BGEPA and
                                                    the ESA does not require such a ‘‘no net                   Response: The policy states that it                MBTA is important. However, those
                                                    loss in the conservation of listed                      applies to Federal and non-Federal                    resources, and processes specified by
                                                    species’’ or a ‘‘net gain’’ in relation to              actions permitted or otherwise                        those Acts and any implementing
                                                    the ‘‘no jeopardy’’ and ‘‘no adverse                    authorized or approved prior to                       regulations or guidance, are beyond the
                                                    modification’’ standards.                               issuance of the policy only under                     scope of this policy. We discuss these


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                                                    95326                      Federal Register / Vol. 81, No. 248 / Tuesday, December 27, 2016 / Notices

                                                    authorities in the Service mitigation                   partnerships with the States and tribes               them in the action, if possible. This is
                                                    policy (81 FR 83440, November 21,                       in conservation of fish and wildlife                  a collaborative approach to
                                                    2016).                                                  resources. This final policy aims to                  conservation, consistent with relevant
                                                       Comment (35): One commenter said                     strengthen these partnerships and does                statutes and regulations, and can help
                                                    that the policy should be limited to                    not extend the Service’s jurisdiction                 offset the cumulative effects of many
                                                    listed threatened species, listed                       over at-risk species. We have included                actions on the landscape.
                                                    endangered species, candidate species,                  at-risk species, as appropriate, in the                  Comment (39): One commenter said
                                                    and designated critical habitat.                        policy to further these efforts in                    the draft policy should provide
                                                       Response: We agree that the                          preventing the decline of species to the              additional guidance on how landscape-
                                                    commenter’s list of covered resources is                point that protection under the ESA is                scale indirect effects would be evaluated
                                                    similar to our description of covered                   necessary.                                            for buffers surrounding existing
                                                    resources in section 3, Scope, of this                                                                        mitigation sites, including mitigation
                                                    policy. There we state that the policy                  G. Equivalent Standards                               banks. They recommend clarification
                                                    applies to all species and habitat                         Comment (37): One commenter                        regarding the process when additional
                                                    protected under the ESA and for which                   thought the policy should emphasize                   compensation may be necessary for
                                                    the Service has jurisdiction. Endangered                that there are no prescribed standards                landscape-scale indirect effects to
                                                    and threatened species, species                         that will dictate mitigation but that                 existing mitigation sites.
                                                    proposed as endangered or threatened,                   every situation will be considered fact-                 Response: It is difficult at this time to
                                                    designated critical habitat, and                        specific and flexible, and be based upon              provide specific guidance on buffers
                                                    proposed critical habitat are the primary               the voluntary actions of the proponent.               and indirect effects given the potential
                                                    focus of this policy. We also state that                   Response: The Service has written                  universe of actions that could arise and
                                                    candidates and other at-risk species                    this policy in a manner that facilitates              fact-specific situations of each
                                                    would benefit from adherence to this                    further clarification on a regional scale.            mitigation site. We declined to provide
                                                    policy, and encourage all Service                       As with many of the decisions made in                 such guidance in this policy.
                                                    programs to develop programs and tools                  impact analysis, determination of when                   Comment (40): Some commenters
                                                    in cooperation with States and other                    and what type of mitigation should be                 were concerned that the landscape-level
                                                    partners.                                               implemented occurs on a project-by-                   approach to mitigation planning would
                                                                                                            project basis, under the authority at                 focus too narrowly on certain species to
                                                    F. At-Risk Species                                      hand, with information most                           the detriment of others, or that
                                                       Comment (36): Several commenters                     appropriate for the site or region of                 purchasing credits from a conservation
                                                    suggested only listed species should be                 impact. Section 7 of this policy,                     bank or in-lieu fee program would not
                                                    covered by the policy, and ‘‘at-risk’’                  Compensatory Mitigation Mechanisms,                   equate to replacing lost habitat.
                                                    species references should be removed.                   allows the Service flexibility in the type               Response: The goal of a landscape-
                                                    Commenters suggested there is no ESA                    of mitigation mechanism used to meet                  scale approach to mitigation is to ensure
                                                    basis for including at-risk species in the              this need. Section 5 of the policy,                   functionally successful compensatory
                                                    policy, that no standards exist for the                 Compensatory Mitigation Standards,                    mitigation efforts for the habitats or
                                                    definition of at-risk species, and that it              describes the standards we will require               species under consideration. While no
                                                    would create additional burdens on the                  or recommend that all mechanisms                      project or habitat benefits all species all
                                                    public. One comment requested                           meet.                                                 the time, using a landscape context to
                                                    clarification of the jurisdiction of the                                                                      frame mitigation actions should
                                                    Service, States, and tribes regarding at-               H. Landscape-Scale Approach                           reinforce functionality at the
                                                    risk species.                                              Comment (38): Individual actions that              appropriate scale (i.e., tract, regional,
                                                       Response: The Service has addressed                  harm ESA-listed, proposed, and at-risk                range) to benefit the target resource, and
                                                    at-risk species through implementation                  species must not be discounted or                     in most cases, other resources/species
                                                    of the ESA under many voluntary                         minimized because they are considered                 that also rely on that functional system.
                                                    programs. Often partners (e.g., other                   to impart only small or moderate                      Using a landscape approach will help
                                                    agencies, private landowners)                           impacts within the broader context of                 ensure the compensatory mitigation
                                                    voluntarily consider ‘‘at-risk’’ species                the landscape. The policy should                      measures will meaningfully offset
                                                    for greater regulatory certainty and to                 consider how these site-specific impacts              adverse effects to a species/habitat in a
                                                    expedite future compliance if these ‘‘at-               could be identified and accounted for                 way that is ecologically sustainable over
                                                    risk’’ species are later listed under the               prior to development of the most                      the long term. This is a more holistic
                                                    ESA. Under section 6 of the ESA, the                    appropriate compensatory approach.                    approach to ensuring the functionality
                                                    Service partners with the States to fund                   Response: The Service agrees that                  of the ecosystems on which federally
                                                    research and recovery actions on listed                 small or moderate impacts that have                   listed and at-risk species depend.
                                                    and at-risk species. Candidate                          cumulative effects are important to                      Comment (41): One commenter
                                                    conservation agreements with                            address. In each situation, the project               recommends that the Service consider
                                                    assurances (CCAAs) are a highly                         effects analyses should identify all                  revising the guidance provided under
                                                    successful program for private                          effects to the species under                          section 5.1.2 of the draft policy to
                                                    landowners providing voluntary                          consideration, as well as measures to                 discuss not only economies of scale
                                                    conservation for at-risk species. Many                  avoid, minimize, and compensate                       associated with conservation banks and
                                                    HCPs under section 10 of the ESA also                   adverse effects. These analyses can                   small impacts, but also to state that
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                                                    include voluntary coverage for at-risk                  characterize repeated, ongoing actions                large-scale impacts require large-scale
                                                    species. These and other proactive                      that may affect a species at a larger                 mitigation and such development
                                                    efforts for at-risk species, including our              scale, and can help inform recovery                   projects have the potential to create
                                                    draft Policy Regarding Voluntary                        efforts at a local or regional level.                 landscape-scale conservation benefit for
                                                    Prelisting Conservation Actions (79 FR                  Ideally, the project proponent and the                species, which may not be best achieved
                                                    42525, July 22, 2014), focus on                         Service would also identify                           through banks.
                                                    preventing the need to list species under               opportunities to support recovery/                       Response: The Service agrees large-
                                                    the ESA. The Service also values its                    conservation of that species and include              scale projects have the potential to


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                                                                               Federal Register / Vol. 81, No. 248 / Tuesday, December 27, 2016 / Notices                                          95327

                                                    provide large-scale mitigation measures                 of a proposed project. Instead, it should             revision. This is critical to mitigation
                                                    to offset adverse effects and ideally                   base requirements for landscape-scale                 success.
                                                    contribute to recovery. The examples                    mitigation on demonstrable connections                   Bundled or stacked credits cannot be
                                                    given in section 5.1.2 of the draft policy              between truly foreseeable or predictable              unbundled or unstacked to offset the
                                                    are compensatory mitigation programs                    impacts, rather than speculative                      effects of multiple projects but can only
                                                    that can be established in advance of                   projections of habitat or range                       be used to offset the effects of a single
                                                    impacts, such as conservation banking                   modifications due to climate change.                  project. Once a unit of habitat is used
                                                    or in-lieu fee programs. A large-scale                     Response: The Service agrees that                  as mitigation for one project, regardless
                                                    mitigation project implemented in                       compensatory mitigation must be based                 of the number of listed species it
                                                    advance of impacts will likely offset the               on the best available science, and have               supports, it cannot be used as mitigation
                                                    impacts of multiple projects, and is                    a rational connection between project                 a second time.
                                                    essentially a conservation bank.                        effects and proposed mitigation                          Comment (46): One comment
                                                       Comment (42): One commenter stated                   measures. The landscape approach                      suggested that it is unclear why the
                                                    that landscape-scale mitigation is                      provides the context within which to                  required inclusion of adjacent
                                                    unauthorized and unfeasible.                            frame that connection. As our                         ecosystems and human systems, which
                                                    Landscape-scale impact evaluations and                  understanding of species’ needs,                      is how landscapes are defined, into
                                                    required mitigation measures on this                    habitats, and climate change increases,               conservation plans will provide a
                                                    basis imports a policy objective into                   we will be better able to address                     benefit to species that do not require
                                                    official ESA decisions in excess of                     potential future needs of species and                 those habitats or ecosystems for
                                                    statutory authority and is incongruent                  their habitats. In planning mitigation                survival. The Service should clarify
                                                    with the ESA.                                           strategies, it is also important to                   whether it intends mitigation consistent
                                                       Response: The goal of the ESA is to                  recognize uncertainties in future                     with a landscape-scale approach to
                                                    conserve endangered and threatened                      conditions, including habitats, water                 require grouping of permittee proposed
                                                    species and the ecosystems on which                     supplies, temperatures, etc. Those                    compensatory mitigation projects or
                                                    they depend. Through science and                        uncertainties should be built into the                grouping of project proponents, and in
                                                    technological advances, conservation                    mitigation strategies to ensure that the              situations where this is desired, the
                                                    has more tools than ever to effectively                 proposed mitigation benefits adequately               benefits should be explained.
                                                    evaluate land use, populations,                         offset adverse effects over the long term.               Response: Including consideration of
                                                    hydrology, and so forth, at scales                      The policy does not address the                       adjacent ecosystems and human systems
                                                    relevant to the needs of federally listed               designation of critical habitat; the                  into a landscape approach to
                                                    and at-risk species. To ensure the most                 regulations for the designation of critical           compensatory mitigation recognizes the
                                                    effective mitigation measures for these                 habitat are found at 50 CFR 424.12.                   potential effects those systems may have
                                                    resources, it is critical to put them in an                Comment (45): One commenter said                   on the species and habitats under
                                                    ecologically functional context, i.e., a                the focus on landscape-scale                          consideration. This is especially
                                                    landscape. That does not mean every                     conservation is laudable, but the draft               important in ensuring long-term
                                                    action requires advanced, ecosystem-                    policy introduces new processes and                   ecologic functioning of the
                                                    level quantitative evaluations, but rather              standards that could make achieving                   compensatory mitigation that benefits
                                                    that the effects of an action and                       this goal more costly, time-consuming,                the species/habitat. We are increasingly
                                                    mitigation measures to offset those                     and burdensome. The policy should                     aware that adjacent landscapes and
                                                    effects take into consideration truly                   include ways to incentivize the creation              human management actions can
                                                    functional strategies that will continue                of landscape-scale mitigation projects                significantly affect what was perceived
                                                    to provide long-term resource benefits.                 that capitalize on the multiple                       as a protected area. This policy
                                                    This does not expand any existing                       ecosystem services and efficiencies that              explicitly recognizes those factors in
                                                    authorities for ESA implementation.                     landscapes provide. More consideration                developing long-term, comprehensive
                                                       Comment (43): We received                            for the self-regulating aspects of natural            conservation strategies for the resources
                                                    comments requesting clarification of                    landscapes that could reduce                          under consideration. Because those
                                                    when programmatic approaches to                         management and monitoring burdens                     strategies will be implemented using
                                                    mitigation would be appropriate.                        (lowering costs), and the ability to                  market-based and collaborative
                                                       Response: This policy does not                       unstack credits for different listed                  mitigation tools, the Service will work
                                                    require the development of                              species when their habitats overlap in                with our conservation partners to
                                                    programmatic documents to support                       space but not in function (increasing                 develop effective, feasible measures to
                                                    infrequent compensatory mitigations                     market returns), would help make                      put conservation on the ground. The
                                                    needs. The decision to develop                          landscapes a priority for the                         policy does not require permittee
                                                    programmatic approaches to mitigation                   conservation marketplace.                             proposed mitigation projects to be
                                                    will be made based upon resource-                          Response: The landscape approach to                grouped, but they should be considered
                                                    specific circumstances, such as how                     conservation provides a conceptual                    in the context of the landscape in which
                                                    frequently agencies and applicants will                 framework to design effective and                     they occur.
                                                    need to compensate for their impacts.                   durable mitigation strategies. The intent                Comment (47): One commenter said
                                                       Comment (44): Comments included                      is to approach mitigation planning and                that most species lack an up-to-date
                                                    concerns about the Service’s proposed                   implementation from an ecologically                   analysis of conservation status, and few
                                                    extension of critical habitat to areas not              functional perspective for more                       have forward-looking strategies that the
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                                                    currently occupied by a listed species,                 effective, durable outcomes. Designing                Service intends to rely on in
                                                    on the basis that an area may become                    mitigation that works with natural                    implementing the policy. Furthermore,
                                                    critical because the species’ range is                  landscapes will help reduce                           not all landscape-scale conservation
                                                    expected to expand to that area. In                     management costs and increase                         strategies noted by the Service are peer-
                                                    determining the scale of a landscape-                   effectiveness. Monitoring also will help              reviewed, publicly vetted, scientifically
                                                    level approach to mitigation, the Service               confirm our underlying understanding                  sound, or without controversy. If the
                                                    should not ignore the need for a rational               of mitigation benefits and may help                   Service intends to rely on such
                                                    connection to the area of actual impact                 identify where our assumptions need                   strategies in the context of preparing


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                                                    recovery plans, status reviews, and                     intended to show instances where the                  landscape-scale approach is a way to
                                                    similar documents, then these                           Service has taken landscape-scale                     place those opportunities in an
                                                    landscape-scale conservation strategies                 approaches for species conservation and               ecologically functional context. The
                                                    and the process for implementing them                   compensatory mitigation. We recognize                 policy allows for compensatory
                                                    must be vastly improved. The Service                    that not all proposals developed under                mitigation on public lands (provided
                                                    should let the conservation market                      the Texas example or other local                      certain criteria are met, e.g.,
                                                    identify lands that represent valuable                  guidance will ultimately be finalized                 ‘‘additionality’’) and on private lands. It
                                                    conservation targets and take advantage                 and implemented, but the intent of this               also encourages market-based tools and
                                                    of ‘‘market efficiencies’’ that are a                   policy is to promote consistency and                  incentives to take advantage of the
                                                    benefit of the conservation banking and                 predictability so that mitigation                     unique circumstances in each area.
                                                    in-lieu fee forms of mitigation.                        providers may develop programs that                   While there may be limitations in
                                                       Response: The Service agrees on the                  are more likely to be implemented.                    available lands in some regions, the
                                                    importance of using the best available                     Comment (50): Some commenters                      policy includes a suite of tools that
                                                    scientific information in developing                    indicated that the policy should offer far            should provide meaningful options for
                                                    conservation strategies. We rely on our                 more guidance on when and how the                     feasible, durable compensatory
                                                    conservation partners to bring their                    Service would apply a ‘‘landscape-level               mitigation nationwide.
                                                    information and expertise into a                        approach’’ to ESA mitigation,                            Comment (52): The policy will result
                                                    collaborative process to help us develop                questioned whether the Service would                  in the creation of a landscape-scale
                                                    those strategies. We also appreciate the                apply a landscape approach differently                system of conservation banks and other
                                                    assistance of the conservation market in                to species with different range sizes, and            mitigation sites controlled by the
                                                    designing, implementing, and                            stated that the draft policy does not                 Service that will take private land and
                                                    expanding our suite of conservation                     explicitly describe how or whether a                  their resources out of productive use.
                                                    tools to benefit listed and at-risk                     landscape approach would apply to                        Response: The landscape approach to
                                                    species.                                                listed species with narrow ranges.                    conservation considers the functional
                                                       Comment (48): One commenter said                        Response: The landscape approach to                context of the species or habitat under
                                                    the policy would benefit from greater                   conservation considers the functional                 consideration. It does not affect land
                                                    recognition that activities associated                  context of the species or habitat under               ownership or control. Working with our
                                                    with the management, monitoring,                        consideration. Working with our                       conservation partners and project
                                                    protections, and assurances need not be                 conservation partners and project                     proponents, the Service will use a
                                                    as robust in some instances, yet will                   proponents, the Service will use a                    landscape context to provide the most
                                                    achieve a functional landscape that is                  landscape context to provide the most                 effective and durable mitigation for
                                                    capable of supporting the conservation                  effective and durable mitigation for                  listed and at-risk species, while
                                                    of listed and at-risk species, different                listed and at-risk species, while                     preserving the greatest flexibility to
                                                    from the actions necessary to provide                   preserving the greatest flexibility to                implement those measures at many
                                                    compensatory mitigation for wetlands                    implement those measures at many                      scales. Providing incentives for a
                                                    and other aquatic resources.                            scales. Given the breadth of species and              market-based approach to conservation
                                                       Response: The Service agrees that                    landscapes under consideration, it is                 allows many tools to better meet the
                                                    some larger landscapes may require less                 impossible to give a ‘‘one size fits all’’            needs of species as well as the needs of
                                                    intensive management than smaller                       set of instructions. Using a landscape                landowner/project proponents.
                                                    areas. However, in most areas of the                    context to frame mitigation actions                   Generally, the use of conservation
                                                    country, there are few ‘‘self-regulating’’              should reinforce functionality at the                 banking and other mitigation projects
                                                    systems left that are not greatly                       appropriate scale (i.e., tract, regional,             will not take resources out of
                                                    influenced by invasive species, altered                 range) to benefit the target resource and,            ‘‘productive’’ use. Rather, conservation
                                                    hydrology, ongoing erosion, and climate                 in most cases, other resources/species                banks and other mitigation projects
                                                    change. It is important in designing                    that also rely on that functional system.             located on private land remain under
                                                    feasible, meaningful mitigation to                      Though some species may have                          control of the property owner and often
                                                    appropriately scale the monitoring and                  relatively narrow ranges, their threats               provide other productive uses, such as
                                                    management actions to most effectively                  may be best addressed at a landscape                  grazing livestock.
                                                    provide resource benefits. This will                    scale (e.g., invasive species, altered
                                                    depend on the resources, landscapes,                    hydrology, climate change). This                      I. Metrics
                                                    and scale of the project, and should                    approach will help ensure the                            Comment (53): One commenter stated
                                                    have a rational connection between the                  compensatory mitigation measures will                 that the policy should clarify that
                                                    effects being offset and the benefits                   meaningfully offset adverse effects to a              actions can meet ESA conservation
                                                    provided. We declined to modify the                     species/habitat in a way that is                      standards using mitigation when
                                                    policy based on this comment.                           ecologically sustainable over the long                adverse effects, and mitigation offsets of
                                                       Comment (49): One commenter said                     term.                                                 those effects, are calculated using tools
                                                    the draft policy’s example of a                            Comment (51): One commenter noted                  that consider more than mere gain or
                                                    proactive, landscape-scale mitigation                   that the statement requiring                          loss of animals or habitat. For example,
                                                    approach provided by songbird                           compensatory mitigation to be ‘‘sited in              tools like Habitat Equivalency Analysis
                                                    mitigation guidance in Texas to                         locations that have been identified in                consider spatial, temporal, and
                                                    encourage compensatory mitigation                       landscape level conservation plans or
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                                                                                                                                                                  functional parameters that look beyond
                                                    opportunities is misleading. The                        mitigation strategies’’ does not take into            mere loss or gain to calculate the extent
                                                    commenter cited two instances in which                  account the limited lands available for               and quality of mitigation required in
                                                    potential conservation banks were                       acquisition or restoration in some areas              given situations.
                                                    precluded from establishing species                     of the United States and the need to                     Response: A discussion of tools used
                                                    credits due to the requirements in the                  acquire property from willing sellers.                to calculate mitigation is not within the
                                                    guidance.                                                  Response: The Service recognizes                   scope of this policy.
                                                       Response: We respectfully disagree.                  conservation opportunities vary across                   Comment (54): Several commenters
                                                    The example used in the policy is                       the country by species and habitats. The              were concerned that adequate detail


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                                                                               Federal Register / Vol. 81, No. 248 / Tuesday, December 27, 2016 / Notices                                           95329

                                                    about how assessment methodologies                      projects. These are the types of                      informs our understanding of the
                                                    are developed and applied was not                       programs in which the adverse actions,                species’ status. Collecting this type of
                                                    provided in the draft policy.                           like habitat development, would be                    information and working to achieve
                                                    Commenters were also concerned that                     offset by an action that is fundamentally             consistency requires coordination
                                                    the numerical loss and benefit to a site                different in nature, such as gating of                among Service staff, including those
                                                    is largely a qualitative measurement,                   caves that serve as habitat for the                   from different program areas. Describing
                                                    and the no methodology for                              species. The Service acknowledges that                the actions necessary to ensure this
                                                    quantification is offered. They said that               these types of credit/debit systems can               coordination occurs is beyond the scope
                                                    transparent formulas to calculate                       often be more subjective than the                     of this policy.
                                                    ‘‘mitigation ratios’’ are needed to reduce              traditional habitat-for-habitat type of                  Comment (59): One commenter
                                                    subjectivity and increase transparency.                 mitigation. However, this type of                     suggested a monitoring and verification
                                                    They also noted that equivalent metrics                 mitigation has been the exception rather              process should be required of all
                                                    for determining losses due to impacts                   than the rule, and we expect Service                  mitigation. They said the verification
                                                    and gains due to mitigation would aid                   staff to use other programs or projects               process should include a method to
                                                    in the assessment of ‘‘no net loss’’ or                 only when they are the best option to                 verify that the outcomes of the project
                                                    ‘‘net gain.’’                                           alleviate the greatest threats to the                 achieve the performance standard
                                                       Response: The Service agrees that                    species involved. When these programs                 throughout the entire life of the
                                                    transparent formulas to calculate                       or projects are allowed as mitigation, the            mitigation project, and that method
                                                    ‘‘mitigation ratios’’ reduce subjectivity               Service will clearly explain the link                 could be the initial assessment method
                                                    and increase transparency. We also                      between the threat and the selected                   or an abbreviated assessment that still
                                                    agree that equivalent metrics for                       mitigation.                                           quantifies the quality of the resource.
                                                    determining losses due to impacts and                      Comment (57): One commenter was                    They also suggested the party
                                                    gains due to mitigation would aid in the                concerned that there was no discussion                responsible for conducting the
                                                    assessment of ‘‘no net loss’’ or ‘‘net                  of how successful ‘‘surrogate’’ indicators            verification should be identified
                                                    gain.’’ This policy does include a                      of incidental take have been in assuring              upfront.
                                                    statement that equivalent metrics                       adequate mitigation.                                     Response: We agree that these are
                                                    should be used whenever possible.                          Response: The use of surrogate                     important requirements to ensure that
                                                       Details about how to develop and                     indicators for the species impacted,                  mitigation remains adequate over time.
                                                    apply assessment methodologies that                     such as the species’ habitat, when                    Specific methodologies for such
                                                    are quantitative and transparent were                   applying compensatory mitigation in                   verification are beyond the scope of this
                                                    not included in the draft, or this final,               accordance with 50 CFR 402.14(i)(1)(i)                policy.
                                                    policy, because these details are species-              is discussed at section 5.2 of the policy.               Comment (60): One commenter said it
                                                    specific and too complex to describe                    We declined to add additional detail to               should be made explicitly clear that
                                                    adequately within the framework of the                  that discussion.                                      while adaptive management is critical
                                                    policy. When detailed descriptions of                      Comment (58): One commenter                        as knowledge and conditions change,
                                                    assessment methodology development                      suggested that the Service require that               the necessary updates to metrics or
                                                    and application are prepared by the                     all credits and debits associated with                plans do not invalidate previous metrics
                                                    Service for a species-specific mitigation               the same species and region be                        or credits. They suggested that each
                                                    program, these descriptions are                         aggregated and reported across all                    credit, and debit if applicable, should be
                                                    routinely shared with the public.                       compensatory mitigation mechanisms.                   labeled with the method used at the
                                                       Comment (55): One commenter said                     They indicated this is critical to ensure             time of assessment. They also suggested
                                                    that since buffers are so important, they               an offset achieves ‘‘net conservation                 that reports should acknowledge when
                                                    should be counted in the crediting of a                 gain,’’ to ensure the offsets created by all          metrics are modified, but credits should
                                                    mitigation site at some ratio of a full                 mechanisms are using the best available               still be aggregated across time. They
                                                    credit.                                                 science, and to ensure equivalency                    noted that it may be necessary to use a
                                                       Response: The Service agrees with                    across multiple mechanisms. They also                 correction method, and these correction
                                                    this comment. In section 6.6, the policy                suggested when the same metric is not                 methods should be transparent,
                                                    states, ‘‘If buffers also provide functions             used by two different mechanisms; the                 scientifically supported, and included
                                                    and services for the species or other                   requirement to define ‘‘the relationship              in all reports.
                                                    resources of concern, compensatory                      (conservation) between credits and                       Response: We agree in concept;
                                                    mitigation credit will be provided at a                 debits’’ can also be used to define the               however, this comment goes beyond the
                                                    level commensurate with the level of                    relationship between different credit                 scope of the policy.
                                                    functions and/or services provided to                   metrics.                                                 Comment (61): One commenter asked
                                                    the species.’’                                             Response: Currently, the Service uses              that we clarify that plans should rely
                                                       Comment (56): One commenter stated                   the Regulatory In-lieu Fee and Banking                more on the criteria that define high-
                                                    that for the purposes of mitigation, the                Information Tracking System (RIBITS)                  quality habitat, including criteria for
                                                    Service has not shown compelling                        to track credits and debits for                       landscape-scale attributes, indicating
                                                    evidence that adequate assessment                       conservation banks. The Service intends               these criteria should be consistently
                                                    methodologies exist to consider adverse                 to work with the USACE to adapt                       reflected in the development of metrics
                                                    and beneficial actions that are                         RIBITS for use by the Service to also                 used to define credits and debits within
                                                    fundamentally different in nature.                      track credits and debits for in-lieu fee              the region. They noted that
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                                                    Determining the numerical loss and                      programs. The type of credits that are                opportunities to enhance and protect
                                                    benefit to a site is largely a qualitative              acceptable for a given species is                     habitat may be outside of predefined
                                                    measurement, and the draft policy offers                determined by the Service when a                      conservation areas, but they must meet
                                                    no quantification methodology.                          mitigation program for a specific species             the definition for high-quality habitat
                                                       Response: The policy describes types                 is developed and implemented. The                     and be deemed acceptable.
                                                    of mitigation programs or projects that                 Service agrees that tracking the types                   Response: We agree that metrics
                                                    do not directly replace species or habitat              and amounts of credits used across a                  should define high-quality habitat. We
                                                    losses resulting from development                       species’ range is a good idea, as it                  also agree that opportunities to enhance


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                                                    95330                      Federal Register / Vol. 81, No. 248 / Tuesday, December 27, 2016 / Notices

                                                    and protect habitat may be outside of                   baseline conditions on both private and               Service is protected by law (e.g.,
                                                    predefined conservation areas, and                      public lands.                                         Freedom of Information Act, 5 U.S.C.
                                                    regardless of location, they should meet                                                                      552; Privacy Act, 5 U.S.C. 552a) to
                                                                                                            K. Durability
                                                    the definition for high-quality habitat                                                                       prevent unlawful dissemination.
                                                    and be deemed acceptable. This concept                     Comment (65): Some commenters                         Comment (67): One commenter was
                                                    is captured in the final policy.                        were concerned that the requirement for               concerned that the Service developed
                                                       Comment (62): One commenter liked                    perpetual management of mitigation                    the policy without having addressed
                                                    the concept that ecological performance                 sites places an undue burden on                       concerns raised by States and other
                                                    criteria must be tied to conservation                   mitigation providers, or that perpetual               parties regarding the Service’s
                                                    goals and specific objectives identified                management would be detrimental to                    mitigation policy. They said that
                                                    in compensatory mitigation programs                     the resource. They said that the                      moving forward with this guidance
                                                    and projects, but they did not think the                imposition of perpetual endowment and                 without finalizing the overarching
                                                    draft policy adequately describes how to                adaptive management places burdens on                 mitigation policy was premature, and
                                                    accomplish this objective.                              all projects, and it would be impossible              created uncertainty and confusion over
                                                       Response: The level of detail                        for industry to manage and maintain                   what the Service was likely to adopt.
                                                    necessary to describe how to                            mitigation sites in perpetuity.                          Response: This compensatory
                                                    accomplish this objective is beyond the                    Response: Perpetual management of                  mitigation policy is a step-down policy
                                                    scope of this policy and may be                         mitigation sites is essential to assure               under the final Service mitigation
                                                    addressed in implementation guidance.                   durability of compensatory mitigation.                policy, which published in the Federal
                                                       Comment (63): One commenter stated                   The species and resources present on a                Register on November 21, 2016 (81 FR
                                                    the draft policy should more explicitly                 mitigation site will dictate what                     83440). There were no substantial
                                                    recognize the uncertainty associated                    management actions are undertaken.                    changes between the draft and final
                                                    with mitigation for certain species and                 Management plans are tailored to the                  Service mitigation policy. In finalizing
                                                    describe a framework for managing the                   needs of the site. Mitigation providers               the Service’s mitigation policy, we fully
                                                    uncertainty. They said the policy should                should carefully consider the long-term               considered all comments and concerns
                                                    describe a framework the Service would                  commitment they are making when they                  raised by States and other parties. We
                                                    use to assess the appropriate balance of                agree to implement a compensatory                     also considered those comments as we
                                                    avoidance, minimization, and                            mitigation project. Mitigation that is                developed this policy.
                                                    mitigation, as informed by the                          permanent is expected to have                            Comment (68): Two commenters
                                                    likelihood of mitigation effectiveness                  appropriate financial and real estate                 addressed the relationship between this
                                                    and the species’ recovery needs.                        assurances to meet the durability                     policy and mitigation policy
                                                       Response: The Service agrees that                    standard in the policy.                               developments underway in other
                                                    there is uncertainty associated with                                                                          agencies. One commenter was
                                                                                                            L. Collaboration and Coordination
                                                    mitigation for certain species. This                                                                          concerned that while interagency
                                                    policy includes a discussion of risk                       Comment (66): One commenter said                   cooperation is addressed in the draft
                                                    management tools. These tools can be                    the policy would mandate the Service to               policy, it only provided a history of
                                                    used after the Service determines that a                work directly with landowners,                        previous ESA requirements. They were
                                                    mitigation program or project is                        potentially resulting in the loss of                  concerned that the draft policy did not
                                                    appropriate. Assessing risks and                        confidential information. The                         address the relationship between similar
                                                    determining if mitigation is appropriate                commenter noted recent conservation                   policies being developed by other
                                                    for a species is not within the scope of                plans produced in Texas were                          Federal land management agencies such
                                                    this policy, as uncertainty associated                  developed by stakeholders and                         as the Bureau of Land Management and
                                                    with mitigation for certain species will                administered through State agencies to                the U.S. Forest Service. Another
                                                    be fact specific.                                       preserve confidentiality of private                   commenter noted that other Federal
                                                                                                            landowners.                                           agencies are also responding to the
                                                    J. Additionality                                           Response: The Service has a long                   Presidential memorandum (‘‘Mitigating
                                                       Comment (64): We received two                        history of working with private                       Impacts on Natural Resources From
                                                    comments on the draft policy’s use of                   landowners to conserve fish and                       Development and Encouraging Related
                                                    ‘‘additionality’’ when developing                       wildlife resources, including                         Private Investment’’) issued November
                                                    compensatory mitigation on both public                  endangered and threatened species. Our                3, 2015. They said that this created the
                                                    and private lands. Commenters believed                  partnerships with private landowners                  opportunity for the Service to enter into
                                                    additionality is not feasible when                      are essential to achieving our                        agreements with other Federal agencies
                                                    coupled with the ‘‘no net loss’’ goal, and              conservation mission. The policy does                 to work together on the implementation
                                                    that some inconsistencies exist in the                  not include a mandate to work directly                of similar mitigation policies and to
                                                    descriptions in the text of the draft                   with landowners, but supports the ESA                 avoid conflicts, delays, and
                                                    policy.                                                 and its implementing regulations, which               inefficiencies.
                                                       Response: One purpose of using                       allows us to work with a variety of                      Response: At the time this policy is
                                                    ‘‘additionality’’ as a standard in the                  entities towards the recovery of listed               being finalized, neither the Bureau of
                                                    policy is to promote the ‘‘net gain/no                  species, and encourages cooperative                   Land Management nor the U.S. Forest
                                                    net loss’’ goal. There are many examples                conservation with all of our partners,                Service has published final mitigation
                                                    of mitigation sites and programs that                   including the exchange of ideas and                   policies or regulations. The Service did
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                                                    have achieved these standards. The                      information to better inform species                  provide comments on their proposed
                                                    concept of compensatory measures                        management and evaluation. As noted                   policies, and we did receive comments
                                                    providing additional benefits above                     in the policy, transparency in                        on this policy from those agencies. This
                                                    baseline conditions is described in                     compensatory mitigation programs and                  policy, like the Service mitigation
                                                    general terms in the policy. Those                      ESA implementation is essential to                    policy published November 21, 2016 (81
                                                    descriptions in the text are intended to                achieving success. The Service is                     FR 83440), was developed in
                                                    give context to the conservation benefits               considerate of confidentiality, and any               accordance with the November 3, 2015,
                                                    of mitigation actions being additive to                 personal information maintained by the                Presidential Memorandum; the


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                                                                               Federal Register / Vol. 81, No. 248 / Tuesday, December 27, 2016 / Notices                                           95331

                                                    Secretary of the Interior’s Order 3330                  policy and the Service mitigation policy              may voluntarily adopt Service
                                                    entitled, ‘‘Improving Mitigation Policies               (81 FR 83440, November 21, 2016) with                 recommendations, which may expedite
                                                    and Practices of the Department of the                  NOAA, and incorporated their                          their other requirements.
                                                    Interior’’ (October 31, 2013); and                      suggestions and modifications. Also,                     Comment (73): Some commenters
                                                    Departmental Manual chapter (600 DM                     this policy was required under the                    expressed interest in a collaborative
                                                    6) on Landscape-Scale Mitigation Policy                 Presidential Memorandum on                            approach to mitigation planning on a
                                                    (October 23, 2015). The commenter’s                     Mitigation, the Department of the                     landscape level. One commenter
                                                    concern is anticipated by those                         Interior Secretarial Order 3330, and 600              expressed support for additional
                                                    documents, which envision the various                   DM 6.                                                 engagement with stakeholders; another
                                                    agencies’ mitigation policies applying                     Comment (71): One commenter said                   commented that the role of State
                                                    common principles, terms, and                           that the Service and other agencies risk              wildlife data, analyses, and expertise
                                                    approaches, thereby providing greater                   unnecessary duplication of efforts and                should be utilized to the greatest extent
                                                    consistency and predictability for the                  conflicting requirements, which will                  possible; another commenter was
                                                    public. Subsequent agreements between                   further delay project approval. They                  skeptical of the collaborative approach
                                                    the Service and other agencies may be                   encouraged the Service to consider                    preferred by the Service.
                                                    developed as need arises.                               mitigation frameworks already in place                   Response: The Service agrees that
                                                       Comment (69): One commenter said                     before adding another layer of                        developing multi-scale conservation
                                                    the draft policy would be improved if it                mitigation requirements to an already                 plans and strategies benefits from many
                                                    built upon and utilized the USACE and                   complex and burdensome project                        invested stakeholders that bring their
                                                    EPA’s definitions and mitigation                        approval process.                                     unique insights and perspectives to
                                                    policies. They said that a reconciliation                  Response: We agree that existing                   ensure a more comprehensive and
                                                    of terms and process should be part of                  mitigation programs and frameworks, as                robust blueprint, and looks forward to
                                                    the Service’s next steps.                               well as existing mitigation and                       building on our conservation
                                                       Response: We agree that this policy                  conservation plans, should be                         partnerships through collaborative
                                                    should apply concepts and definitions                   considered. The Service recognizes that               planning efforts. Our State partners in
                                                    compatible with those developed                         there may be existing plans developed                 particular are critical to successful
                                                    through decades of mitigation practice                  by State and local governments and                    compensatory mitigation of federally
                                                    under the Clean Water Act.                              other stakeholders with characteristics               listed and at-risk species. They bring
                                                    Accordingly, we have developed this                     that may be useful in mitigation                      statutory responsibility, data, expertise,
                                                    policy to use the same terms and                        planning depending on the specific                    and management capabilities to better
                                                    approaches found in regulations and                     action and the affected resources. The                ensure successful, durable mitigation
                                                    guidance promulgated by the USACE                       Service will work with project                        efforts on the ground.
                                                    and EPA whenever possible. In some                      proponents and other stakeholders in                     Comment (74): Several commenters
                                                    cases, we also recognized the need for                  reviewing existing programs,                          were concerned about the level of
                                                    language tailored to authorities,                       frameworks, and plans for applicability               coordination undertaken by the Service
                                                    processes, and resources covered by the                 in the context of a specific action.                  on establishment of mitigation
                                                    ESA rather than the Clean Water Act; in                    Comment (72): One commenter said                   programs, and encouraged the Service to
                                                    these cases, the policy’s language                      the policy would complicate other                     engage with both mitigation partners
                                                    complies with the Departmental Manual                   agencies’ processes. They said that it                and with State agencies, to avoid
                                                    on Landscape-Scale Mitigation Policy                    would increase opportunities for the                  duplication of effort and cross-
                                                    (600 DM 6).                                             Service to force concessions from other               jurisdictional issues and to improve
                                                       Comment (70): One commenter said                     Federal agencies and permittees, and                  outcomes. One commenter urged the
                                                    that the implementation of this policy                  that it has the potential to violate                  Service to expedite reviews by working
                                                    will establish an inconsistent ESA                      organic acts and will undoubtedly                     with agencies that already have
                                                    framework because the National Marine                   complicate the approval process for                   established mitigation policies and
                                                    Fisheries Service did not adopt the                     mining operations and other land users.               programs.
                                                    Service’s mitigation policy (81 FR                         Response: The scope of this policy                    Response: The Service agrees that we
                                                    83440, November 21, 2016). The                          does not limit the existing discretion of             have common goals with our partners
                                                    commenter said this approach is                         an action agency, or hold the action                  and achieve much better outcomes
                                                    contrary to the typical practice of                     agency or applicant responsible for                   when we work together on coordinated
                                                    promulgating joint regulations by the                   mitigation beyond an action agency’s                  mitigation programs, especially where
                                                    two agencies that provide for uniform                   own authority, mission, and                           our jurisdiction overlaps with that of
                                                    application of the ESA. The commenter                   responsibilities. The Service recognizes              other agencies as it often does with our
                                                    stated that by unilaterally proposing this              that the authorities and processes of                 State wildlife agency partners. The
                                                    policy and the Service mitigation policy                different agencies may limit or provide               Service intends to continue working
                                                    (81 FR 83440, November 21, 2016), the                   discretion regarding the level of                     with all of our partners.
                                                    Service is creating disparate                           mitigation for a project. This policy is
                                                    requirements that will impose                           not controlling upon other agencies, and              M. Transparency
                                                    significant and additional regulations on               the Service acknowledges that there                     Comment (75): One commenter
                                                    project sponsors based on the possibility               may be limitations (e.g., agency-specific             requested clarification on the Service’s
                                                    of a species being affected.                            authorities and 600 DM 6) on the                      meaning of ‘‘direct oversight’’ in the
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                                                       Response: This policy is not a                       implementation of measures that would                 draft policy regarding compensatory
                                                    rulemaking and cannot otherwise alter                   achieve the policy’s goal of ‘‘net                    mitigation programs and projects. The
                                                    or substitute for the existing regulations              conservation gain’’ or a minimum of ‘‘no              commenter also requested clarification
                                                    applied by both the National Oceanic                    net loss’’ when the costs of such                     on use of third-party evaluators in
                                                    and Atmospheric Administration                          mitigation are reimbursable by project                preparing monitoring reports for
                                                    (NOAA) and the Service in                               beneficiaries under laws and regulations              programs or projects.
                                                    implementing the ESA. We also have                      controlling agencies’ activities (e.g.,                 Response: The policy identifies the
                                                    coordinated development of both this                    Bureau of Reclamation). Other agencies                Service’s authority for direct oversight


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                                                    95332                      Federal Register / Vol. 81, No. 248 / Tuesday, December 27, 2016 / Notices

                                                    of compensatory mitigation programs                     commenter specifically identified that                Federal or State lands, and in some
                                                    and projects through sections 7 and 10                  reclamation of mining operations often                cases, such siting may lead to the best
                                                    of the ESA. Under sections 7 and 10, the                lacks the ability for advanced mitigation             ecological outcome. Compensatory
                                                    Service oversees the terms and                          on site. Other commenters cited that:                 mitigation for impacts on public lands
                                                    conditions of the incidental take permit                The process of project permitting and                 can be sited on both public and private
                                                    (section 10) or of the incidental take                  financing determinations would likely                 lands. Compensatory mitigation for
                                                    statement (section 7). Details on the                   not allow for advanced mitigation; the                impacts on private lands can be located
                                                    roles of third-party evaluators involved                Service should provide incentives such                on public lands, but it is this
                                                    in specific project actions are beyond                  as higher ratios for ‘‘after impact                   combination, or that particular change
                                                    the scope of the policy.                                mitigation’’; advance mitigation would                in ownership classification, where
                                                      Comment (76): We received several                     be considered pre-decisional; or it is                Service staff should be attentive to
                                                    comments pertaining to the availability                 impossible to provide mitigation in                   additional considerations before making
                                                    of information generated from                           advance of impacts.                                   such a recommendation. These
                                                    mitigation programs. Commenters                            Response: We recognize that project                additional considerations are necessary
                                                    recommended the policy include                          scheduling and implementing on-site                   to achieve the ‘‘net gain’’ or, at a
                                                    standards for transparency of data and                  mitigation may not always align with                  minimum ‘‘no net loss,’’ goal of the
                                                    documents, participation of                             the Service’s preference for advance                  policy.
                                                    stakeholders, and consistency of data                   mitigation; however, conservation                        Comment (80): Several commenters
                                                    reported through mitigation programs.                   banks, in-lieu-fee programs, and other                provided comments on split estates.
                                                      Response: Information on                              third-party mechanisms provide                        Commenters said the Service is
                                                    conservation banks is available to the                  advanced mitigation options that reduce               arbitrarily limiting areas on which
                                                    public on the Regulatory In-lieu Fee and                timing and other constraints. The                     mitigation can occur by not allowing
                                                    Banking Information Tracking System                     Service’s current practice to recommend               lands with split estates to qualify as
                                                    (RIBITS), and the Service intends to                    mitigation in advance of impacts under                mitigation lands; split estates do not
                                                    work with the USACE to add Service-                     sections 7 and 10 of the ESA is based                 necessarily result in an unsuitable
                                                    approved in-lieu fee programs to that                   on years of experience in compensatory                mitigation site; and the holder of the
                                                    platform. As noted in the policy, the                   mitigation practices. This policy                     rights would have to secure their own
                                                    Service will share appropriate                          promotes the development of advanced                  authorization under the ESA from the
                                                    information concerning mitigation                       mitigation mechanisms, providing more                 Service prior to exercising their rights.
                                                    programs with the public, with the                      options for mitigation users. The Service                Response: The Service agrees that
                                                    exception of personally identifiable                    agrees that mitigation ratios can be used             there are cases in which lands with split
                                                    information or other information that                   to incentivize mitigation accomplished                estates can be used for mitigation. The
                                                    would be exempt under the Freedom of                    in advance of impacts, but the                        policy advises caution because we strive
                                                    Information Act. We declined to add                     discussion of specifics is beyond the                 to ensure the durability of mitigation
                                                    specific standards for transparency to                  scope of this policy. The Service does                projects and programs, but the policy
                                                    the policy. Prescriptive standards for the              not consider advance mitigation to be                 does mention possible remedies and
                                                    type of data to be shared would not be                  pre-decisional, as the majority of                    that there could be other approaches to
                                                    reasonable for a policy that covers the                 advance mitigation programs, such as                  using lands with split estates for
                                                    myriad listed species across the country.               conservation banking, are established                 mitigation. A detailed discussion of
                                                    Such standards would be better suited                   prior to any impacts, and projects that               remedies and other approaches is not
                                                    for species-specific guidance.                          will mitigate at such sites may be                    within the scope of this policy.
                                                                                                            unknown at the time of bank                           P. Tribal Lands/Tribal Rights
                                                    N. Preference for Advance Mitigation
                                                                                                            establishment. In all cases, the Service
                                                       Comment (77): One commenter stated                   will evaluate the appropriateness of                     Comment (81): We received some
                                                    the policy should adopt an approach                     using a specific site or proposal as                  comments regarding the siting of
                                                    similar to that taken in the HCP                        compensatory mitigation to offset the                 mitigation projects on tribal lands or on
                                                    handbook to identify exceptions to the                  unavoidable impacts of a project at the               lands on which tribes hold treaty rights.
                                                    requirement to mitigate in advance of                   time the Service reviews the project that             One commenter expressed the need for
                                                    impacts.                                                will likely result in the impacts.                    local mitigation projects to be sited in or
                                                       Response: The policy is intended to                                                                        near reservation lands as well as on
                                                    provide standards and guidance to                       O. Eligible Lands                                     traditional off-reservation sites, to
                                                    improve consistency of compensatory                        Comment (79): Several commenters                   benefit the natural resources of the
                                                    mitigation programs and projects for                    supported mitigation projects and                     native peoples; another commenter was
                                                    listed, proposed, and at-risk species.                  programs on public lands and wanted                   concerned that locating mitigation
                                                    The preference for advance mitigation is                us to add more flexibility to the policy.             outside of treaty areas for projects that
                                                    based on the years of experience with                   One commenter stated that if mitigation               impact the resources in treaty areas
                                                    compensatory mitigation programs. We                    projects and programs occur on public                 would harm the treaty rights and the
                                                    realize that in some cases advance                      lands, the land manager should be                     resources of the tribes. Other
                                                    mitigation may not be possible, or even                 prepared to implement and fund                        commenters asked that tribes be
                                                    preferable; however, attempting to                      alternative mitigation if a change in law             consulted in the siting and approval of
                                                    identify exceptions for this preference                 allows incompatible uses to occur on                  mitigation sites and programs. Others
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                                                    would not be reasonable, considering                    mitigation lands. One commenter did                   were concerned about the impacts of
                                                    the vast diversity of species and                       not support mitigation projects and                   habitat restoration and long-term
                                                    programs that would occur across the                    programs on Federal lands, but was in                 management on treaty resources.
                                                    country.                                                favor of it on State lands, and wanted                   Response: The Service is committed
                                                       Comment (78): Several commenters                     State lands specifically mentioned in                 to upholding our trust responsibilities to
                                                    were concerned about the draft policy’s                 the policy.                                           federally recognized tribes to conserve
                                                    preference for compensatory mitigation                     Response: Compensatory mitigation                  shared natural resources, consistent
                                                    in advance of project impacts. One                      can occur on public lands, either                     with the Service’s Native American


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                                                                               Federal Register / Vol. 81, No. 248 / Tuesday, December 27, 2016 / Notices                                            95333

                                                    Policy (revised January 2016; see 81 FR                 also known as credit stacking, where                     Response: The Service considers that
                                                    4638, January 27, 2016). This is                        multiple resources exist on the same                  one of the benefits of this policy is the
                                                    accomplished under this policy by                       unit area. One commenter was                          opportunity it creates for a market-based
                                                    ensuring that mitigation projects and                   concerned that any resources bundled                  approach to mitigation as highlighted in
                                                    programs are located in areas that                      or stacked with a listed species would                the Presidential Memorandum of
                                                    provide the most benefit to the affected                suffer, as the site would be managed                  November 3, 2015, on Mitigating
                                                    resources, while respecting treaty rights.              only for the benefit of the listed species            Impacts on Natural Resources From
                                                    The Service recognizes the importance                   and not the other resource(s), and                    Development and Encouraging Related
                                                    of tribal involvement and expertise                     wanted multi-agency review teams to be                Private Investment (80 FR 68743,
                                                    when siting mitigation projects and                     aware of this when authorizing                        November 6, 2015), especially those that
                                                    when developing service areas and                       mitigation banks. Other commenters                    can be established in advance of
                                                    management plans for conservation                       wanted the Service to make it clear that              impacts. Conservation banking is a
                                                    banks and other types of mitigation                     credits could potentially be used for                 proven example of this approach. The
                                                    mechanisms. Specific guidance on                        multiple purposes, and another wanted                 policy does not preclude the other
                                                    Service coordination with tribes is                     the Service to allow mitigation credits to            mechanisms mentioned by the
                                                    beyond the scope of this policy.                        be used to compensate for multiple                    commenter. We declined to adopt the
                                                      Comment (82): We received some                        impact projects.                                      commenter’s suggested sentence.
                                                    comments requesting specific guidance                      Response: The Service encourages                      Comment (87): Several commenters
                                                    on facilitating creation of conservation                credit bundling where multiple                        stated that the draft policy was
                                                    banks on tribal lands, comments on                      resources exist on the same unit area                 confusing and complex, citing the
                                                    including tribal cultural uses and                      and where management actions benefit                  Service’s definition of compensatory
                                                    practices as allowable uses on                          those multiple resources. However,                    mitigation being too broad, lack of a
                                                    mitigation lands, and a suggestion for                  bundled credits can only be used to                   mitigation protocol, and need for a
                                                    developing mitigation principles similar                compensate for one impact project (i.e.,              guidance document to ensure a
                                                    to those developed with the USACE in                    the credits can never be ‘‘unbundled’’ or             separation of regulatory and
                                                    the State of Washington for specific                    ‘‘unstacked’’ to compensate for multiple              nonregulatory authority, goals, and
                                                    mitigation programs.                                    projects). If two resources, such as a                standards. One comment stated the
                                                      Response: The Service agrees that                     California red-legged frog (CRLF) and a               complexity of obtaining approval, as
                                                    these are all important considerations,                 wetland regulated pursuant to section                 well as cost, for a mitigation site would
                                                    and such guidance and suggestions will                  404 of the Clean Water Act are bundled                discourage investment.
                                                    be more effectively addressed in step-                  together in a credit, that credit may be                 Response: One purpose of the policy
                                                    down guidance at a later time.                          used to compensate for impacts to both                is to provide predictability and thereby
                                                      Comment (83): We received                             resources from the same project, or to                reduce uncertainty of investment for
                                                    comments regarding the applicability of                 compensate for impacts to CRLF or to                  market-based mitigation programs. We
                                                    the policy to tribes, or to a specific HCP              wetlands. If the credit were used to                  acknowledge that the nature of existing
                                                    under development, and a suggestion                     compensate for CRLF, then it can no                   compensatory mitigation mechanisms
                                                    that the Service consult with any tribes                longer be used to compensate for                      and programs currently being
                                                    who so request before finalizing this                   wetlands (i.e., that portion of the credit            implemented is complex. We have
                                                    policy.                                                 is ‘‘retired’’). Unbundling these                     revised the draft policy so that this final
                                                      Response: The Service notified tribal                 functions and services would result in                policy addresses overarching goals and
                                                    contacts when we made the draft policy                  a net loss of habitat and would                       standards only, and we will later
                                                    available for review and comment (81                    undermine the Service’s efforts to                    provide more detailed implementation
                                                    FR 61032, September 2, 2016). We                        conserve the species. This approach is                guidance. However, providing a
                                                    addressed all tribal comments, as                       consistent with the policies and                      mitigation ‘‘protocol’’ that covers the
                                                    appropriate, as we developed the final                  regulations of the USACE, and other                   breadth of species and circumstances
                                                    policy. The policy applies to all forms                 State and Federal agencies the Service                across the country would not be
                                                    of compensatory mitigation for all                      works with on multi-agency-approved                   reasonable. We anticipate species- or
                                                    species and habitat protected under the                 mitigation projects and programs.                     geographic-specific guidance to be
                                                    ESA and for which the Service has                                                                             developed under the umbrella of this
                                                                                                            S. Mitigation Mechanisms                              policy.
                                                    jurisdiction. The policy is flexible with
                                                    regard to its application to specific                      Comment (86): One commenter                           Comment (88): We received two
                                                    mitigation projects or programs that are                suggested the Benefits of the Draft                   comments regarding section 7.2, Short-
                                                    under development at the time this                      Policy section be clarified to include                Term Compensatory Mitigation, in the
                                                                                                            other mitigation mechanisms that may                  draft policy. One comment indicated it
                                                    policy is finalized, leaving that decision
                                                                                                            not be market-based. The commenter                    may not be helpful, particularly when
                                                    to individual Service offices.
                                                                                                            suggested that the first sentence of the              dealing with aquatic species. The other
                                                    Q. Service Areas                                        final paragraph of that section be                    requested more detail in this section
                                                      Comment (84): Several commenters                      modified to read: ‘‘This draft policy                 and stressed it should be more widely
                                                    requested more detail in the policy                     would encourage mitigation in                         used.
                                                    about requirements for developing                       conjunction with programmatic                            Response: The use of short-term
                                                                                                            approaches to ESA section 7                           compensatory mitigation is a novel
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                                                    service areas.
                                                      Response: Specific considerations for                 consultations and HCPs designed to                    approach, with long-term results yet to
                                                    developing service areas are beyond the                 focus on conservation outcomes that                   be evaluated. The policy fully
                                                    scope of this policy and will be                        achieve ‘‘no net loss’’ or ‘‘net gain’’               acknowledges that it is likely to be
                                                    provided in implementation guidance.                    through the use of market-based                       limited in use, for a variety of reasons,
                                                                                                            approaches (e.g., conservation banks),                primarily the ability to predict all
                                                    R. Credit Bundling                                      in-lieu fee programs, permittee-                      temporal losses of an impact in order to
                                                      Comment (85): A few commenters                        responsible, and other third-party                    provide an appropriate offset for those
                                                    were concerned about credit bundling,                   implemented mitigation programs.’’                    losses. However, the concept may be


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                                                    95334                      Federal Register / Vol. 81, No. 248 / Tuesday, December 27, 2016 / Notices

                                                    useful in some circumstances. Thus, it                  with language to ensure that it does not                 This policy encourages Service
                                                    is included in the policy in an effort to               become quickly outdated as                            personnel to collaborate with other
                                                    provide additional flexibility to                       methodologies evolve. We use the term                 agencies, academic institutions,
                                                    conserve listed, proposed, and at-risk                  ‘‘accelerated climate change’’ in a                   nongovernmental organizations, tribes,
                                                    species.                                                general sense to reference a substantial              and other partners to develop and
                                                       Comment (89): Several commenters                     portion of scientific literature and                  implement compensatory mitigation
                                                    requested that the Service express a                    scholarly articles on the subject,                    measures and programs through a
                                                    preference for conservation bank credits                including reports produced by the                     landscape-scale approach to achieve the
                                                    over other forms of compensatory                        Intergovernmental Panel on Climate                    best possible conservation outcomes for
                                                    mitigation. One commenter requested                     Change.                                               activities subject to ESA compliance. It
                                                    the Service add a preference for                           The final policy follows:                          also encourages the use of programmatic
                                                    rehabilitation or restoration over                                                                            approaches to compensatory mitigation
                                                    preservation and that the Service                       U.S. Fish and Wildlife Service                        that have the advantages of advance
                                                    prohibit use of alternative forms of                    Endangered Species Act Compensatory                   planning and economies of scale to: (1)
                                                    mitigation if conservation bank credits                 Mitigation Policy                                     Achieve a net gain in species’
                                                    are available in the same proposed                                                                            conservation; (2) reduce the unit cost of
                                                    service area.                                           1. Purposes                                           compensatory mitigation; and (3)
                                                       Response: As stated in section 6 of                    This policy adopts the mitigation                   improve regulatory procedural
                                                    this policy, the appropriate form of                    principles established in the U.S. Fish               efficiency.
                                                    compensatory mitigation must be based                   and Wildlife Service (Service)                           Appendices A and B provide a list of
                                                    on the species’ needs and the nature of                 Mitigation Policy (81 FR 83440,                       acronyms and a glossary of terms used
                                                    the impacts adversely affecting the                     November 21, 2016), establishes                       in this policy, respectively.
                                                    species. All mitigation tools listed in the             compensatory mitigation standards, and
                                                    policy are capable of being strategically                                                                     2. Authorities and Coordination
                                                                                                            provides guidance for the application of
                                                    sited, consolidated, and provided in                                                                             This policy is focused on
                                                                                                            compensatory mitigation through
                                                    advance of impacts if they are designed                                                                       compensatory mitigation that can be
                                                                                                            implementation of the Endangered
                                                    to do so. These preferences will provide                                                                      achieved under the ESA. The Service’s
                                                                                                            Species Act of 1973, as amended (ESA;                 authority to require mitigation is
                                                    the best outcomes for species when they                 16 U.S.C. 1531 et seq.). Compensatory
                                                    are implemented in any mitigation tool,                                                                       limited, and our authority to require a
                                                                                                            mitigation (compensation) is defined in               ‘‘net gain’’ in the status of endangered
                                                    and, therefore, we have retained
                                                                                                            this policy as compensation for                       and threatened (listed) or at-risk species
                                                    flexibility for applicants when selecting
                                                                                                            remaining unavoidable impacts after all               has little or no application under the
                                                    mitigation tools. We decline to prohibit
                                                                                                            appropriate and practicable avoidance                 ESA. However, we can recommend the
                                                    the use of alternative forms of mitigation
                                                                                                            and minimization measures have been                   use of mitigation, and in particular
                                                    where conservation bank credits are
                                                                                                            applied, by replacing or providing                    compensatory mitigation, to offset the
                                                    available, as that would limit flexibility
                                                                                                            substitute resources or environments                  adverse impacts of actions under the
                                                    and inherent choice of the applicant(s).
                                                                                                            (see 40 CFR 1508.20) through the                      ESA. Other statutes also provide the
                                                    T. Climate Change                                       restoration, establishment,                           Service with authority for
                                                       Comment (90): Several commenters                     enhancement, or preservation of                       recommending compensatory mitigation
                                                    addressed sections of the draft policy                  resources and their values, services, and             for actions affecting fish, wildlife,
                                                    that referenced climate change for                      functions (600 DM 6.4C). This policy                  plants, and their habitats (e.g., Fish and
                                                    consideration in mitigation planning.                   applies to all Service compensatory                   Wildlife Coordination Act (FWCA; 16
                                                    Some commenters were concerned                          mitigation requirements and                           U.S.C. 661–667e), National
                                                    about the uncertainty of calculating the                recommendations involving ESA                         Environmental Policy Act (NEPA; 42
                                                    effects of climate change for                           compliance. It is also intended to assist             U.S.C. 4321 et seq.), and Oil Pollution
                                                    compensatory mitigation and the use of                  other Federal agencies carrying out their             Act (33 U.S.C. 2701 et seq.)). In
                                                    mitigation ratios to address climate                    statutory and regulatory responsibilities             addition, statutes such as the Clean
                                                    change. One commenter said the policy                   under the ESA and to provide                          Water Act (CWA; 33 U.S.C. 1251 et seq.)
                                                    should provide more detail on                           applicants with guidance on the                       and Federal Power Act (16 U.S.C. 791a–
                                                    integrating climate change effects in the               appropriate use of compensatory                       828c) provide other Federal agencies
                                                    analysis of mitigation programs.                        mitigation for proposed actions. The                  with authority to recommend or require
                                                    Another requested the basis for the term                standards and guidance in the policy                  compensatory mitigation for actions that
                                                    ‘‘accelerated’’ climate change used in                  will also assist mitigation providers in              result in adverse effects to species or
                                                    the policy.                                             developing compensatory mitigation                    their habitats. These other authorities
                                                       Response: Consistent with the                        project proposals.                                    are often used in combination with, or
                                                    Departmental Manual (600 DM 6), the                       Adherence to the principles,                        to supplement the authorities under, the
                                                    Service recommends that climate                         standards, and guidance identified in                 ESA to recommend or require
                                                    change be considered when evaluating                    this policy is expected to: (1) Provide               compensatory mitigation for a variety of
                                                    the effects of an action and developing                 greater clarity on applying                           resources including at-risk species and
                                                    appropriate mitigation measures. The                    compensatory mitigation to actions                    their habitats. For example, the ESA and
                                                    Service recognizes the science of                       subject to ESA compliance                             the Federal Land Policy and
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                                                    climate change is advancing, and                        requirements; (2) improve consistency                 Management Act (43 U.S.C. 1701 et seq.)
                                                    assessment methodologies are                            and predictability in the                             together provide a greater impetus to
                                                    continually being refined to address the                implementation of the ESA by                          conserve desert tortoise habitat than
                                                    effects of climate change to specific                   standardizing compensatory mitigation                 either statute alone.
                                                    resources and at differing scales.                      practices; and (3) promote the use of                    Synchronizing environmental review
                                                    Including specific information on these                 compensatory mitigation at a landscape                processes, especially through early
                                                    topics is beyond the scope of this                      scale to help achieve the purposes of the             coordination with project proponents,
                                                    policy. Therefore, the policy is written                ESA.                                                  allows the Service to provide comments


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                                                                               Federal Register / Vol. 81, No. 248 / Tuesday, December 27, 2016 / Notices                                            95335

                                                    and recommendations for all mitigation                    This policy does not apply                          authorities within the context of
                                                    types (i.e., avoidance, minimization,                   retroactively to approved mitigation                  compensatory mitigation. The
                                                    and compensation) included as part of                   programs; however, it does apply to                   compensatory mitigation standards set
                                                    proposed actions in an effort to reduce                 amendments and modifications to                       forth in section 5. Compensatory
                                                    impacts to listed, proposed, and at-risk                existing conservation banks, in-lieu fee              Mitigation Standards of this policy
                                                    species and designated and proposed                     programs, and other third-party                       apply to compensatory mitigation
                                                    critical habitat. For example, the Service              compensatory mitigation arrangements                  programs and projects established under
                                                    may comment on proposed actions                         unless otherwise stated in the mitigation             the ESA, as appropriate.
                                                    under NEPA and State environmental                      instrument. Examples of amendments or
                                                                                                                                                                  4.1. Section 7—Interagency Cooperation
                                                    review statutes (e.g., California                       modifications to which this policy
                                                    Environmental Quality Act and Hawaii                    applies include authorization of                         Section 2(c)(1) of the ESA directs all
                                                    Environmental Policy Act).                              additional sites under an existing                    Federal departments and agencies to
                                                    Coordination of environmental review                    instrument or agreement, expansion of                 conserve endangered and threatened
                                                    processes generally results in                          an existing site, or addition of a new                species. ‘‘Conserve’’ is defined in
                                                    conservation outcomes that have a                       type of resource credit such as addition              section 3 of the ESA as all actions
                                                    greater likelihood of meeting the                       of a new species credit.                              necessary to bring the species to the
                                                    Service’s mitigation goal.                                This policy does apply to other                     point that measures provided pursuant
                                                                                                            Federal or non-Federal actions                        to the ESA are no longer necessary (i.e.,
                                                       The supplemental mandate of NEPA
                                                                                                            permitted or otherwise authorized or                  recovery or the process through which
                                                    (42 U.S.C. 4335) adds to the existing
                                                                                                            approved prior to issuance of this policy             recovery of listed species is
                                                    authority and responsibility of the
                                                                                                            under circumstances where the action                  accomplished). This requirement to
                                                    Service to protect the environment
                                                                                                            may require additional compliance                     contribute to the conservation of listed
                                                    when carrying out our mission under
                                                                                                            review under the ESA if: New                          species is reaffirmed in section 7(a)(1) of
                                                    the ESA. The Service’s goal is to provide                                                                     the ESA. Congress recognized the
                                                                                                            information becomes available that
                                                    a coordinated review and analysis of the                                                                      important role Federal agencies have in
                                                                                                            reveals effects of the action to listed
                                                    impacts of proposed actions on listed,                                                                        conserving listed species.
                                                                                                            species or critical habitat not previously
                                                    proposed, and at-risk species, and                                                                               When the ESA was enacted in 1973,
                                                                                                            considered; the action is modified in a
                                                    designated and proposed critical habitat                                                                      section 7 was a single paragraph
                                                                                                            manner that causes effects to listed
                                                    that are also subject to the requirements                                                                     directing ‘‘all Federal departments and
                                                                                                            species and critical habitat not
                                                    of other statutes such as NEPA, CWA,                                                                          agencies . . . [to] utilize their
                                                                                                            previously considered; authorized levels
                                                    and FWCA. Consultation, conference,                                                                           authorities in furtherance of the
                                                                                                            of incidental take are exceeded; a new
                                                    and biological assessment procedures                                                                          purposes of [the ESA] by carrying out
                                                                                                            species is listed or critical habitat is
                                                    under section 7 and permitting                                                                                programs for the conservation of
                                                                                                            designated that may be affected by the
                                                    procedures under section 10(a)(1)(B) of                 actions; or the project proponent                     endangered species and threatened
                                                    the ESA can be integrated with                          specifically requests the Service to                  species listed pursuant to section 4 of
                                                    interagency cooperation procedures                      apply the policy. This policy does not                [the ESA] and [emphasis added] by
                                                    required by other statutes such as NEPA                 apply to actions that are specifically                taking such action necessary to insure
                                                    or FWCA. This is particularly the case                  exempted under the ESA. It also does                  that actions authorized, funded, or
                                                    for cumulative effects. Cumulative                      not apply where the Service has already               carried out by them do not jeopardize
                                                    effects are often difficult to analyze, are             agreed in writing to mitigation measures              the continued existence of such
                                                    defined differently under different                     for pending actions, except where new                 endangered species and threatened
                                                    statutes, and are often not adequately                  activities or changes in current activities           species or result in the destruction or
                                                    considered when making decisions                        associated with those actions would                   modification of habitat of such species
                                                    affecting the type and amount of                        result in new impacts, or where new                   which is determined . . . to be critical.’’
                                                    mitigation recommended or required.                     authorities, or failure to implement                  In 1979, section 7 was amended to
                                                    3. Scope                                                agreed upon recommendations warrant                   create subsections 7(a)(1) and 7(a)(2).
                                                                                                            new consideration regarding mitigation.               Federal agencies have separate
                                                       The ESA Compensatory Mitigation                      Service offices may elect to apply this               responsibilities concerning species and
                                                    Policy covers all forms of compensatory                 policy to actions that are under review               their habitats under these two
                                                    mitigation, including, but not limited to,              as of December 27, 2016,                              subsections. Section 7(a)(1) is a recovery
                                                    permittee-responsible mitigation,                         This policy clarifies guidance given in             measure that requires Federal agencies
                                                    conservation banking, in-lieu fee                       the Service’s ‘‘Guidance for the                      to carry out programs for the
                                                    programs, and other third-party                         Establishment, Use, and Operation of                  conservation of listed species. Section
                                                    mitigation projects or arrangements, for                Conservation Banks,’’ published in the                7(a)(2) is a stabilization measure that
                                                    all species and habitat protected under                 Federal Register on May 8, 2003 (68 FR                requires Federal agencies to ensure
                                                    the ESA and for which the Service has                   24753), and ‘‘Guidance on Recovery                    actions they authorize, fund, or carry
                                                    jurisdiction. Endangered and threatened                 Crediting for the Conservation of                     out are not likely to jeopardize the
                                                    species, species proposed as endangered                 Threatened and Endangered Species,’’                  continued existence of a listed species
                                                    or threatened, and designated and                       published in the Federal Register on                  or destroy or adversely modify critical
                                                    proposed critical habitat, are the                      July 31, 2008 (73 FR 44761).                          habitat.
                                                    primary focus of this policy. Candidates
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                                                    and other at-risk species would also                    4. Application of Compensatory                        4.1.1. Section 7(a)(1)
                                                    benefit from adherence to the standards                 Mitigation Under the ESA                                 Section 7(a)(1) of the ESA states,
                                                    set forth in this policy, and all Service                  Sections of the ESA under which the                ‘‘. . . Federal agencies shall, in
                                                    programs are encouraged to develop                      Service has authority to recommend or                 consultation with and with the
                                                    compensatory mitigation programs and                    require compensatory mitigation for                   assistance of the Secretary, utilize their
                                                    tools to conserve at-risk species in                    species or their habitat are identified               authorities in furtherance of the
                                                    cooperation with States and other                       below. In this section, we provide                    purposes of [the ESA] by carrying out
                                                    partners.                                               guidance on applications of these ESA                 programs for the conservation of


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                                                    95336                      Federal Register / Vol. 81, No. 248 / Tuesday, December 27, 2016 / Notices

                                                    endangered species and threatened                       private entities seeking compensation to              to these resources that are not avoided
                                                    species.’’ The Secretary’s section 7(a)(1)              offset the impacts of their actions for               to achieve a ‘‘net gain’’ or, at a
                                                    consultation role has been delegated to                 those same species. The resulting                     minimum, ‘‘no net loss’’ in the
                                                    the Service, and the Service therefore                  compensatory mitigation program                       conservation of listed species.
                                                    consults with and assists Federal                       provides conservation for the species                    Guidance: The Service should
                                                    agencies to accomplish these                            that would otherwise not have been                    coordinate with Federal agencies and
                                                    conservation programs. ‘‘Conservation,’’                achieved—a contribution to listed                     encourage them to use their authorities
                                                    as it is defined in section 3 of the ESA,               species conservation under section                    under appropriate statutes (e.g., Federal
                                                    means ‘‘to use and the use of all                       7(a)(1) of the ESA by the Federal agency.             Land Policy and Management Act) to
                                                    methods and procedures which are                                                                              avoid, minimize, and offset adverse
                                                                                                            4.1.2. Section 7(a)(2)                                impacts to listed species and designated
                                                    necessary to bring any endangered
                                                    species or threatened species to the                       Section 7(a)(2) of the ESA states,                 critical habitat using the full mitigation
                                                    point at which the measures provided                    ‘‘[e]ach Federal agency shall . . . insure            sequence. Compensation is a component
                                                    pursuant to this Act are no longer                      that any action authorized, funded, or                of the mitigation sequence that can be
                                                    necessary.’’ Through this policy, the                   carried out, by such agency . . . is not              applied to offset adverse effects of
                                                    Service encourages Federal agencies to                  likely to jeopardize the continued                    actions on listed species and critical
                                                    use section 7(a)(1) to achieve a goal of                existence of any endangered species or                habitat. Furthermore, the Service can
                                                    a ‘‘net gain’’ through their mitigation                 threatened species or result in the                   work with Federal agencies to establish
                                                    policies and approaches so that they                    destruction or adverse modification of                compensatory mitigation programs such
                                                    may help bring endangered and                           [critical] habitat.’’ The Service                     as conservation banking and in-lieu fee
                                                    threatened species to the point where                   determines through consultation under                 programs that incentivize offsetting the
                                                    they no longer need to be listed                        section 7(a)(2) whether or not the                    effects of their actions through the
                                                    pursuant to the ESA.                                    proposed action is likely to jeopardize               appropriate use of compensation while
                                                       Mitigation Goal: Development of                      the continued existence of listed species             expediting regulatory processes for the
                                                    landscape-scale conservation programs                   or destroy or adversely modify critical               Federal agencies and applicants. Due to
                                                    for listed and at-risk species that are                 habitat. The Service then issues a                    economies of scale, such mitigation
                                                    designed to achieve a net gain in                       biological opinion stating our                        programs are particularly effective at
                                                    conservation for the species.                           conclusion and, in the case of a finding              providing more effective and cost-
                                                       Guidance: One way that Federal                       of no jeopardy (or jeopardy                           efficient compensation opportunities for
                                                    agencies can meet their responsibility                  accompanied by reasonable and prudent                 offsetting the effects of multiple actions
                                                    under section 7(a)(1) of the ESA is by                  alternatives that can be taken by the                 that individually have small impacts.
                                                    working with the Service and other                      Federal agency to avoid jeopardy),
                                                    conservation partners to develop                        formulates an incidental take statement,              4.1.2.1. Proposed Actions and Project
                                                    landscape-scale conservation plans that                 if such take is reasonably certain to                 Descriptions
                                                    include compensatory mitigation                         occur, that identifies the anticipated                   To better implement section 7(a)(2) of
                                                    programs designed to contribute to                      amount or extent of incidental take of                the ESA and prevent species declines,
                                                    species recovery. Landscape-scale                       listed species and specifies reasonable               the Service will work with Federal
                                                    approaches to compensatory mitigation,                  and prudent measures necessary or                     agencies and applicants to identify
                                                    such as conservation banking and in-                    appropriate to minimize such impacts                  conservation measures, using the full
                                                    lieu fee programs, are more likely to be                under section 7(b)(4) of the ESA. If the              mitigation sequence, that can be
                                                    successful if Federal agencies,                         proposed action is likely to adversely                included as part of proposed actions for
                                                    especially those that carry out, fund,                  affect critical habitat, the Service’s                unavoidable impacts to listed species
                                                    permit, or otherwise authorize actions                  biological opinion also analyzes                      and critical habitat to achieve, at a
                                                    that can use these programs, are                        whether adverse modification is likely                minimum, ‘‘no net loss’’ in the species’
                                                    involved in their establishment and                     to occur and specifies reasonable and                 conservation. The mitigation sequence
                                                    support their use. For example, the                     prudent alternatives to avoid adverse                 should be observed (i.e., avoid first,
                                                    Federal Highway Administration, as                      modification, as necessary and if                     then minimize, then compensate),
                                                    part of its long-term planning process,                 available. If the listed species is a                 except where circumstances may
                                                    can use its authorities to work with the                marine mammal, incidental taking is                   warrant a departure from this preferred
                                                    Service and other conservation partners                 authorized pursuant to section 101(a)(5)              sequence. For example, it may be
                                                    on conservation programs for listed                     of the Marine Mammal Protection Act                   preferable to compensate for the loss of
                                                    species that may be impacted by                         (MMPA; 16 U.S.C. 1361 et seq.) prior to               an occupied site that will be difficult to
                                                    anticipated future actions. The                         issuance of an incidental take statement              maintain based on projected future land
                                                    conservation programs can include                       under the ESA.                                        use (e.g., the site is likely to be isolated
                                                    identifying priority conservation areas,                   Mitigation Goal: The Service should                from the population in the future) or
                                                    developing crediting methodologies to                   work with Federal agencies to assist                  climate change impacts. The Service
                                                    value affected species, and developing                  them in proposing actions that are not                will consider conservation measures,
                                                    guidance for offsetting those impacts                   likely to jeopardize the continued                    including compensatory mitigation, as
                                                    that is expected to achieve ‘‘no net                    existence of any listed species or result             appropriate, proposed by the action
                                                    loss,’’ or even a ‘‘net gain,’’ in                      in the destruction or adverse                         agency or applicant as part of the
                                                    conservation for the species. These tools               modification of any designated critical               proposed action when developing a
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                                                    and information can then be used by                     habitat, as required under section 7(a)(2)            biological opinion addressing the effects
                                                    conservation bank sponsors and other                    of the ESA. While not required under                  of the proposed action on listed species
                                                    mitigation providers to develop                         section 7(a)(2), the Service may also                 and critical habitat. This consideration
                                                    compensatory mitigation opportunities                   encourage Federal agencies and                        of beneficial actions (i.e., compensatory
                                                    (e.g., conservation banks) for use by the               applicants (consistent with Federal                   mitigation) is consistent with our
                                                    Federal Highway Administration, and                     action agency authorities) to include                 implementing regulations at 50 CFR
                                                    also by State departments of                            compensation as part of their proposed                402.14(g)(8). Federal agencies should
                                                    transportation and other public and                     actions to offset any anticipated impacts             coordinate early with the Service on the


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                                                                               Federal Register / Vol. 81, No. 248 / Tuesday, December 27, 2016 / Notices                                95337

                                                    appropriateness of such beneficial                      identify and resolve potential conflicts  required should the species become
                                                    actions as compensation for anticipated                 at an early stage in the planning process.listed during the term of the CCAA.
                                                    future actions.                                            Mitigation Goal: The Service should    Under a safe harbor agreement (SHA),
                                                                                                            work with Federal agencies to assist      private and other non-Federal property
                                                    4.1.2.2. Jeopardy or Adverse
                                                                                                            them in proposing actions that are not    owners may voluntarily undertake
                                                    Modification Determinations and RPAs
                                                                                                            likely to jeopardize the continued        management activities on their property
                                                       When the Service issues a biological                 existence of any species proposed for     to enhance, restore, or maintain habitat
                                                    opinion with a finding of jeopardy or                   listing or result in the destruction or   benefiting species listed under the ESA
                                                    adverse modification of critical habitat,               adverse modification of any proposed      in exchange for assurances that there
                                                    we include reasonable and prudent                       critical habitat, in accordance with      will not be any increased property use
                                                    alternatives (RPAs) when possible.                      section 7(a)(4) of the ESA. The Service   restrictions as a result of their efforts
                                                    RPAs may include any and all forms of                   should also encourage Federal agencies    that either attract listed species to their
                                                    mitigation, including compensatory                      and applicants to include compensation    property or that increase the numbers or
                                                    mitigation, that can be applied to avoid                as part of their proposed actions to      distribution of listed species already on
                                                    proposed actions from jeopardizing the                  offset any anticipated impacts to         their property during the term of the
                                                    existence of listed species or destroying               resources that are not avoided to         agreement. Both types of agreements are
                                                    or adversely modifying critical habitat,                achieve a net gain or, at a minimum, no   designed to encourage conservation of
                                                    provided they are consistent with the                   net loss in their conservation.           species on non-Federal land.
                                                    regulatory definition of RPAs at 50 CFR                    Guidance: The Service should              Mitigation Goal: Transitioning CCAAs
                                                    402.02.                                                 coordinate with Federal agencies and      and SHAs into long-term/permanent
                                                    4.1.2.3. No Jeopardy and No Adverse                     encourage them to use their authorities   conservation that can serve as
                                                                                                            to avoid and minimize adverse impacts     compensatory mitigation when
                                                    Modification Determinations and RPMs
                                                                                                            to proposed and at-risk species and       appropriate and desired by landowners.
                                                       When the Service issues a biological                 proposed critical habitat using the full  Such transitions provide greater
                                                    opinion with a finding of no jeopardy,                  mitigation sequence. The Service may      assurance that the species conservation
                                                    we provide the Federal agency and                       recommend compensatory mitigation         efforts begun under the CCAA or SHA
                                                    applicant (if any) with an incidental                   for adverse effects to proposed or at-riskwill persist on the landscape beyond the
                                                    take statement, if take is reasonably                   species during informal conference or in  term of the original agreement.
                                                    certain to occur, in accordance with                    a conference report or conference            Guidance: CCAAs or SHAs are not
                                                    section 7(b)(4) of the ESA. The                         opinion, or the Federal action agency or  intended to be mitigation programs and
                                                    incidental take statement specifies the                 applicant may propose compensatory        do not require site protection and
                                                    amount or extent of anticipated take, the               mitigation as part of the action. If a    financial assurances that meet the
                                                    impact of such take on the species, and                 conference opinion or report determines   compensatory mitigation standards set
                                                    any reasonable and prudent measures                     that a proposed action is likely to       forth in this policy, however, the
                                                    (RPMs) and implementing terms and                       jeopardize the continued existence of a   conservation achieved through
                                                    conditions determined by the Service to                 proposed species or adversely modify or   implementation of a CCAA or SHA may
                                                    be necessary or appropriate to minimize                 destroy proposed critical habitat, the    be ‘rolled over’ for use as compensatory
                                                    the impact of the take.                                 Service will include RPAs, if any are     mitigation if: (1) The CCAA or SHA
                                                       RPMs can include mitigation, in                                                                permit has expired or is surrendered; (2)
                                                                                                            available, that may include
                                                    appropriate circumstances, if such a                                                              the landowner is in compliance with the
                                                                                                            compensatory mitigation. If the species
                                                    measure minimizes the effect of the                                                               terms and conditions of the CCAA or
                                                                                                            is subsequently listed or critical habitat
                                                    incidental take on the species, and as                                                            SHA at the time of transition; (3) any
                                                                                                            is designated prior to completion of the
                                                    long as the measure is consistent with                                                            commitments for conservation for
                                                                                                            action, the Service will give appropriate
                                                    the interagency consultation regulations                                                          which financial compensation from
                                                                                                            consideration to compensatory
                                                    at 50 CFR 402.14. RPMs should also be                                                             public sources was received has been
                                                                                                            mitigation when confirming the
                                                    commensurate with and proportional to                                                             fulfilled and if not fulfilled is prorated
                                                                                                            conference opinion as a biological
                                                    the impacts associated with the action.                                                           and deducted from the mitigation credit
                                                                                                            opinion or if formal consultation is
                                                    The Service should provide an                                                                     assigned to the property; and (4) all
                                                                                                            necessary. This consideration of
                                                    explanation of why the measures are                                                               other requirements for providing
                                                                                                            beneficial actions is consistent with our
                                                    necessary or appropriate. If the                                                                  compensatory mitigation are met. If the
                                                                                                            implementing regulations at 50 CFR
                                                    proposed action includes conservation                                                             Service determines the CCAA or SHA
                                                                                                            402.14(g)(8).
                                                    measures sufficient to fully compensate                                                           would provide greater conservation to
                                                    for incidental take, it may not be                      4.2. Section 10—Conservation Plans and the species as compensatory mitigation,
                                                    necessary to include additional                         Agreements                                then the Service should inform the
                                                    minimization measures (beyond                                                                     landowner of this assessment and
                                                                                                            4.2.1. Safe Harbor and Candidate          provide the landowner with the
                                                    monitoring) through RPMs.
                                                                                                            Conservation Agreements                   opportunity to transition their property
                                                    4.1.3. Section 7(a)(4)                                     Under a candidate conservation         from a CCAA or SHA site to a mitigation
                                                       Section 7(a)(4) of the ESA states,                   agreement with assurances (CCAA),         site.
                                                    ‘‘[e]ach Federal agency shall confer with               private and other non-Federal property       Landowners enrolled in CCAAs while
                                                    [the Service] on any agency action                      owners may voluntarily undertake          the species remains unlisted can
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                                                    which is likely to jeopardize the                       conservation management activities on     provide compensatory mitigation under
                                                    continued existence of any species                      their properties to address threats to    a State or other non-Service mitigation
                                                    proposed to be listed . . . or result in the            unlisted species and to enhance, restore, program if the actions related to the
                                                    destruction or adverse modification of                  or maintain habitat benefiting species    mitigation are additional to those taken
                                                    critical habitat proposed to be                         that are candidates or proposed for       to satisfy the CCAA requirement.
                                                    designated for such species.’’ The                      listing under the ESA or other at-risk    Should the species become listed before
                                                    conference is designed to assist the                    species in exchange for assurances that   the CCAA expires, the landowner has
                                                    Federal agency and any applicant to                     no further action on their part is        the option to roll over the existing


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                                                    95338                      Federal Register / Vol. 81, No. 248 / Tuesday, December 27, 2016 / Notices

                                                    mitigation agreement to a Service-                      various options available to address                  proposed critical habitat. The
                                                    approved mitigation instrument that                     compensatory mitigation for HCPs.                     compensatory mitigation standards
                                                    meets the standards established in this                                                                       described in this section of the policy
                                                                                                            4.3. Other Sections of the ESA Where
                                                    policy.                                                                                                       will implement the mitigation
                                                                                                            Compensatory Mitigation Can Play a
                                                                                                                                                                  principles, as outlined in the Mitigation
                                                    4.2.2. Habitat Conservation Plans                       Role
                                                                                                                                                                  Policy, including using a landscape
                                                       Section 10(a)(1)(B) of the ESA allows                   Section 4(d) of the ESA authorizes the             approach to inform mitigation and
                                                    the Service to issue an incidental take                 Service to issue protective regulations               aspiring to meet the goal to improve
                                                    permit for ‘‘any taking otherwise                       that are necessary and advisable to                   (i.e., a ‘‘net gain’’) or, at minimum, to
                                                    prohibited by section 9(a)(1)(B) [of the                provide for the conservation of                       maintain (i.e., ‘‘no net loss’’) the current
                                                    ESA] if such taking is incidental to, and               threatened species. The Service used                  status of affected resources, as allowed
                                                    not the purpose of, the carrying out of                 this authority to extend the prohibition              by applicable statutory authority and
                                                    an otherwise lawful activity.’’ If, under               of take (section 9 of the ESA) to all                 consistent with the responsibilities of
                                                    section 10(a)(2)(B) of the ESA, the                     threatened species by regulation in                   action proponents under such authority.
                                                    Service finds the issuance criteria are                 1978, through promulgation of a                       Compensatory mitigation programs,
                                                    met by the applicant, including that the                ‘‘blanket 4(d) rule’’ (50 CFR 17.31). This            projects, and measures that are
                                                    applicant will, ‘‘to the maximum extent                 blanket 4(d) rule can be modified by a                consistent with the mitigation
                                                    practicable, minimize and mitigate the                  species-specific 4(d) rule (e.g., Special             principles and adhere to the
                                                    impacts of such taking,’’ the Service will              Rule Concerning Take of the Threatened                compensatory mitigation standards set
                                                    issue a permit. Plant species and                       Coastal California Gnatcatcher (58 FR                 forth in this section of the policy are
                                                    unlisted animal species may also be                     65088, December 10, 1993)). Depending                 expected to achieve the best
                                                    covered in the habitat conservation plan                on the threats, the inclusion of                      conservation outcomes. The
                                                    (HCP), provided the applicant meets                     compensatory mitigation in a species-                 compensatory mitigation standards
                                                    requirements for their coverage                         specific 4(d) rule may help offset habitat            apply to all compensatory mitigation
                                                    described in the implementing                           loss, and could hasten recovery or                    mechanisms (i.e., permittee-responsible
                                                    regulations. The Service incorporates                   preclude the need to reclassify the                   mitigation, conservation banks, in-lieu
                                                    these measures as terms and conditions                  species as endangered.                                fee programs, etc.) and all forms of
                                                    of the permit. Regulations governing                       Section 5 of the ESA provides                      compensatory mitigation (i.e.,
                                                    incidental take permits for endangered                  authority for the Service and the U.S.                restoration, preservation, establishment,
                                                    and threatened wildlife species are                     Department of Agriculture, with respect               and enhancement) approved by the
                                                    found at 50 CFR 17.22 and 17.32. The                    to the National Forest System, to                     Service. Specific operational details
                                                    Service is required to conduct a section                establish and implement a program to                  regarding the standards will be in the
                                                    7(a)(2) consultation on issuance of an                  conserve fish, wildlife, and plants,                  implementation guidance to be issued
                                                    incidental take permit.                                 including those which are listed as                   by the Service. The standards are as
                                                                                                            endangered species or threatened                      follows:
                                                       Mitigation Goal: Consistent with the
                                                                                                            species through:
                                                    purposes and polices of the ESA, the                                                                          5.1. Siting Sustainable Compensatory
                                                                                                               • Use of land acquisition and other
                                                    Service should work with applicants to                                                                        Mitigation
                                                                                                            authority under the Fish and Wildlife
                                                    assist them in developing HCPs that                                                                             Compensatory mitigation will be sited
                                                                                                            Act of 1956, as amended (16 U.S.C.
                                                    achieve a ‘‘net gain’’ or, at a minimum,                                                                      in locations that have been identified in
                                                                                                            742a–742j, not including 742d–1); the
                                                    ‘‘no net loss’’ in the conservation of                                                                        landscape-scale conservation plans or
                                                                                                            Fish and Wildlife Coordination Act, as
                                                    covered species and critical habitat.                                                                         mitigation strategies as areas that will
                                                                                                            amended (16 U.S.C. 661 et seq.); and the
                                                    Though the statute does not require this                                                                      meet conservation objectives and
                                                                                                            Migratory Bird Conservation Act (16
                                                    of HCP applicants, applicants often will                                                                      provide the greatest long-term benefit to
                                                                                                            U.S.C. 715–715d, 715e, 715f–715r), as
                                                    request additional measures for greater                                                                       the listed, proposed, and/or at-risk
                                                                                                            appropriate; and
                                                    future assurances. This is generally                       • Acquisition by purchase, donation,               species and other resources of primary
                                                    achievable through programmatic                         or otherwise, of lands, waters, or                    conservation concern. The Service will
                                                    approaches, which provide                               interests therein.                                    rely upon existing conservation plans
                                                    opportunities for the use of landscape-                    Establishment of compensatory                      that are based upon the best available
                                                    scale compensatory mitigation programs                  mitigation programs that conserve listed              scientific information, consider climate-
                                                    to offset impacts of actions.                           or at-risk species on lands adjacent to               change adaptation, and contain specific
                                                       Guidance: Compensatory mitigation                    National Forests could be used to offset              objectives aimed at the biological needs
                                                    should be concurrent with or in advance                 losses to those species and their habitats            of the affected resources. Where existing
                                                    of impacts, whenever possible.                          by actions authorized by the Service and              conservation plans are not available that
                                                    Programmatic approaches are                             also help buffer National Forests from                incorporate all of these elements or are
                                                    recommended when they will produce                      incompatible neighboring land uses.                   not updated with the best available
                                                    regulatory efficiency and improved                                                                            scientific information, Service
                                                    conservation outcomes for the covered                   5. Compensatory Mitigation Standards
                                                                                                                                                                  personnel will otherwise incorporate
                                                    species. These HCPs operate on a                           The mitigation principles, as                      the best available science into
                                                    landscape scale and often use                           described in the Service’s Mitigation                 mitigation decisions and
                                                    conservation banks, in-lieu fee                         Policy (81 FR 83440, November 21,
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                                                                                                                                                                  recommendations and continually seek
                                                    programs, or other compensatory                         2016), are goals the Service intends to               better information in areas of greatest
                                                    mitigation opportunities established by                 achieve, in part through recommending                 uncertainty.
                                                    mitigation sponsors and approved by                     or requiring, as appropriate, under the
                                                    the Service. These landscape-scale                      ESA and other applicable authorities,                 5.2. In-Kind for Species
                                                    programmatic approaches can achieve a                   the inclusion of compensatory                           Compensatory mitigation must be in-
                                                    net gain in conservation for the covered                mitigation in proposed actions with                   kind for the listed, proposed, or at-risk
                                                    species as a result of economies of scale.              adverse impacts to listed, proposed, or               species affected by the proposed action.
                                                    See the revised HCP Handbook for the                    at-risk species, and designated or                    The same requirement does not


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                                                                               Federal Register / Vol. 81, No. 248 / Tuesday, December 27, 2016 / Notices                                            95339

                                                    necessarily apply to the habitat type                   same species or habitat type. If they are             the habitat relevant to the species must
                                                    affected, as the best conservation                      not the same, the relationship                        be assessed prior to implementing the
                                                    outcome for the species may not be an                   (conversion) between credits and debits               compensatory mitigation project for
                                                    offset of the same habitat type or                      must be transparent and scientifically                comparison to conditions after
                                                    ecological attribute of the habitat                     defensible. Metrics must account for                  completion of the compensatory
                                                    impacted by the action. Many species                    duration of the impact, temporal loss to              mitigation project in order to quantify
                                                    use different habitat types at different                the species, management of risk                       and verify the additional benefits
                                                    life stages or for different life-history               associated with compensatory                          derived from the mitigation project.
                                                    requirements such as feeding, breeding,                 mitigation, and other such measures.                    Demonstrating additionality on lands
                                                    and sheltering. For example, some                       This does not mean that metrics                       already designated for conservation
                                                    species are migratory. Selecting a                      developed to measure losses and gains                 purposes can be challenging,
                                                    habitat type different from that                        on the landscape must be precise, as                  particularly when the lands under
                                                    impacted by the action or selecting more                this is rarely possible in biological                 consideration are public lands. In
                                                    than one type of habitat for                            systems, but uncertainty should be                    general, credit can only be authorized
                                                    compensatory mitigation may best meet                   noted where it exists and metrics must                for compensatory mitigation on public
                                                    the conservation needs of the species.                  be based on the best scientific data                  lands if additionality can be clearly
                                                       Offsetting impacts to designated or                  available to gauge the adequacy of the                demonstrated and is legally attainable.
                                                    proposed critical habitat through the use               compensatory mitigation. Modifying                    See section 6.2. Eligible Lands for
                                                    of compensatory mitigation should                       existing metrics on which approved                    guidance on using public lands for
                                                    target the maintenance, restoration, or                 conservation banks or other                           compensatory mitigation.
                                                    improvement of the recovery support                     compensatory mitigation programs are                  5.5. Timing and Duration
                                                    function of the affected critical habitat               based and still in use warrants careful
                                                    as described in the relevant biological or              consideration and must be based on best                 Compensatory mitigation projects
                                                    conference opinion, conservation or                     available science.                                    must achieve conservation objectives
                                                    mitigation plan, mitigation instrument,                    Scientifically defensible metrics also             within a reasonable timeframe and for at
                                                    permit, or conference report. Recovery                  are needed to measure biological and                  least the duration of the impacts.
                                                    plans, 5-year reviews, proposed and                     ecological performance criteria used to               Ideally, compensatory mitigation should
                                                    final critical habitat rules, and the best              monitor the outcome of compensatory                   be implemented in advance of the
                                                    available science on species status,                    mitigation. It may be necessary to adjust             action that adversely impacts the
                                                    threats, and needs should be relied on                  metrics over time through monitoring                  species or critical habitat. When this is
                                                    to inform the selection of habitat types                and adaptive management processes in                  not possible or practicable, temporal
                                                    subject to compensatory mitigation                      order to respond to changing conditions               losses to the affected species must be
                                                    actions for unavoidable adverse impacts                 and ensure they remain effective at                   compensated through some means (e.g.,
                                                    to species or critical habitat.                         assessing the conservation objectives of              increased mitigation ratio that reflects
                                                       The use of compensatory mitigation to                the compensatory mitigation program.                  the degree of temporal loss). Temporal
                                                    minimize the impacts of incidental take                 However, modifying metrics used to                    loss may include indirect effects of the
                                                    on listed species can be based on habitat               monitor performance should not be a                   action on the species that occur beyond
                                                    or another surrogate such as a similarly                substitute for lack of compliance or                  the time period of any direct effects of
                                                    affected species or ecological conditions               failure to implement adaptive                         the action (e.g., removal of habitat
                                                    under circumstances where it is not                     management.                                           during a season when individuals of a
                                                    practicable to express or monitor the                                                                         migratory species are absent). Temporal
                                                    amount or extent of take in terms of the                5.4. Judicious Use of Additionality                   loss to the species as a result of both
                                                    number of individuals of the species, in                   Compensatory mitigation must                       direct and indirect adverse effects must
                                                    accordance with 50 CFR 402.14(i)(1)(i).                 provide benefits beyond those that                    be addressed when determining
                                                    A causal link between the surrogate and                 would otherwise have occurred through                 appropriate compensatory mitigation.
                                                    take of the species must be explained                   routine or required practices or actions,             Losses of habitat that require many
                                                    and must be scientifically defensible.                  or obligations required through legal                 years to restore may best be offset by a
                                                    For example, occupied habitat of a                      authorities or contractual agreements. A              combination of restored habitat,
                                                    listed species has been used as a                       compensatory mitigation measure is                    preservation of existing high-quality
                                                    surrogate to express the amount or                      ‘‘additional’’ when the benefits of the               habitat, and improved management of
                                                    extent of take of the vernal pool fairy                 measure improve upon the baseline                     existing habitat. The amount of
                                                    shrimp (Branchinecta lynchi) because                    conditions of the impacted resources                  temporal loss, the form of compensatory
                                                    quantification of take in terms of                      and their values, services, and functions             mitigation (i.e., establishment,
                                                    individuals is not practicable, but the                 in a manner that is demonstrably new                  enhancement, restoration, preservation,
                                                    surface area of occupied vernal pool                    and would not have occurred without                   or some combination of these forms),
                                                    habitat is easily measured and                          the compensatory mitigation measure                   and the time anticipated to establish the
                                                    monitored.                                              (600 DM 6.4G). The additional benefits                compensatory mitigation on the
                                                                                                            may result from restoration or                        landscape should be used to determine
                                                    5.3. Reliable and Consistent Metrics                    enhancement of habitat; preservation of               the amount of compensatory mitigation
                                                      Metrics that measure ecological                       existing habitat that lacks adequate                  needed to meet the mitigation goal for
                                                    functions and/or services at                            protection; management actions that
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                                                                                                                                                                  the species, critical habitat, and/or other
                                                    compensatory mitigation sites and                       protect, maintain, or create habitat (e.g.,           resources of concern.
                                                    impact sites must be science-based,                     regularly scheduled prescribed burns or
                                                    quantifiable, consistent, repeatable, and               purchase of rights in a split estate); or             5.6. Ensure Durability
                                                    related to the conservation goals for the               other activities (e.g., an action that                  Compensatory mitigation must be
                                                    species. These metrics may be species-                  reduces threats from disease or                       secured by adequate legal, real estate,
                                                    or habitat-based. Metrics used to                       predation, or captive breeding and                    and financial protections that ensure the
                                                    calculate credits should be the same as                 reintroduction of individuals or                      success of the mitigation. Most
                                                    those used to calculate debits for the                  populations). Baseline conditions for                 compensatory mitigation projects are


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                                                    95340                      Federal Register / Vol. 81, No. 248 / Tuesday, December 27, 2016 / Notices

                                                    permanent, and the viability of the                     5.9. Maintain Transparency and                        advance of impacts reduces risk and
                                                    assurances to achieve long-term                         Predictability                                        uncertainty. Demonstrating that
                                                    stewardship of a mitigation site must be                  Consistent implementation of ESA                    mitigation is successfully implemented
                                                    carefully planned and implemented to                    programs that permit or authorize                     in advance of impacts provides
                                                    ensure durability. A compensatory                       incidental take of listed species will                ecological and regulatory certainty that
                                                    mitigation measure is ‘‘durable’’ when                  provide regulatory predictability for                 is rarely matched by a proposal of
                                                    the effectiveness of the measure is                     everyone. The Service will share                      mitigation to be accomplished
                                                    sustained for the duration of the                       appropriate information on the                        concurrent with, or subsequent to, the
                                                    associated impacts (including direct and                availability of compensatory mitigation               impacts of the actions even when that
                                                    indirect impacts) of the authorized                     programs and projects with the public                 proposal is supplemented with higher
                                                    action (600 DM 6.4H).                                   through online media or other                         mitigation ratios. While conservation
                                                    5.7. Effective Conservation Outcomes                    appropriate means. Information                        banking is by definition mitigation in
                                                    and Accountability                                      regarding conservation banks is                       advance of impacts, other third-party
                                                                                                            available on the Regulatory In-lieu fee               mitigation arrangements and permittee-
                                                      The Service has authority to conduct                                                                        responsible mitigation may also satisfy
                                                                                                            and Bank Information Tracking System
                                                    direct oversight of all compensatory                                                                          this preference by implementing
                                                                                                            (RIBITS) (https://ribits.usace.army.mil).
                                                    mitigation programs and projects for                                                                          compensatory mitigation in advance of
                                                                                                            The Service anticipates working with
                                                    which we have exempted or permitted                                                                           impacts. In-lieu fee programs can also
                                                                                                            the USACE to update RIBITS so that it
                                                    incidental take under the ESA. A                                                                              satisfy this preference through a ‘‘jump
                                                                                                            may be used for our in-lieu fee
                                                    standard condition of HCP incidental                                                                          start’’ that achieves and maintains a
                                                                                                            programs. Similar information for
                                                    take permits provides for such                                                                                supply of credits that offer mitigation in
                                                                                                            habitat credit exchanges and other third-
                                                    oversight. Incidental take exemptions                                                                         advance of impacts.
                                                                                                            party sponsored mitigation projects, or
                                                    provided by statute to Federal agencies
                                                                                                            when it is not otherwise possible to use              6.1.3. Preference for Consolidated
                                                    and applicants through the ESA section
                                                                                                            RIBITS, must be made publicly                         Compensatory Mitigation
                                                    7 process require that mandatory terms
                                                                                                            accessible.
                                                    and conditions included with the take                                                                            Mitigation mechanisms that
                                                    statement must be implemented by the                    6. General Considerations                             consolidate compensatory mitigation on
                                                    Federal agency or its applicant to                         Specific operational details, in                   the landscape, such as conservation
                                                    activate the exemption in 7(o)(2) of the                addition to the information provided                  banks and in-lieu fee programs, are
                                                    Act. Should a mitigation project fail to                below in this section, will be in                     generally preferred to small, disjunct
                                                    meet its performance criteria and                       implementation guidance issued by the                 compensatory mitigation sites spread
                                                    therefore fail to provide the expected                  Service.                                              across the landscape. Consolidated
                                                    conservation for the species, the                                                                             mitigation sites generally have several
                                                    responsible party must provide                          6.1. Preferences
                                                                                                                                                                  advantages over multiple, small,
                                                    equivalent compensation through other                     The appropriate form of                             isolated mitigation sites. These
                                                    means.                                                  compensatory mitigation (i.e.,                        advantages include:
                                                    5.8. Encourage Collaboration                            preservation, restoration, enhancement,                  • Avoidance of a piecemeal approach
                                                                                                            establishment, or a combination of some               to conservation efforts that often results
                                                       Successful landscape-scale                           or all of these forms) must be based on
                                                    compensatory mitigation depends on                                                                            in small, non-sustainable parcels of
                                                                                                            the species’ needs and the nature of the              habitat scattered throughout the
                                                    the engagement of affected communities                  impacts adversely affecting the species.
                                                    and stakeholders. Governments,                                                                                landscape;
                                                                                                            The Service has the following general                    • Sites that are usually a component
                                                    communities, organizations, and                         preferences related to compensatory
                                                    individuals support what they help to                                                                         of a landscape-level strategy for
                                                                                                            mitigation.                                           conservation of high-value resources;
                                                    develop. The Service will provide
                                                    opportunities for and encourage                         6.1.1. Preference for Strategically Sited                • Cost effective compensatory
                                                    appropriate stakeholder participation in                Compensatory Mitigation                               mitigation options for small projects,
                                                    development of landscape-scale                             Preference shall be given to                       allowing for effective offsetting of the
                                                    compensatory mitigation strategies that                 compensatory mitigation projects sited                cumulative adverse effects that result
                                                    affect listed, proposed, and at-risk                    within the boundaries of priority                     from numerous, similar, small actions;
                                                    species, and proposed and designated                    conservation areas identified in existing                • An increase in public-private
                                                    critical habitat through appropriate                    landscape-scale conservation plans as                 partnerships that plan in advance and a
                                                    public processes such as those used for                 described in the Service’s Mitigation                 landscape-scale approach to mitigation
                                                    programmatic habitat conservation                       Policy (81 FR 83440, November 21,                     to provide communities with
                                                    plans (HCPs). Programmatic approaches                   2016). Priority conservation areas for                opportunities to conserve highly valued
                                                    to compensatory mitigation programs                     listed species may be identified in                   natural resources while still allowing for
                                                    for at-risk species are also encouraged,                documents such as species status                      community development and growth;
                                                    particularly when led by State agencies,                assessments, recovery plans, and/or 5-                   • Greater capacity for bringing
                                                    and the Service will make every effort                  year reviews.                                         together financial resources and
                                                    to participate in the planning,                                                                               scientific expertise not practicable for
                                                    establishment, and operation of such                    6.1.2. Preference for Compensatory                    small conservation actions;
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                                                    programs as described in our draft                      Mitigation in Advance of Impacts                         • Economies of scale that provide
                                                    Policy Regarding Voluntary Prelisting                     After following the principles and                  greater resources for design and
                                                    Conservation Actions (79 FR 42525, July                 standards outlined in this policy and all             implementation of compensatory
                                                    22, 2014). The Service’s regional and                   other considerations being equal,                     mitigation sites and a decreased unit
                                                    field offices will determine or assist in               preference will be given to                           cost for mitigation;
                                                    determining, as appropriate, the level                  compensatory mitigation projects                         • Improved administrative and
                                                    and methods of public participation                     implemented in advance of impacts to                  ecological compliance through the use
                                                    using transparent processes.                            the species. Mitigation implemented in                of third-party oversight;


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                                                                               Federal Register / Vol. 81, No. 248 / Tuesday, December 27, 2016 / Notices                                           95341

                                                      • Greater regulatory and financial                       • Lands adjacent to undeveloped,                      Additional guidance on limitations
                                                    predictability for project proponents,                  protected public lands such as National               involving Federal funding and
                                                    greatly reducing the uncertainty that                   Wildlife Refuges or State Wildlife                    mitigation, including grants, is provided
                                                    often causes project proponents to view                 Management Areas;                                     in the Service’s Mitigation Policy (81 FR
                                                    compensatory mitigation as a burden;                       • Private lands enrolled in programs               83440, November 21, 2016).
                                                    and                                                     that provide financial compensation                      Lands with split estate ownership and
                                                      • Expedited regulatory compliance                     from public sources to landowners in                  laws and policies governing existing
                                                    processes, particularly for small                       exchange for agreements that protect,                 rights (e.g., mining laws) may prevent
                                                    projects, saving all parties time and                   restore, or create habitat for federally              land protection instruments (e.g.,
                                                    money.                                                  listed or at-risk species for a limited               permanent conservation easements)
                                                                                                            period of time, such as the Service’s                 from providing sufficient protection
                                                    6.2. Eligible Lands                                     Partners for Wildlife Program or some                 from future development of mineral
                                                    6.2.1. Lands Eligible for Use as                        Farm Bill programs (e.g., Environmental               rights, including oil and gas exploration
                                                    Compensatory Mitigation                                 Quality Incentives Program) if                        or development. Many potential high-
                                                                                                            additional conservation benefits are                  value conservation properties
                                                       Compensatory mitigation sites may be                 provided above and beyond the terms                   throughout the United States are split
                                                    established by willing parties on                       and conditions of the agreement or if the             estates. The risk of using split estate
                                                    private, public, or tribal lands that                   agreement/easement has expired; and                   properties as compensatory mitigation
                                                    provide the maximum conservation                           • Private lands enrolled in programs               should be carefully considered. When
                                                    benefit for the listed, proposed, and at-               that provide regulatory assurances to the             legal remedies to restore single
                                                    risk species and other affected                         landowner such as SHAs or CCAAs that                  ownership are not possible or
                                                    resources. Maintaining the same                         can be transitioned into compensatory                 practicable, other approaches to
                                                    classification of land ownership                        mitigation, after all terms and                       managing the risks may be available to
                                                    between the impact area and mitigation                  conditions of the agreement have been                 bolster durability on split estates. A
                                                    site may be important in preventing a                   met and the agreement has expired or                  mineral deed acquisition, mineral
                                                    long-term net loss in conservation, in                  the permit is surrendered in exchange                 assessment report, or subsurface use
                                                    particular a reduction in the range of the              for a mitigation instrument (see section              agreement are a few of the options for
                                                    species. Because most private lands are                 4.2.1. Safe Harbor and Candidate                      managing mineral rights on
                                                    not permanently protected for                           Conservation Agreements for additional                compensatory mitigation sites that
                                                    conservation and are generally the most                 guidance).                                            provide varying levels of protection
                                                    vulnerable to development actions, the                     See section 5.1. Siting Sustainable                (Raffini 2012). Service personnel tasked
                                                    use of private lands for mitigating                     Compensatory Mitigation for other                     with assessing the viability of split
                                                    impacts to species occurring on any                     considerations when selecting a site                  estates as mitigation sites should work
                                                    type of land ownership is usually                       suitable for compensatory mitigation.                 with the Service’s Realty Specialists and
                                                    acceptable as long as durability can be                    Lands that generally do not qualify as             the Department of the Interior Solicitor
                                                    ensured. Locating compensatory                          compensatory mitigation sites include:                to assess risks and possible remedies or
                                                    mitigation on public lands for impacts                     • Lands without clear title unless the             other approaches.
                                                    to species on private lands is also                     existing encumbrances (e.g., liens,
                                                    possible, and in some circumstances                                                                           6.2.2. Use of Public Land To Mitigate
                                                                                                            rights-of-way) are compatible with the
                                                    may best achieve the conservation                                                                             Impacts on Private Land
                                                                                                            objectives of the mitigation site or can
                                                    objectives for species, but should be                   be legally removed or subordinated;                     In general, the Service supports
                                                    carefully considered—see section 6.2.2.                    • Split estates (i.e., lands that have             compensatory mitigation on public
                                                    Use of Public Land to Mitigate Impacts                  separate owners of various surface and                lands that are already designated for the
                                                    on Private Land for additional guidance.                subsurface rights, usually mineral                    conservation of natural resources to
                                                       Good candidates for compensatory                     rights), unless a remedy can be found                 offset impacts to the species on private
                                                    mitigation sites are unprotected lands                  (see below for guidance on split estates);            lands only if additionality is clearly
                                                    that are high value for conservation and                   • Private or public lands already                  demonstrated and is legally attainable.
                                                    that are acceptable to the Service.                     designated for conservation purposes,                 Additionality is a reasonable
                                                    Designations of high conservation value                 unless the proposed compensatory                      expectation that the conservation
                                                    may include lands with existing high-                   mitigation project would add additional               benefits associated with the
                                                    value habitat or habitat that when                      conservation benefit for the species                  compensatory mitigation actions would
                                                    restored, enhanced, established, or                     above and beyond that attainable under                not occur in the foreseeable future
                                                    properly managed will provide high                      the existing land designation;                        without those actions. Offsetting
                                                    value to the species. In addition to these                 • Private lands enrolled in                        impacts to private lands by locating
                                                    general considerations, lands that may                  government programs that compensate                   compensatory mitigation on public
                                                    be good candidates for compensatory                     landowners who permanently protect,                   lands already designated for
                                                    mitigation sites include:                               restore, or create habitat for federally              conservation purposes generally risks a
                                                       • Lands previously secured through                   listed or at-risk species (e.g., Wetland              long-term net loss in landscape capacity
                                                    easements or other means but that lack                  Reserve Program easements                             to sustain species (e.g., future reduction
                                                    the full complement of protections                      administered by the United States                     in the range of the species) by relying
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                                                    necessary to conserve the species (e.g.,                Department of Agriculture’s Natural                   increasingly on public lands to serve
                                                    buffer lands for a military installation                Resources Conservation Service);                      conservation purposes. However, we
                                                    that do not include management, or                         • Inventory and debt restructure                   recognize under certain circumstances
                                                    private lands with existing conservation                properties under the Food Security Act                this offset arrangement may provide the
                                                    easements for which landowners have                     of 1985 (16 U.S.C. 3801 et seq.); and                 best possible conservation outcome for
                                                    not received financial compensation                        • Lands protected or restored for                  the species based on best available
                                                    from public sources or regulatory                       conservation purposes under fee title                 science. When this is the case, the
                                                    assurances from the Service.);                          transfers.                                            Service will consider mitigation on


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                                                    95342                      Federal Register / Vol. 81, No. 248 / Tuesday, December 27, 2016 / Notices

                                                    public lands to offset impacts to the                   species for which the compensatory                    functions and/or services at a mitigation
                                                    species on private lands appropriate if:                mitigation project was established.                   site. Credits are often expressed as a
                                                      • Compensatory mitigation is an                                                                             measure of surface area (e.g., an acre or
                                                    appropriate means of achieving the                      6.2.4. Transfer of Private Mitigation
                                                                                                                                                                  hectare), linear distance of constant
                                                    mitigation planning goal for the species;               Lands to Public Agencies
                                                                                                                                                                  width (e.g., stream miles), number of
                                                      • Additionality can be clearly                           Private mitigation lands may be                    individuals or mating pairs of a
                                                    demonstrated and quantified, and is                     transferred to public agencies with a                 particular species, habitat function (e.g.,
                                                    supplemental to conservation the public                 conservation mission if allowed by                    habitat suitability index), or other
                                                    agency is foreseeably expected to                       applicable laws, regulations, and                     appropriate metric that can be
                                                    implement absent the mitigation (only                   policies.                                             consistently quantified.
                                                    conservation benefits that provide                                                                               Metrics developed to support credits
                                                                                                            6.2.5. Compensatory Mitigation on
                                                    additionality are counted towards                                                                             by measuring an increase in ecological
                                                                                                            Tribal Lands
                                                    achieving the mitigation planning goal);                                                                      functions and services at compensatory
                                                      • Durability of the compensatory                        Tribal lands are generally eligible as              mitigation sites and those developed to
                                                    mitigation is ensured (see section 6.2.3.               compensatory mitigation sites if they                 measure an expected loss or debit in
                                                    Ensuring Durability on Public Lands);                   meet the standards and other                          ecological functions and services at
                                                      • It is consistent with and not                       requirements set forth in this policy.                impact sites must be science-based,
                                                    otherwise prohibited by all relevant                    Ensuring durability, particularly site                quantifiable, consistent, repeatable, and
                                                    statutes, regulations, and policies; and                protection, is usually a sensitive issue              related to the conservation goals for the
                                                      • Private lands suitable for                          for a tribal nation because a                         species. In general, the method of
                                                    compensatory mitigation are                             conservation easement entrusts the land               calculating credits at a mitigation site
                                                    unavailable or are available but cannot                 to another entity (Terzi 2012), but                   should be the same as calculating debits
                                                    provide an equivalent or greater                        acceptable entities may be available to               at project impact sites. If use of a
                                                    contribution towards offsetting the                     hold easements. Additional guidance                   common ‘‘currency’’ between credits
                                                    impacts to meet the mitigation planning                 regarding mitigation and tribes is                    and debits is not practicable, the
                                                    goal for the species.                                   included in the Service’s Mitigation                  conversion between crediting and
                                                      When the public lands under                           Policy (81 FR 83440, November 21,                     debiting metrics must be transparent.
                                                    consideration for use as compensatory                   2016).                                                   Credits are available for use as
                                                    mitigation for impacts on private lands                                                                       mitigation once they are verified and
                                                    are National Wildlife Refuge (NWR)                      6.3. Service Areas                                    released by the Service. Credits are
                                                    System lands, the Service’s Final Policy                   A service area is the geographic area              released in proportion to administrative
                                                    on the NWR System and Compensatory                      assigned to a compensatory mitigation                 and ecological milestones. Credits are
                                                    Mitigation Under the Section 10/404                     site within which credits for a specific              considered retired if they are no longer
                                                    Program (USFWS 1999) states that the                    resource (e.g., a species) can be utilized.           available for use as mitigation,
                                                    Regional Director must recommend the                    The impacts for which mitigation is                   including credits that have been
                                                    mitigation to the Service Director for                  sought must be located within the                     transferred to fulfill mitigation
                                                    approval. Additional considerations                     designated service area for the species,              obligations. Credits may also be
                                                    may apply to NWR System lands for                       unless otherwise approved by the                      voluntarily retired, without being used
                                                    habitat losses authorized through the                   Service. If a proposed action is located              for mitigation, which may help achieve
                                                    section 10/404 program (i.e., Rivers and                within the identified service area of a               no net loss or net conservation benefit
                                                    Harbors Act/Clean Water Act).                           specific conservation bank, in-lieu fee               goals. Credits are not to be traded among
                                                                                                            program, or other third-party mitigation              developers or anyone else and cannot be
                                                    6.2.3. Ensuring Durability on Public
                                                                                                            program or site, then the proponent of                re-sold. Once a credit has been
                                                    Lands
                                                                                                            that action may offset unavoidable                    transferred as mitigation for a particular
                                                      Ensuring the durability of                            impacts, with the Service’s approval,                 action, it may not be used again.
                                                    compensatory mitigation on public                       through transfer of the appropriate type                 A mitigation site may contain habitat
                                                    lands presents particular challenges,                   and number of credits from that                       that is suitable for multiple listed
                                                    especially regarding site protection                    mitigation program or site. Use of the                species or other resources in the same
                                                    assurances, long-term management, and                   credits outside of service areas is subject           spatial area. When this occurs, it is
                                                    funding assurances for long-term                        to approval by the Service. Service areas             important to establish how the credits
                                                    stewardship. Mechanisms available for                   that apply to all mitigation mechanisms               will be stacked or bundled and if they
                                                    ensuring durability of land protection                  may be designated by the Service’s                    can be unstacked and transferred
                                                    for compensatory mitigation on public                   regional or field offices, usually through            separately. See section 8.3. Credit
                                                    lands vary from agency to agency, are                   issuance of species-specific mitigation               Stacking and Bundling for guidance.
                                                    subject to site-specific limitations, and               guidance.                                                Compensatory mitigation programs
                                                    are likely to be politically and                           The service area is an important                   that use credits are voluntary, and
                                                    administratively challenging to secure.                 component for a potential mitigation                  permittees are never required to
                                                    Some mechanisms may require a                           sponsor who will need to evaluate the                 purchase credits from these
                                                    legislative act while other mechanisms                  market for credits prior to committing to             compensatory mitigation sources.
                                                    can be achieved administratively at                     a mitigation project. The mitigation                  Pricing of credits is solely at the
                                                    various levels of an agency’s
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                                                                                                            sponsor has the responsibility to                     discretion of the mitigation provider.
                                                    organization.                                           determine if a proposed mitigation
                                                      To ensure the durability of long-term                                                                       6.5. Timelines
                                                                                                            project or program will be financially
                                                    management on public lands, there                       feasible and if they will move forward                  The Service does not have mandated
                                                    should be a high degree of confidence                   with the action.                                      timelines for review of conservation
                                                    that incompatible uses are removed or                                                                         banks, in-lieu fee programs, or other
                                                    precluded to ensure that uses of the                    6.4. Crediting and Debiting                           compensatory mitigation projects that
                                                    public lands do not conflict with or                      A credit is a defined unit representing             are not part of a consultation or permit
                                                    compromise the conservation of the                      the accrual or attainment of ecological               decision. However, this does not mean


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                                                                               Federal Register / Vol. 81, No. 248 / Tuesday, December 27, 2016 / Notices                                           95343

                                                    that compensatory mitigation programs                   protection may consist of restoration of              linked to the specific action that
                                                    and projects are not a priority for the                 damaged or degraded habitat,                          required the mitigation. Permittee-
                                                    Service. Establishment of programmatic                  enhancement of existing habitat,                      responsible mitigation approved for a
                                                    compensatory mitigation options for                     establishment of new habitat,                         specific action is not transferable to
                                                    project proponents will provide                         preservation of existing habitat not                  other actions and cannot be used for
                                                    efficiencies, particularly when                         already protected, or some combination                other mitigation needs.
                                                    developed in coordination with                          of these that offsets the impacts of the
                                                                                                                                                                  7.1.2. Conservation Bank Program
                                                    programmatic consultations and HCPs                     action and results in or contributes to
                                                    for large landscapes. These efficiencies                sustainable, functioning ecosystems for                  A conservation bank is a site or suite
                                                    include reducing the Service’s                          the species. Preservation of existing                 of sites that is conserved and managed
                                                    workloads associated with ESA sections                  habitat often includes a change in land               in perpetuity and provides ecological
                                                    7 and 10, expediting incidental take                    management that renders the site                      functions and services expressed as
                                                    authorization for project proponents,                   suitable for the species or provides                  credits for specified species that are
                                                    and achieving better conservation                       additional ecological function or                     later used to compensate for adverse
                                                    outcomes for listed and other at-risk                   services for the species. Preservation                impacts occurring elsewhere to the same
                                                    species.                                                includes site protection and is a valid               species. Bank sponsors may be public or
                                                                                                            mechanism for achieving compensatory                  private entities. Ensuring the required
                                                    6.6. Managing Risk and Uncertainty                                                                            compensatory mitigation measures for a
                                                                                                            mitigation that, at a minimum, reduces
                                                       Compensatory mitigation can be a                     threats to the species. Existing habitat              permitted action are completed and
                                                    valuable conservation tool for offsetting               that is not protected and managed for                 successful is the responsibility of the
                                                    unavoidable adverse impacts to listed                   the long term is vulnerable to loss and               bank sponsor. The responsibility for
                                                    and at-risk species if the risk can be                  cannot count toward recovery of listed                success of the mitigation is transferred
                                                    sufficiently managed. Predictions about                 species.                                              to the bank sponsor through the transfer
                                                    the effectiveness of compensatory                          The five habitat-based mitigation                  (usually a purchase by the permittee) of
                                                    mitigation measures have varying                        mechanisms described below and                        credits. Conservation banks provide
                                                    degrees of uncertainty. Compensatory                    compared in Table 1 differ by: (1) The                mitigation in advance of impacts.
                                                    mitigation accounting systems (e.g.,                    party responsible for the success of the              7.1.3. In-Lieu Fee Program
                                                    debiting and crediting methodologies)                   mitigation site (the permittee or a third
                                                    should consider risk and adjust metrics                 party); (2) whether the mitigation site is              An in-lieu fee site is a conserved and
                                                    and mitigation ratios to account for                    within or adjacent to the action area (on-            managed compensatory mitigation site
                                                    uncertainty. An exact accounting of the                 site) or elsewhere (off-site); and (3)                established as part of an in-lieu fee
                                                    functions and services lost at the impact               whether credits are generated at the                  program that provides ecological
                                                    sites and gained at the mitigation sites                mitigation site for use by more than one              functions and services expressed as
                                                    is rarely possible due to the variability               action. Habitat-based compensatory                    credits for specified species and used to
                                                    and uncertainty inherent in biological                  mitigation will be held to equivalent                 compensate for adverse impacts
                                                    systems and ecological processes. To                    standards (the standards set forth in this            occurring elsewhere to the same species.
                                                    buffer risk and reduce uncertainty, it is               policy) regardless of the mitigation                  In-lieu fee sites are usually permanent
                                                    often helpful to design compensatory                    mechanism(s) proposed. Habitat-based                  as most proposed actions with a need
                                                    mitigation programs and projects to                     compensatory mitigation programs                      for compensatory mitigation are
                                                    achieve measures beyond no net loss to                  developed to credit conservation actions              anticipated to result in permanent
                                                    attain sufficient conservation benefits                 that benefit unlisted species should                  impacts to the species. In-lieu fee
                                                    for the species. Designing conservation                 meet all compensatory mitigation                      programs may be sponsored by a
                                                    plans with mitigation that is expected to               standards set forth in this policy if they            government agency or an
                                                    achieve more than no net loss in species                are intended to be used as compensatory               environmental, conservation-based, not-
                                                    conservation generally increases                        mitigation for adverse impacts of actions             for-profit organization with a mission
                                                    regulatory predictability and can result                undertaken after listing.                             that is consistent with species or habitat
                                                    in shorter project reviews and facilitated                                                                    conservation. The in-lieu fee sponsor
                                                                                                            7.1.1. Permittee-Responsible                          collects fees from permittees that have
                                                    permitting.                                             Compensatory Mitigation                               been approved by the Service to use the
                                                    7. Compensatory Mitigation                                Permittee-responsible compensatory                  in-lieu fee program, instead of providing
                                                    Mechanisms                                              mitigation is a conserved and managed                 permittee-responsible compensatory
                                                       Compensatory mitigation mechanisms                   mitigation site that provides ecological              mitigation. An in-lieu fee site that meets
                                                    can be divided broadly into habitat-                    functions and services as part of the                 the mitigation requirements for the
                                                    based mechanisms and other non-                         conservation measures associated with a               impacts of permittees’ actions will be
                                                    habitat-based mitigation programs or                    permittee’s proposed action. Permittee-               established when the in-lieu fee
                                                    projects. Whatever mechanism(s) are                     responsible mitigation sites are usually              program has collected sufficient funds.
                                                    selected, compensatory mitigation is                    permanent, as most proposed actions                   All responsibility for ensuring the
                                                    expected to provide either equivalent or                with a need for compensatory mitigation               required compensatory mitigation
                                                    additional conservation for the species                 are anticipated to result in permanent                measures are completed and successful,
                                                    to that lost as a result of the action.                 impacts to the species. The permittee                 including long-term management and
                                                                                                            retains responsibility for ensuring the               maintenance, is transferred from the
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                                                    Specific operational details regarding
                                                    compensatory mitigation mechanisms                      required compensatory mitigation is                   permittee to the in-lieu fee program
                                                    will be in the implementation guidance                  completed and successful. This includes               sponsor through the transfer (usually
                                                    to be issued by the Service.                            long-term management and                              purchase) of credits. In-lieu fee
                                                                                                            maintenance when the mitigation is                    programs generally do not provide
                                                    7.1. Habitat-Based Compensatory                         intended to be permanent. Permittee-                  mitigation in advance of impacts.
                                                    Mitigation Mechanisms                                   responsible compensatory mitigation                     In-lieu fee programs can also be
                                                      Compensatory mitigation mechanisms                    may be on-site or off-site, and each                  established to fund non-habitat-based
                                                    based on habitat acquisition and                        permittee-responsible mitigation site is              compensatory mitigation measures. See


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                                                    95344                            Federal Register / Vol. 81, No. 248 / Tuesday, December 27, 2016 / Notices

                                                    section 7.3 Other Compensatory                                    compensatory mitigation providers and                                    mitigation sites, short-term
                                                    Mitigation Programs or Projects for                               project permittees. This is in contrast to                               compensatory mitigation sites, or both
                                                    guidance on these types of programs.                              the direct transactions between                                          types of sites. Habitat credit exchanges
                                                                                                                      compensatory mitigation providers and                                    may operate at a local or larger
                                                    7.1.4. Habitat Credit Exchange
                                                                                                                      permittees that generally occur through                                  landscape scale, may consist of one or
                                                      Habitat credit exchanges are relatively                         conservation banking and in-lieu fee                                     more mitigation sites, and may obtain
                                                    new and warrant additional care and                               programs. Exchanges provide ecological                                   credits from conservation banks or in-
                                                    consideration when being considered as                            functions and services expressed as                                      lieu fee programs. Exchange
                                                    a mitigation mechanism. A habitat                                 credits that are conserved and managed                                   administrators may be public or private
                                                    credit exchange is an environmental                               for specified species and are used to                                    entities. Exchanges developed for
                                                    market that operates as a clearinghouse                           compensate for adverse impacts                                           federally listed species will require
                                                    in which an exchange administrator,                               occurring elsewhere to the same species.                                 Service approval as with all other
                                                    operating as a mitigation sponsor,                                Exchanges may be designed to provide                                     mitigation mechanisms described in this
                                                    manages credit transactions between                               credits for permanent compensatory                                       policy.

                                                           TABLE 1—COMPARISON OF HABITAT-BASED COMPENSATORY MITIGATION SITES ESTABLISHED UNDER DIFFERENT
                                                                                                   MECHANISMS
                                                                                                                                                                                                                          Credits            Responsibility
                                                                          Mitigation mechanism                                                               Responsible party                                           generated            transferable

                                                    Permittee-responsible Mitigation Site ............................            Permittee ........................................................................   No ................   No.
                                                    Conservation Bank .........................................................   Bank Sponsor ................................................................        Yes ...............   Yes.
                                                    In-lieu Fee Program Site ................................................     In-lieu Fee Sponsor .......................................................          Yes ...............   Yes.
                                                    Habitat Credit Exchange Site .........................................        Exchange Administrator, Mitigation Sponsor, or other                                 Yes ...............   Yes.
                                                                                                                                    identified responsible entity.



                                                    7.2. Short-Term Compensatory                                      of the affected species’ populations to                                  compensatory mitigation measures are
                                                    Mitigation                                                        pre-disturbance levels and any                                           acceptable if they are closely tied to
                                                       The concept of short-term                                      additional increase in population levels                                 recovery actions identified in species
                                                    compensatory mitigation has merit if it                           that was anticipated to occur if the                                     status assessments, recovery plans, 5-
                                                    serves the conservation goals of the                              action had not taken place (i.e., adjusted                               year reviews, or best available science
                                                    species. Short-term compensatory                                  for temporal loss). Determining the                                      on the threats and needs of the species.
                                                    mitigation may be appropriate in some                             amount and duration of compensatory                                      Compensatory mitigation of this type is
                                                    situations to offset impacts that can be                          mitigation needed requires substantial                                   often funded through an in-lieu fee
                                                    completely rectified by repairing,                                knowledge of the biology of the species                                  program. Examples of potentially
                                                    rehabilitating, or restoring the affected                         (e.g., abundance, distribution,                                          suitable compensatory measures
                                                    environment within a short and                                    fecundity). Actions that meet the criteria                               include, but are not limited to:
                                                    predictable timeframe. Under this                                 for short-term impacts are not limited to                                   a. Transfer and retirement of timber,
                                                    policy, short-term compensatory                                   short-term compensatory mitigation as a                                  water, mineral, or other severed rights to
                                                    mitigation includes rectifying the                                mitigation option. The Service prefers                                   an already existing conservation site,
                                                    damage at the impact site and providing                           mitigation mechanisms that protect                                       thereby significantly reducing or
                                                    short-term compensation to offset the                             conservation values in perpetuity.                                       eliminating the risk of future
                                                    temporal loss caused by the action to                             Permanent compensatory mitigation                                        development on the site that would be
                                                    achieve a conservation outcome that                               either at the same or a reduced                                          incompatible with conservation of the
                                                    results in, at a minimum, no net loss to                          mitigation ratio (determined by the                                      species;
                                                    the species.                                                      Service) is usually an alternative.                                         b. Restricting human use of
                                                       A short-term impact is defined in this                         Conservation banks or in-lieu fee                                        waterways or other public spaces
                                                    policy as an action that meets the                                programs with available credits that                                     through legal means to allow for
                                                    following criteria: (1) The impact is                             meet the compensatory mitigation needs                                   increased or exclusive use by the
                                                    limited to harassment or other forms of                           for actions with short-term impacts are                                  species;
                                                    nonlethal take; (2) the impact can be                             usually a good alternative to short-term                                    c. Controlled propagation, population
                                                    completely rectified through natural or                           compensatory mitigation.                                                 augmentation, and reintroduction of
                                                    active processes, and the site will                                                                                                        individuals of the species to offset
                                                                                                                      7.3. Other Compensatory Mitigation
                                                    function long term within the landscape                                                                                                    losses from an action;
                                                                                                                      Programs or Projects
                                                    at the same or greater level than before                                                                                                      d. Captive rearing and release of
                                                    the impact; (3) restoration of the impact                           Compensatory mitigation is based on                                    individuals of the species to offset
                                                    site can occur within a short and                                 the concept of replacing or providing                                    losses from an action;
                                                    predictable timeframe based on current                            substitute resources or environments for                                    e. Administering vaccination
                                                    science and the knowledge of the                                  the impacted resource (40 CFR 1508.20).                                  programs vital to species survival and
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                                                    species; and (4) all temporal loss to the                         However, mechanisms or conservation                                      recovery;
                                                    species by the impact can be estimated                            measures that do not exactly meet this                                      f. Gating of caves that serve as habitat
                                                    and compensated. Opportunities for                                definition, but that meet the                                            for the species;
                                                    short-term compensation are likely to be                          conservation objectives for the specified                                   g. Construction of wildlife overpasses
                                                    very limited and may not apply to most                            species and are expected to compensate                                   or underpasses to protect migratory
                                                    species.                                                          for adverse effects to species or their                                  passages for the species; and/or
                                                       Inherent in applying short-term                                habitats, may be suitable as                                                h. Programs that reduce the exposure
                                                    compensatory mitigation is the recovery                           compensatory mitigation. These types of                                  of the species to contaminants in the


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                                                                               Federal Register / Vol. 81, No. 248 / Tuesday, December 27, 2016 / Notices                                               95345

                                                    environment that are known to cause                     of mitigation credits are borne solely by             fee is collected from project applicants
                                                    injury or mortality.                                    the parties to the sale of such credits.              for a permit which covers multiple
                                                      In rare circumstances, research or                                                                          mitigation obligations under Federal,
                                                                                                            8.3. Credit Stacking and Bundling
                                                    education that can be linked directly to                                                                      State, and local authorities. In both
                                                    the relative threats to the species and                    The Service recognizes the inherent                these examples, the bundled credit is
                                                    provide a quantifiable benefit to the                   efficiencies in leveraging multiple                   used as a single commodity (i.e., it is not
                                                    species may be included as part of a                    conservation efforts on the landscape                 unbundled or unstacked) and is only
                                                    mitigation package. Although research                   and encourages these coordinated                      used once.
                                                    can assist in identifying substitute                    efforts. However, compensatory
                                                                                                            mitigation and other conservation                     8.4. Use of Credits for Mitigation Under
                                                    resources, it does not replace impacted                                                                       Authorities Other Than the ESA
                                                    resources or adequately compensate for                  actions that occur on the same
                                                    adverse effects to species or habitat. See              mitigation site must be accounted for                   Compensatory mitigation projects
                                                    the Service’s Mitigation Policy (81 FR                  separately, and all aspects of the                    established for use under one Service
                                                    83440, November 21, 2016) for                           different actions must be managed and                 program (e.g., Ecological Services) may
                                                    additional guidance on appropriate uses                 tracked in a transparent manner.                      also be used to satisfy the
                                                    of research or education as mitigation.                 Stacking mitigation credits within a                  environmental requirements of other
                                                                                                            mitigation site (i.e., more than one credit           Service programs (e.g., Migratory Birds
                                                    8. Criteria for Use of Third-Party                      type on spatially overlapping areas) is               or Refuges) or other Federal, State, or
                                                    Mitigation                                              allowed, but the stacked credits cannot               local agency programs consistent with
                                                       Specific operational details regarding               be used to provide mitigation for more                the laws and requirements of each
                                                                                                            than one permitted impact action even                 respective program. However, the same
                                                    the use of third-party mitigation will be
                                                                                                            if all the resources included in the                  credits may not be used for more than
                                                    in the implementation guidance to be
                                                                                                            stacked credit are not needed for that                one authorized or permitted action (i.e.,
                                                    issued by the Service.
                                                                                                            action. To do so would result in a net                no double counting of mitigation
                                                    8.1. Project Applicability                              loss of resources in most cases because               credits).
                                                                                                            using a species credit separately from
                                                       Activities regulated under sections 7                                                                      9. Compliance and Tracking
                                                                                                            the functions and services that
                                                    or 10 of the ESA may be eligible to use
                                                                                                            accompany its habitat, such as carbon                    A tracking system is essential in
                                                    third-party sponsored mitigation, if the
                                                                                                            sequestration or pollination services,                ensuring compliance with the
                                                    adverse impacts to the species from the
                                                                                                            would result in double counting (i.e.,                mitigation instruments used to
                                                    particular project can be offset by
                                                                                                            ‘‘double dipping’’). Double counting is               implement compensatory mitigation
                                                    transfer of the appropriate type and
                                                                                                            selling or using a unit of the same                   programs described in this policy.
                                                    number of credits provided by the third-                ecosystem function or service on the
                                                    party sponsored mitigation program.                                                                           Tracking systems also facilitate
                                                                                                            ground more than once. This can occur                 consistency in the implementation of
                                                    The impacts for which third-party                       through an accounting error in which
                                                    sponsored mitigation is sought must be                                                                        compensatory mitigation programs and
                                                                                                            the credit is sold twice, and it also can             projects. It is vital that the Service track
                                                    located within the service area for the                 occur when stacked credits are
                                                    species provided by the third-party                                                                           compliance directly for permittee-
                                                                                                            unstacked and one or more functions or                responsible mitigation and, at a
                                                    sponsored mitigation program unless                     services are sold separately. For
                                                    otherwise approved by the Service. In                                                                         minimum, through third parties
                                                                                                            example, a credit representing an acre of             responsible for operating compensatory
                                                    no case may the same credit(s) be used                  habitat is sold once as a species habitat
                                                    to compensate for more than one action.                                                                       mitigation programs or projects such as
                                                                                                            credit for a permitted action and again               in-lieu fee programs and habitat
                                                    However, the same credit(s) may be                      as a carbon credit for a different action
                                                    used to compensate for a single action                                                                        exchanges. Transactions (credit
                                                                                                            in a different location. The loss of                  withdrawals) at a Service authorized
                                                    that requires authorization under more                  species habitat at the first impact site
                                                    than one regulatory authority (e.g., a                                                                        mitigation program or project that are
                                                                                                            included all functions and services                   not related to ESA compliance and are
                                                    vernal pool restoration credit that                     associated with that habitat including
                                                    provides mitigation for a listed species                                                                      not approved by the Service must be
                                                                                                            carbon sequestration, so selling that                 tracked in the same tracking system.
                                                    under the ESA and wetlands under                        same unit of compensatory mitigation
                                                    section 404 of the CWA).                                                                                      The Service is not liable for any event
                                                                                                            again for carbon sequestration results in             or transaction that eludes detection
                                                       Only credits that have been verified                 no carbon offset for the loss of carbon               through the Service’s tracking function.
                                                    by the Service and released are                         sequestration at the second impact                    Specific operational details regarding
                                                    considered available. Only available                    location. Using a stacked credit                      compliance and tracking will be in the
                                                    credits can be used to mitigate actions.                separately to reflect its various values is           implementation guidance to be issued
                                                    8.2. Transfer of Responsibility                         an ecologically challenging accounting                by the Service.
                                                                                                            exercise.
                                                       The mitigation sponsor assumes                          Compensatory mitigation projects                   References Cited
                                                    responsibility for success of the                       may be designed to holistically address               Clement, J.P. et al. 2014. A strategy for
                                                    mitigation through the transfer (usually                requirements under multiple programs                      improving the mitigation policies and
                                                    a purchase by the permittee) of credits                 and authorities for the same action and                   practices of the Department of the
                                                    or other quantified amount of                           may use bundled credits to accomplish                     Interior. A report to the Secretary of the
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                                                    compensatory mitigation.                                this goal. For example, a stream credit                   Interior from the Energy and Climate
                                                       The Service’s role is regulatory. Credit             may satisfy requirements for an U.S.                      Change Task Force, Washington, DC. 25
                                                    transfers are subject to approval by the                Army Corps of Engineers section 404                       pp.
                                                                                                                                                                  Fox, J. and A. Nino-Murcia. 2005. Status of
                                                    Service, as to their conservation value                 CWA permit and issuance of incidental                     Species Conservation Banking in the
                                                    and appropriate application for use                     take authority under the ESA for a listed                 United States. Conservation Biology
                                                    related to any authorization or permit                  mussel species occurring in that stream,                  19:996–1007.
                                                    issued under the ESA. Market and legal                  or a county-wide HCP may establish an                 Presidential Memorandum (PM). 2015.
                                                    risks arising from the purchase and use                 in-lieu fee program for which a single                    ‘‘Mitigating Impacts on Natural



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                                                    95346                      Federal Register / Vol. 81, No. 248 / Tuesday, December 27, 2016 / Notices

                                                         Resources for Development and                      Service (Service) Endangered Species Act              from other actions as they accumulate over
                                                         Encouraging Related Private                        Compensatory Mitigation Policy and were               time collectively lead to significant overall
                                                         Investment.’’ Issued November 3, 2015.             developed to provide clarity and consistency.         loss or degradation of resources. See also
                                                    Raffini, E. 2012. Mineral Rights and Banking.           Some definitions are defined in Service               ‘‘cumulative effects.’’
                                                         National Environmental Newsletter                  authorities such as the Endangered Species               Applicant—any person who requires
                                                         34:9–10. Environmental Law Institute,              Act or the National Environmental Policy              formal approval or authorization from a
                                                         Washington, DC.                                    Act, or in regulations or policies existing at        Federal agency as a prerequisite to
                                                    Terzi, G. 2012. The Lummi Nation Wetland                the time this policy was issued. Other                conducting an action (50 CFR 402.02);
                                                         and Habitat Bank—Restoring a Piece of              definitions have been developed based on              ‘‘person’’ means an individual, corporation,
                                                         History. National Wetlands Newsletter              compensatory mitigation practices.                    partnership, trust, association, or any other
                                                         34:12–13. Environmental Law Institute,             Definitions in the glossary do not substitute         private entity; or any officer, employee,
                                                         Washington, DC.                                    for statutory or regulatory definitions in the        agent, department, or instrumentality of the
                                                    U.S. Fish and Wildlife Service. 1999. Final             exercise of those authorities.                        Federal Government, of any State,
                                                         Policy on the National Wildlife Refuge                Action—an activity or program                      municipality, or political subdivision of a
                                                         System and Compensatory Mitigation                 implemented, authorized, or funded, in                State, or of any foreign government; any
                                                         Under the Section 10/404 Program.                  whole or in part, by Federal agencies; or a           State, municipality, or political subdivision
                                                         September 10, 1999. Federal Register               non-Federal activity or program for which             of a State; or any other entity subject to the
                                                         64:49229–49234.                                    one or more of the Service’s authorities apply        jurisdiction of the United States (16 U.S.C.
                                                    U.S. Fish and Wildlife Service. 2003.                   to make mitigation recommendations, specify           1532(13)).
                                                         Guidance on the Establishment, Use, and            mitigation requirements, or provide technical            At-risk species—candidate species and
                                                         Operation of Conservation Banks. May 2,            assistance for mitigation planning (81 FR             other unlisted species that are declining and
                                                         2003. U.S. Department of the Interior              83440; November 21, 2016).                            are at risk of becoming a candidate for listing
                                                         Fish and Wildlife Service. 18 pp.                     Action area—all areas to be affected               under the Endangered Species Act. This may
                                                    U.S. Fish and Wildlife Service. 2008.                   directly or indirectly by the Federal action          include, but is not limited to, State listed
                                                         Guidance on Recovery Crediting for the             and not merely the immediate area involved            species, species identified by States as
                                                         Conservation of Threatened and                     in the action (50 CFR 402.02).                        species of greatest conservation need, or
                                                         Endangered Species. July 2008. U.S.                   Adaptive management—a systematic                   species with State heritage ranks of G1 or G2.
                                                         Department of the Interior Fish and                approach for improving resource                          Avoidance—avoiding the impact altogether
                                                         Wildlife Service.                                  management by learning from management                by not taking a certain action or parts of an
                                                    U.S. Fish and Wildlife Service. 2013.                   outcomes. An adaptive approach involves               action (40 CFR 1508.20).
                                                         Guidelines for the Establishment,                  exploring alternative ways to meet                       Bank Sponsor—any public or private entity
                                                         Management, and Operations of Golden-
                                                                                                            management objectives, predicting the                 responsible for establishing and, in most
                                                         cheeked Warbler and Black-capped Vireo
                                                                                                            outcomes of alternatives based on the current         circumstances, operating a conservation
                                                         Mitigation Lands. July 2013. U.S.
                                                                                                            state of knowledge, implementing one or               bank. Bank sponsors are most often private
                                                         Department of the Interior Fish and
                                                                                                            more of these alternatives, monitoring to             individuals, companies, or Limited Liability
                                                         Wildlife Service Southwest Region.
                                                    U.S. Fish and Wildlife Service. 2016. U.S.              learn about the impacts of management                 Corporations, but they may also be
                                                         Fish and Wildlife Service Mitigation               actions, and then using the results to update         nongovernmental organizations, Tribes, or
                                                         Policy. November 21, 2016. U.S.                    knowledge and adjust management actions.              government agencies. See also ‘‘mitigation
                                                         Department of the Interior Fish and                Adaptive management focuses on learning               sponsor.’’
                                                         Wildlife Service.                                  and adapting, through partnerships of                    Baseline—the pre-existing condition of a
                                                    Williams, B.K., R.C. Szaro, and C.D. Shapiro.           managers, scientists, and other stakeholders          defined area of habitat or a species
                                                         2009. Adaptive Management: The U.S.                who learn together how to create and                  population that can be quantified by an
                                                         Department of the Interior Technical               maintain sustainable resource systems                 appropriate metric to determine level of
                                                         Guide. Adaptive Management Working                 (Williams et al. 2009). As applied to                 functions and/or services and re-measured at
                                                         Group, U.S. Department of the Interior,            compensatory mitigation, it is a management           a later time to determine if the same area of
                                                         Washington, DC.                                    strategy that anticipates likely challenges           habitat or species population has increased,
                                                                                                            associated with compensatory mitigation               decreased, or maintained the same level of
                                                    Appendix A: List of Acronyms and                        projects and provides for the implementation          functions and/or services.
                                                    Abbreviations Used in This Policy                       of activities to address those challenges, as            Candidate conservation agreement with
                                                                                                            well as unforeseen changes to those projects.         assurances (CCAA)—a formal agreement
                                                    CCAA—Candidate conservation agreement                   It requires consideration of the risk,                between the Service or the National Marine
                                                      with assurances                                       uncertainty, and dynamic nature of                    Fisheries Service and one or more non-
                                                    CEQ—Council on Environmental Quality                    compensatory mitigation projects and guides           Federal parties who voluntarily agree to
                                                    CFR—Code of Federal Regulations                         modification of those projects to achieve             manage their lands or waters to remove
                                                    CWA—Clean Water Act                                     stated biological goals. It includes the              threats to candidate or proposed species and
                                                    EPA—Environmental Protection Agency                     selection of appropriate measures that will           in exchange receive assurances that their
                                                    ESA—Endangered Species Act                              ensure that the resource functions and                conservation efforts will not result in future
                                                    FWCA—Fish and Wildlife Coordination Act                 services are provided and involves analysis           regulatory obligations in excess of those they
                                                    HCP—Habitat conservation plan                           of monitoring results to identify potential           agreed to at the time they entered into the
                                                    MMPA—Marine Mammal Protection Act                       problems of a compensatory mitigation                 agreement. The management activities
                                                    NEPA—National Environmental Policy Act                  project and the identification and                    included in the agreement must significantly
                                                    NWR—National Wildlife Refuge                            implementation of measures to rectify those           contribute to elimination of the need to list
                                                    RPA—Reasonable and prudent alternative                  problems (modified from 33 CFR 332.2).                the target species when considered in
                                                    RPM—Reasonable and prudent measure                         Additionality—conservation benefits of a           conjunction with other landowners
                                                    RIBITS—Regulatory In-lieu fee and Bank                  compensatory mitigation measure that                  conducting similar management activities
                                                      Information Tracking System                           improve upon the baseline conditions of the           within the range of the species (USFWS
                                                    SHA—Safe harbor agreement                               impacted resources and their values,                  CCAA Policy).
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                                                    USACE—United States Army Corps of                       services, and functions in a manner that is              Candidate species (candidate)—any
                                                      Engineers                                             demonstrably new and would not have                   species being considered by the Secretary for
                                                    USFWS—United States Fish and Wildlife                   occurred without the compensatory                     listing as an endangered or threatened
                                                      Service                                               mitigation measure (600 DM 6.4G).                     species, but not yet the subject of a proposed
                                                    Appendix B: Glossary of Terms Related                      Additive impacts, additive effects—the             rule (50 CFR 424.02); a species for which the
                                                                                                            combined effects of past actions on a species,        Service or the National Marine Fisheries
                                                    to Compensatory Mitigation
                                                                                                            other resource, or community; impacts of an           Service has on file sufficient information on
                                                      Definitions in this section apply to the              action may be relatively insignificant on their       biological vulnerability and threats to
                                                    implementation of the U.S. Fish and Wildlife            own, but when considered with the impacts             support a proposal to list as endangered or



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                                                                               Federal Register / Vol. 81, No. 248 / Tuesday, December 27, 2016 / Notices                                                95347

                                                    threatened under the Endangered Species                 and/or local government agencies, Tribes, or          conservation of the species (16 U.S.C.
                                                    Act.                                                    appropriate nongovernmental organizations,            1532(5)(A)).
                                                       Compensatory mitigation                              in consultation with relevant stakeholders,              Cumulative effects—those effects of future
                                                    (compensation)—compensation for                         for the specific goal of conserving one or            State or private activities, not involving
                                                    remaining unavoidable impacts after all                 more listed or at-risk species. A conservation        Federal activities, that are reasonably certain
                                                    appropriate and practicable avoidance and               plan is developed using a landscape-scale             to occur within the action area of the Federal
                                                    minimization measures have been applied,                approach and addresses the status of, needs           action subject to consultation under the
                                                    by replacing or providing substitute                    of, and threats to the species, and usually           Endangered Species Act (50 CFR
                                                    resources or environments (see 40 CFR                   includes recommended conservation                     402.14(g)(3)). Under the National
                                                    1508.20) through the restoration,                       measures for the conservation/recovery of the         Environmental Policy Act, cumulative effects
                                                    establishment, enhancement, or preservation             species. Examples of species conservation             are defined as the impact on the environment
                                                    of resources and their values, services, and            plans include species conservation                    which results from the incremental impact of
                                                    functions (600 DM 6.4C).                                frameworks, rangewide conservation plans,             the action when added to other past, present,
                                                       Compensatory mitigation project—                     and conservation plans developed as part of           and reasonably foreseeable future actions
                                                    compensatory mitigation implemented by the              a large landscape habitat conservation plan.          regardless of what agency (Federal or non-
                                                    action agency, a permittee, or a mitigation                Covered species—species specifically               Federal) or person undertakes such other
                                                    sponsor. Compensatory mitigation projects               included in a conservation bank, habitat              actions (40 CFR 1508.7).
                                                    include permittee-responsible mitigation,               conservation plan, safe harbor agreement,                Debit—a defined unit representing the loss
                                                    conservation banks, in lieu fee programs and            candidate conservation agreement with                 of ecological functions and/or services for a
                                                    sites, habitat credit exchanges, and other              assurances, rangewide conservation plan, or           species at an impact site. Debits should be
                                                    third-party compensatory mitigation projects.           other such conservation plan for which a              expressed using the same metrics used to
                                                       Conservation, conserve, conserving—to use            commitment is made to achieve specific                value credits at mitigation sites.
                                                    and the use of all methods and procedures               conservation measures for the species.                   Direct effects—those effects to the species
                                                    which are necessary to bring any endangered                Credit (species credit, habitat credit)—a          or other resource that are caused by the
                                                    or threatened species to the point at which             defined unit representing the accrual or              action and occur at the same time and place
                                                    the measures provided pursuant to the                   attainment of ecological functions and/or             (81 FR 83440; November 21, 2016).
                                                    Endangered Species Act are no longer                    services for a species at a mitigation site or           Double-counting (double-dipping)—using a
                                                    necessary (16 U.S.C. 1532(3)).                          within a mitigation program.                          credit, however defined, representing the
                                                       Conservation bank—a site, or suite of sites,            Credit bundling—allowing a single unit of          same unit of ecosystem function or service on
                                                    that is conserved and managed in perpetuity             a mitigation site to provide compensation for         a mitigation site more than once. This is not
                                                    and provides ecological functions and                   two or more spatially overlapping ecosystem           allowed.
                                                    services expressed as credits for specified             functions or services that are grouped                   Durability—the condition or state in which
                                                    species that are later used to compensate for           together into a single credit type and used as        the measurable environment benefits of the
                                                    impacts occurring elsewhere to the same                 a single commodity to compensate for a                compensatory mitigation project or measure
                                                    species.                                                single permitted action. A bundled credit             are sustained, at a minimum, for the duration
                                                       Conservation easement—a recorded legal               may be used to compensate for all or a subset         of the associated impacts (including direct
                                                    document established to conserve biological             of the functions or services included in the          and indirect impacts) of the authorized
                                                    resources for a specified duration, usually in          credit type but may only be used once, even           action. To be durable, mitigation measures
                                                    perpetuity, on a identified conservation                if all functions and services represented in          effectively compensate for remaining
                                                    property and which restricts certain activities         the credit type were not required for the             unavoidable impacts that warrant
                                                    and requires certain habitat management                 permitted action. See also ‘‘credit stacking.’’       compensatory mitigation; use long-term
                                                    obligations for the conservation property.                 Credit reserve account—credits set aside in        administrative and legal provisions to
                                                       Conservation measures (conservation                  reserve to offset force majeure or other              prevent actions that are incompatible with
                                                    actions)—measures pledged in the project                unforeseen events as agreed to by the Service,        the measure; and employ financial
                                                    description that the Federal agency or                  allowing a mitigation program to continue             instruments to ensure the availability of
                                                    applicant will implement to minimize,                   uninterrupted.                                        sufficient funding for the measure’s long-
                                                    rectify, reduce, and/or compensate for the                 Credit stacking—allowing a single unit of          term monitoring, site protection, and
                                                    adverse impacts of the development project              a mitigation site to provide two or more              management (600 DM 6.4G).
                                                    on the species. Conservation measures                   credit types representing spatially                      Effects (effects of the action)—changes in
                                                    designed to compensate for unavoidable                  overlapping ecosystem functions or services           the environmental conditions caused by an
                                                    impacts may include the restoration,                    which can be unstacked and used as separate           action that are relevant to the species or other
                                                    enhancement, establishment, and/or                      commodities to compensate for different               resources (81 FR 83440; November 21, 2016),
                                                    preservation of species habitat or other                permitted actions. Credit stacking can result         including the direct, indirect, and cumulative
                                                    measures conducted for the purpose of                   in double counting (i.e., a net loss of               effects of the action on the species and other
                                                    offsetting adverse impacts to the species.              resources on the landscape) if the same               activities that are interrelated to, or
                                                    Upon issuance of a permit, license or other             functions or services are not also accounted          interdependent with, that action as defined at
                                                    such authorization associated with the                  for separately at all impact sites. See also          50 CFR 402.02. See also ‘‘cumulative effects.’’
                                                    proposed project, implementation of that                ‘‘credit bundling’’ and ‘‘double-counting.’’             Endangered species—any species which is
                                                    project requires implementation of the                     Credit transfer—the use, sale, or                  in danger of extinction throughout all or a
                                                    conservation measures as well as any other              conveyance of credits by a bank sponsor or            significant portion of its range (16 U.S.C.
                                                    terms and conditions of the permit.                     mitigation provider to a permittee or other           1532(6)).
                                                       Conservation objective—a measurable                  entity for the purposes of offsetting impacts            Endowment—as used in this policy, funds
                                                    expression of a desired outcome for a species           of an action.                                         that are conveyed solely for the long-term
                                                    or its habitat resources. Population objectives            Critical habitat—specific areas within the         stewardship of a mitigation property and are
                                                    are expressed in terms of abundance, trend,             geographical area occupied by the species at          permanently restricted to paying the costs of
                                                    vital rates, or other measurable indices of             the time it is listed as endangered or                management and stewardship of that
                                                    population status. Habitat objectives are               threatened under the Endangered Species               property. The management of endowment
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                                                    expressed in terms of the quantity, quality,            Act, on which are found those physical or             funds is generally governed by State and
                                                    and spatial distribution of habitats required           biological features essential to the                  Federal laws, as applicable. Endowments do
                                                    to attain population objectives, as informed            conservation of the species and which may             not include funds conveyed for meeting
                                                    by knowledge and assumptions about factors              require special management considerations             short-term performance objectives of a
                                                    influencing the ability of the landscape to             or protection; and specific areas outside the         mitigation project.
                                                    sustain the species (81 FR 83440; November              geographical area occupied by the species at             Enhancement—activities conducted in
                                                    21, 2016).                                              the time it is listed, which are determined by        existing habitat of the species that improve
                                                       Conservation plan (species conservation              the Secretary of the Department of the                one or more ecological functions or services
                                                    plan)—a plan developed by Federal, State,               Interior to be areas essential for the                for that species, or otherwise provide added



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                                                    95348                      Federal Register / Vol. 81, No. 248 / Tuesday, December 27, 2016 / Notices

                                                    benefit to the species and do not negatively               In-lieu fee program sponsor—any                       • Reduce or eliminate the impact over time
                                                    affect other resources of concern. Compare              government agency or nonprofit natural                by preservation and maintenance operations
                                                    with ‘‘restoration.’’                                   resources management organization                     during the life of the action; and
                                                       Establishment—construction of habitat of a           responsible for establishing, and in most                • Compensate for the impact by replacing
                                                    type that did not previously exist on a                 circumstances, operating an in-lieu fee               or providing substitute resources or
                                                    mitigation site but which will provide a                program. See also, ‘‘sponsor.’’                       environments.
                                                    benefit to the species and does not negatively             In-lieu fee site—a compensatory mitigation            This sequence is often condensed to:
                                                    affect other resources of concern. Compare              site established under an approved in-lieu fee        Avoidance, minimization, and compensation.
                                                    with ‘‘restoration.’’                                   program.                                                 Mitigation ratio—the relationship between
                                                       Fee title (fee)—an interest in land that is             Landscape—an area encompassing an                  the amount of the compensatory offset for,
                                                    the most complete and absolute ownership in             interacting mosaic of ecosystems and human            and the impacts to, the species, habitat for
                                                    land; it is of indefinite duration, freely              systems that is characterized by a set of             the species, or other resource of concern.
                                                    transferable, and inheritable.                          common management concerns. The                          Mitigation sponsor (mitigation project
                                                       Functions—the physical, chemical, and                landscape is not defined by the size of the           sponsor, sponsor, mitigation provider)—any
                                                    biological processes that occur in ecosystems           area, but rather by the interacting elements          public or private entity responsible for
                                                    (33 CFR 332.2); functions are the ecological            that are relevant and meaningful in a                 establishing, and in most circumstances,
                                                    processes necessary for meeting species’                management context (600 DM 6D).                       operating a compensatory mitigation program
                                                    habitat and lifecycle needs.                               Landscape-scale approach—an approach               or project such as a conservation bank, in-
                                                       Habitat—an area with spatially identifiable          to conservation planning that applies the             lieu fee program, or habitat credit exchange
                                                    physical, chemical, and biological attributes           mitigation hierarchy for impacts to resources         (modified from 33 CFR 332.2).
                                                    that supports one or more life-history                  and their values, services, and functions at             Off-site—a mitigation area that is located
                                                    processes for the species (81 FR 83440;                 the relevant scale, however narrow or broad,          neither on nor adjacent to the same parcel of
                                                    November 21, 2016).                                     necessary to sustain, or otherwise achieve            land as the impact site (33 CFR 332.2).
                                                       Habitat conservation plan (HCP)—a                    established goals for those resources and                On-site—a mitigation site located on or
                                                    planning document that describes the                    their values, services, and functions. A              adjacent to the same parcel of land as the
                                                    anticipated effects of a proposed activity on           landscape-scale approach should be used               impact site (33 CFR 332.2).
                                                    the taking of federally listed species, how             when developing and approving strategies or              Performance criteria—observable or
                                                    those impacts will be minimized and                     plans, reviewing projects, or issuing permits.        measurable administrative and ecological
                                                    mitigated, and how the plan will be funded              The approach identifies the needs and                 (physical, chemical, or biological) attributes
                                                    (16 U.S.C. 1539). The HCP is required as part           baseline conditions of targeted resources and         that are used to determine if a compensatory
                                                                                                            their values, services and functions,                 mitigation project meets the agreed upon
                                                    of an incidental take permit application to
                                                                                                            reasonably foreseeable impacts, cumulative            conservation objectives identified in a
                                                    the Service or the National Marine Fisheries
                                                                                                            impacts of past and likely projected                  mitigation instrument or the conservation
                                                    Service (see ‘‘incidental take’’).
                                                                                                            disturbance to those resources, and future            measures proposed as part of a permitted or
                                                       Habitat credit exchange (habitat credit
                                                                                                            disturbance trends. The approach then uses            otherwise authorized action.
                                                    exchange program)—a market-based system                                                                          Permittee—any person who receives formal
                                                                                                            such information to identify priorities for
                                                    that operates as a clearinghouse in which an            avoidance, minimization, and compensatory             approval or authorization, generally in the
                                                    exchange administrator, acting as a                     mitigation measures across that relevant area         form of a permit or license, from a Federal
                                                    mitigation sponsor, manages credit                      to provide the maximum benefit to the                 agency to conduct an action. See also,
                                                    transactions between compensatory                       impacted resources and their values,                  ‘‘applicant.’’
                                                    mitigation providers and permittees or others           services, and functions, with full                       Permittee-responsible mitigation—
                                                    authorized to implement actions that                    consideration of the conditions of                    activities or projects undertaken by a
                                                    adversely affect protected species.                     additionality and durability (600 DM 6E).             permittee or an authorized agent or
                                                       Impact(s) (of an action)—adverse effects                Listed species—any species or subspecies           contractor to provide compensatory
                                                    relative to the affected resources (81 FR               of fish, wildlife, or plant which has been            mitigation for which the permittee retains
                                                    83440; November 21, 2016). More                         determined to be endangered or threatened             full responsibility. As used in this policy,
                                                    specifically under this policy, adverse effects         under section 4 of the Endangered Species             permittee-responsible mitigation also
                                                    on the species or its habitat anticipated in a          Act (50 CFR 402.02). Listed species are found         includes compensatory mitigation
                                                    proposed action or resulting from an                    at 50 CFR 17.11 and 17.12.                            undertaken by Federal agencies to offset
                                                    authorized or permitted action.                            Management plan—the stewardship plan               impacts resulting from actions carried out
                                                       Incidental take—take of any endangered or            prepared to instruct the land manager in the          directly by the Federal agency.
                                                    threatened species that results from, but is            operations and biological management for the             Perpetuity—endless or infinitely long
                                                    not the purpose of, carrying out an otherwise           compensatory mitigation site to, at a                 duration or existence; permanent.
                                                    lawful activity conducted by a Federal                  minimum, maintain the functions and                      Practicable—available and capable of being
                                                    agency or an applicant (50 CFR 402.02).                 services for specified species and other              done after taking into consideration existing
                                                    Incidental take may be authorized for                   resources on the mitigation site. These are           technology, logistics, and cost in light of a
                                                    endangered or threatened species through                generally long-term plans that include a              mitigation measure’s beneficial value and a
                                                    section 7 or 10, or for threatened species,             detailed estimate of the itemized costs for all       land use activity’s overall purpose, scope,
                                                    through a rule codified under section 4(d) of           management actions required by the plan.              and scale (81 FR 83440; November 21, 2016).
                                                    the Endangered Species Act. (See also,                  These annual costs are used to estimate the              Preservation—the protection and
                                                    ‘‘take.’’)                                              size of the endowment that will be needed             management of existing resources for the
                                                       Indirect effects—those effects to the species        to maintain and monitor the mitigation site           species that would not otherwise be
                                                    that are caused by the action at a later time           for the intended duration.                            protected through removal of a threat to, or
                                                    or another place, but are reasonably certain               Mitigation (mitigation hierarchy, mitigation       preventing the decline of, the resources to
                                                    to occur (50 CFR 402.02).                               sequence)—as defined and codified in the              compensate for the loss of the same species
                                                       In-kind—a resource of a similar structural           Council on Environmental Quality (CEQ)                or resources elsewhere.
                                                    and functional type to the impacted resource            National Environmental Policy Act (42 U.S.C.             Proponent (project proponent)—the agency
                                                    (33 CFR 332.2); when used in reference to a             4321 et seq.) regulations (40 CFR 1508.20),           proposing an action, and if applicable, any
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                                                    species, in-kind means the same species.                mitigation includes:                                  applicant(s) for agency funding or
                                                       In-lieu fee program—a program involving                 • Avoid the impact altogether by not               authorization to implement a proposed
                                                    the restoration, establishment, enhancement,            taking the action or parts of the action;             action (81 FR 83440; November 21, 2016).
                                                    and/or preservation of habitat through funds               • Minimize the impact by limiting the              For purposes of this policy, any person,
                                                    paid to a governmental or nonprofit natural             degree or magnitude of the action and its             organization, or agency advocating a
                                                    resources management entity to satisfy                  implementation;                                       development proposal that is anticipated to
                                                    compensatory mitigation requirements for                   • Rectify the impact by repairing,                 result in adverse impacts to one or more
                                                    impacts to specified species or habitat                 rehabilitating, or restoring the affected             listed or at-risk species. See also, ‘‘applicant’’
                                                    (modified from 33 CFR 332.2).                           environment;                                          and ‘‘permittee.’’



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                                                                               Federal Register / Vol. 81, No. 248 / Tuesday, December 27, 2016 / Notices                                                95349

                                                       Resources (resources of concern)—fish,               site to the same level had the action not             Paperwork Reduction Act of 1995
                                                    wildlife, plants, and their habitats for which          occurred.                                                This final policy does not contain any new
                                                    the Service has authority to recommend or                  Threatened species—any species which is            collections of information that require
                                                    require the mitigation of impacts resulting             likely to become an endangered species                approval by the Office of Management and
                                                    from proposed actions (81 FR 83440;                     within the foreseeable future throughout all          Budget (OMB) under the Paperwork
                                                    November 21, 2016) .                                    or a significant portion of its range (16 U.S.C.      Reduction Act of 1995 (44 U.S.C. 3501 et
                                                       Restoration—repairing or rehabilitating              1532(20)).                                            seq.). OMB has reviewed and approved the
                                                    habitat for the benefit of the species on a                Unavoidable impact—an impact for which             information collection requirements for
                                                    mitigation site with the goal of returning it           an appropriate and practicable alternative to         applications for incidental take permits,
                                                    to its natural/historic habitat type with the           the proposed action that would not cause the          annual reports, and notifications of
                                                    same or similar functions where they have               impact is not available (81 FR 83440;                 incidental take for native endangered and
                                                    ceased to exist, or exist in a substantially            November 21, 2016).                                   threatened species for safe harbor
                                                    degraded state.                                                                                               agreements, candidate conservation
                                                       Retired credit—a credit that is no longer            Determinations Under Other Authorities
                                                                                                                                                                  agreements with assurances, and habitat
                                                    available for use as mitigation. Credits that             As mentioned above, we intend to apply              conservation plans under OMB Control
                                                    have been sold or otherwise used to fulfill a           this policy when considering the adequacy of          Number 1018–0094, which expires on
                                                    mitigation obligation are considered retired.           compensatory mitigation programs, projects,           January 31, 2017. We are currently in the
                                                    Credits may also be voluntarily retired or              and measures proposed by Federal agencies             process of seeking renewal for OMB Control
                                                    forfeited, without being used for mitigation.           and applicants as part of a proposed action           Number 1018–0094. We may not conduct or
                                                       Safe harbor agreement (SHA)—formal                   and mitigation sponsors. Below we discuss             sponsor and a person is not required to
                                                    agreement between the Service or National               compliance with several Executive Orders              respond to a collection of information unless
                                                    Marine Fisheries Service and one or more                and statutes as they pertain to this policy.          it displays a currently valid OMB control
                                                    non-Federal property owners in which                                                                          number.
                                                    property owners voluntarily manage for                  National Environmental Policy Act (NEPA)
                                                    listed species for an agreed amount of time                We have analyzed this policy in                    Government-to-Government Relationship
                                                    providing a net conservation benefit to the             accordance with the criteria of the National          With Tribes
                                                    species and, in return, receive assurances              Environmental Policy Act, as amended                     In accordance with the President’s
                                                    from the Service or National Marine Fisheries           (NEPA) (42 U.S.C. 4332(c)), the Council on            memorandum of April 29, 1994,
                                                    Service that no additional future regulatory            Environmental Quality’s regulations for               ‘‘Government-to-Government Relations with
                                                    restrictions will be imposed (USFWS Safe                implementing the procedural provisions of             Native American Tribal Governments’’ (59
                                                    Harbor Policy). Under the Safe Harbor Policy,           NEPA (40 CFR parts 1500–1508), and the                FR 22951), Executive Order 13175
                                                    ‘‘net conservation benefit’’ is defined as              Department of the Interior’s NEPA                     ‘‘Consultation and Coordination with Indian
                                                    contributing to the recovery of the listed              procedures (516 DM 2 and 8; 43 CFR part 46).          Tribal Governments,’’ and the Department of
                                                    species covered by the SHA.                             Issuance of policies, directives, regulations,        the Interior Manual at 512 DM 2, we have
                                                       Service area—the geographic area within              and guidelines are actions that may generally         considered possible effects on federally
                                                    which impacts to the species or other                   be categorically excluded under NEPA (43              recognized Indian tribes and have
                                                    resources of concern can be mitigated at a              CFR 46.210(i)). Based on comments received,           determined that there are no potential
                                                    specific compensatory mitigation site.                  we determined that a categorical exclusion            adverse effects of issuing this policy. Our
                                                       Species—the term ‘‘species’’ includes any            can apply to this policy; nevertheless, the           intent with the policy is to provide a
                                                    species, subspecies of fish, or wildlife, or            Service chose to prepare an environmental             consistent approach to the consideration of
                                                    plants, and any distinct population segment             assessment (EA) to inform decision makers             compensatory mitigation programs, projects,
                                                    of any species of vertebrate fish or wildlife           and the public regarding the possible effects         and measures, including those taken on
                                                    which interbreeds when mature (16 U.S.C.                of the policy revisions.                              Tribal lands. We will work with Tribes as
                                                    1532(16)).                                                 We announced our intent to prepare an EA           applicants proposing compensatory
                                                       Take—means to harass, harm, pursue,                  pursuant to NEPA when we published the                mitigation as part of proposed actions and
                                                    hunt, shoot, wound, kill, trap, capture or              draft policy. We requested comments on the            with Tribes as mitigation sponsors.
                                                    collect a federally listed species, or to               scope of the NEPA review, information
                                                    attempt to engage in any such conduct (16               regarding important environmental issues                Authority: The authorities for this action
                                                    U.S.C. 1532(19)). ‘‘Take’’ applies only to fish         that should be addressed, the alternatives to         include the Endangered Species Act of 1973,
                                                    and wildlife, not plants.                               be analyzed, and issues that should be                as amended (16 U.S.C. 1531 et seq.), and the
                                                       Temporal loss—the cumulative loss of                 addressed at the programmatic stage in order          National Environmental Policy Act (42 U.S.C.
                                                    functions and/or services relevant to the               to inform the site-specific stage during the          4321 et seq.).
                                                    species attributed to the time between the              comment period on the draft policy.                     Dated: December 15, 2016.
                                                    loss of habitat functions and/or services or            Comments from the public were considered              Daniel M. Ashe,
                                                    individuals of the population(s) caused by              in the drafting of the final EA. The final EA
                                                                                                                                                                  Director, U.S. Fish and Wildlife Service.
                                                    the action and the replacement of habitat               is available on the Internet at http://
                                                    functions and/or services or repopulation of            www.regulations.gov under Docket Number               [FR Doc. 2016–30929 Filed 12–23–16; 8:45 am]
                                                    the species at the compensatory mitigation              FWS–HQ–ES–2015–0165.                                  BILLING CODE 4333–15–P
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Document Created: 2018-02-14 09:13:22
Document Modified: 2018-02-14 09:13:22
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionNotices
ActionNotice of final policy.
DatesThis policy is effective on December 27, 2016.
ContactCraig Aubrey, U.S. Fish and Wildlife Service, Division of Environmental Review, 5275 Leesburg Pike, Falls Church, VA 22041-3803; telephone 703-358-2442. Persons who use a telecommunications device for the deaf (TDD) may call the Federal Relay Service at 800-877-8339.
FR Citation81 FR 95316 

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