82_FR_43881 82 FR 43701 - Endangered and Threatened Wildlife and Plants: Final Rule To List the Maui Dolphin as Endangered and the South Island Hector's Dolphin as Threatened Under the Endangered Species Act

82 FR 43701 - Endangered and Threatened Wildlife and Plants: Final Rule To List the Maui Dolphin as Endangered and the South Island Hector's Dolphin as Threatened Under the Endangered Species Act

DEPARTMENT OF COMMERCE
National Oceanic and Atmospheric Administration

Federal Register Volume 82, Issue 180 (September 19, 2017)

Page Range43701-43710
FR Document2017-19903

We, NMFS, issue a final rule to list the Maui dolphin (Cephalorhynchus hectori maui) as endangered and the South Island (SI) Hector's dolphin (C. hectori hectori) as threatened under the Endangered Species Act (ESA). We considered comments submitted on the proposed listing rule and have determined that the Maui dolphin and the SI Hector's dolphin warrant listing as endangered and threatened species, respectively. We will not designate critical habitat for either of these dolphin subspecies, because the geographical areas occupied by these dolphins are entirely outside U.S. jurisdiction, and we have not identified any unoccupied areas within U.S. jurisdiction that are currently essential to the conservation of either of these subspecies.

Federal Register, Volume 82 Issue 180 (Tuesday, September 19, 2017)
[Federal Register Volume 82, Number 180 (Tuesday, September 19, 2017)]
[Rules and Regulations]
[Pages 43701-43710]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2017-19903]


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DEPARTMENT OF COMMERCE

National Oceanic and Atmospheric Administration

50 CFR Parts 223 and 224

[Docket No. 160614520-7805-02]
RIN 0648-XE686


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

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

ACTION: Final rule.

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SUMMARY: We, NMFS, issue a final rule to list the Maui dolphin 
(Cephalorhynchus hectori maui) as endangered and the South Island (SI) 
Hector's dolphin (C. hectori hectori) as threatened under the 
Endangered Species Act (ESA). We considered comments submitted on the 
proposed listing rule and have determined that the Maui dolphin and the 
SI Hector's dolphin warrant listing as endangered and threatened 
species, respectively. We will not designate critical habitat for 
either of these dolphin subspecies, because the geographical areas 
occupied by these dolphins are entirely outside U.S. jurisdiction, and 
we have not identified any unoccupied areas within U.S. jurisdiction 
that are currently essential to the conservation of either of these 
subspecies.

DATES: This final rule is effective October 19, 2017.

ADDRESSES: Endangered Species Division, NMFS Office of Protected 
Resources (F/PR3), 1315 East West Highway, Silver Spring, MD 20910.

FOR FURTHER INFORMATION CONTACT: Lisa Manning, NMFS, Office of 
Protected Resources, lisa.manning@noaa.gov, (301) 427-8466.

SUPPLEMENTARY INFORMATION:

Background

    On July 15, 2013, we received a petition from WildEarth Guardians 
to list 81 marine species or populations as endangered or threatened 
species under the ESA. We determined that the petition had sufficient 
merit for further consideration, and status reviews were initiated for 
27 of the 81 species or populations, including the Hector's dolphin 
(Cephalorhynchus hectori; 78 FR 63941, October 25, 2013; 78 FR 66675, 
November 6, 2013; 78 FR 69376, November 19, 2013; 79 FR 9880, February 
21, 2014; and 79 FR 10104, February 24, 2014). On September 19, 2016, 
we published a proposed rule to list the Maui dolphin (Cephalorhynchus 
hectori maui) as endangered and the SI Hector's dolphin (C. hectori 
hectori) as threatened (81 FR 64110). We requested

[[Page 43702]]

public comments on the information in the proposed rule and the 
associated status review during a 60-day public comment period, which 
closed on November 18, 2016. This final rule provides a discussion of 
the public comments received in response to the proposed rule and our 
final determinations on the petition to list the Maui dolphin and the 
SI Hector's dolphin under the ESA. The findings and relevant Federal 
Register notices for the other species and populations addressed in the 
petition can be found on our Web site at www.nmfs.noaa.gov/pr/species/petition81.htm.

Listing Determinations Under the ESA

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

Summary of Comments

    In response to our request for comments on the proposed rule, we 
received 75 comments. The comments were submitted by multiple 
organizations and individual members of the public from a minimum of 
seven countries (Australia, Bahamas, Canada, England, Ireland, New 
Zealand, and the United States). All of the comments were supportive of 
the proposed endangered listing for the Maui dolphin. Several 
commenters suggested listing the SI Hector's dolphin as endangered, and 
one comment was opposed to the proposed threatened listing for the SI 
Hector's dolphin. Summaries of comments received regarding the proposed 
rule and our responses are provided below.
    Comment 1: A large majority of the comments were general statements 
expressing support for listing Maui dolphins as endangered and SI 
Hector's dolphins as threatened under the ESA. Most of these comments 
were not accompanied by information or references. Some of the comments 
were accompanied by information that is consistent with, or cited 
directly from, our proposed rule or draft status review report. Several 
of the comments included pointed statements regarding the inadequacy of 
current management efforts to reduce bycatch of Hector's dolphins. 
Several other comments were associated with a ``Let's Face It'' 
campaign to protect Maui dolphins, and in one case, a commenter 
provided a link to an online, visual petition from ``Let's Face it'' 
consisting of photos of the over 9,400 people who participated in the 
campaign. The Marine Mammal Commission in particular concurred with our 
proposed endangered listing of Maui dolphins, and recommended we 
proceed with a final rule listing them as such under the ESA.
    Response: We acknowledge all of these comments and the considerable 
public interest expressed in support of

[[Page 43703]]

the conservation of the SI Hector's and Maui dolphins.
    Comment 2: Two scientists from the University of Otago, New 
Zealand, submitted an unpublished report (referred to here as Slooten 
and Dawson 2016) presenting population viability analyses (PVAs), 
estimates of Potential Biological Removal (PBR), and projected 
population trends for Maui and SI Hector's dolphins. The report updates 
previously published analyses (e.g., Slooten 2007a; Slooten and Dawson 
2010) by incorporating the recent abundance estimates reported by Baker 
et al. (2016) for Maui dolphins and by Mackenzie and Clement (2014, 
2016) for SI Hector's dolphins. These updated analyses were conducted 
to explore how the new abundance estimates affect previous conclusions 
about risk and population viability. The report also reviews the 
available data on fishery-observer coverage and available bycatch data 
by location, year, and gear type (gillnet, trawl, or craypot). The 
report discusses several limitations of the available bycatch data and 
asserts the data provide an under-estimate of the actual level of 
bycatch mortality.
    The commenters' updated PBR (using a recovery factor of 0.1) for 
Maui dolphins ranges from 0.05 to 0.12, depending on the assumed per 
capita growth rate (Rmax). Their estimated rate of population decline 
is 2 percent per year, with a 95 percent confidence interval (CI) that 
ranges from a 1.6 percent decline to a 4.8 percent increase per year, 
which the commenters note indicates a high level of uncertainty 
regarding the population trend. The commenters present a Bayesian 
linear regression analysis that indicates there is a 68 percent 
probability that the Maui dolphin population is continuing to decline, 
and their power analysis indicates that the ability (statistical power) 
to detect population trends in continued population surveys for Maui 
dolphins is very low.
    The updated PBR estimate provided by the commenters for the SI 
Hector's dolphin ranges from 3 to 24 dolphins per year, depending on 
the value of Rmax and the offshore range of the dolphins applied. 
Results of the updated PVA suggest that the abundance of SI Hector's 
dolphins has declined by 70 percent over the last three generations (39 
years), and that the subspecies will continue to decline to 8,283 
dolphins (95 percent CI: 4,925-13,931) by the year 2050. The commenters 
conclude that the new, higher abundance estimate for the SI Hector's 
dolphins is more than offset by the increased degree of overlap between 
fishing activities and the more extensive offshore distribution of 
dolphins on the east coast of the South Island.
    Response: We thoroughly reviewed and considered the analyses and 
information presented in this report.
    In response to the information provided in this comment, we updated 
our status review report (Manning and Grantz 2017) to include the 
recent abundance estimate for Maui dolphins from Baker et al. (2016), 
who reported an abundance estimate of 63 dolphins 1 year of age and 
older (95 percent CI: 57-75). This new abundance estimate is based on a 
long-term genetic mark-recapture study and is within the 95 percent CI 
of the previous estimate resulting from this work (i.e., 55 dolphins 1 
year of age and older (95 percent CI: 48-69), Hamner et al., 2014b). 
Estimates of the rate of population decline provided by the commenters 
are consistent with those provided recently by Baker et al. (2016): 
Both sources indicate an annual rate of decline of about 2 percent with 
a high degree of uncertainty. The updated PBR estimates reported by the 
commenters (i.e., 0.05 (or one dolphin every 20 years) to 0.12 (or one 
dolphin every 8.3 years)) are also similar to those reported previously 
using older abundance estimates--e.g., 0.16 (Slooten et al., 2006a), 
0.044-0.10 (Wade et al., 2012).
    Overall, while the commenters' report does provide updated 
analyses, the results presented and the more recent population 
abundance estimate for Maui dolphins do not change the outlook for this 
subspecies. The subspecies is at a critically low abundance, is still 
considered to have a very low threshold for human-caused mortality 
(i.e., PBR is still well below 1.0), and is likely to undergo continued 
decline. Therefore, we find that the new abundance estimate and revised 
analyses support, and do not alter, our previous conclusion that the 
Maui dolphin meets the definition of endangered under the ESA.
    As explained by the commenters, previous estimates of PBR and 
population viability analyses for the SI Hector's dolphins relied on 
earlier, lower abundance estimates; whereas, the analyses prepared by 
the commenters use the latest abundance estimate of 14,849 SI Hector's 
dolphins (95% CI = 11,923-18,492, Mackenzie and Clement 2014, 2016). As 
discussed in more detail in the status review report (Manning and Gantz 
2017), this most recent abundance estimate for the SI Hector's dolphin 
is based on a series of aerial, line-transect surveys that were 
conducted around the South Island during 2010-2015 (Clement et al., 
2011, Mackenzie and Clement 2014, Mackenzie and Clement 2016). These 
surveys extended farther offshore than the previous island surveys (up 
to 20 nautical miles offshore versus 4 to 10 nautical miles), a factor 
that, to some extent, contributed to the larger abundance estimate 
relative to the previous estimate. Interestingly, despite the much 
larger population abundance estimate for this subspecies, the results 
of the updated analyses for the SI Hector's dolphin provided by the 
commenters do not suggest a substantially different outlook for the 
subspecies.
    The commenters provide updated PBR estimates for SI Hector's 
dolphins by region. Unfortunately, however, the east coast of the South 
Island is the only region for which bycatch estimates are available 
following implementation of management measures in 2008, making 
comparisons of bycatch levels to PBR estimates for other regions 
difficult. The updated PBR estimates for the east coast population 
presented by the commenters (3-15 dolphins per year) are higher than 
those published previously by the commenters (0.57-1.28, Slooten and 
Dawson 2008b); however, they are still largely below the level of 
bycatch estimated for the east coast using commercial gillnetting 
observer data (23 dolphins, min-max range of 4--48, Slooten and Davies 
2012). This information suggests that bycatch in commercial gillnets 
alone may be occurring at an unsustainable rate in this region.
    The results of the updated PVAs provided by the commenters for the 
SI Hector's dolphins suggest that a large historical decline in 
abundance occurred since the 1970's, similar to the finding of previous 
analyses (e.g., Slooten 2007a, Slooten and Dawson 2010). The updated 
PVA also predicts continued decline by about 44 percent by the year 
2050 given current fishing effort, estimated bycatch, and current 
management measures. It is not clear, however, what bycatch estimates 
were applied in this analysis; and, as noted by the commenters, there 
is considerable uncertainty regarding the level of bycatch across the 
range of the subspecies. This and previous analyses have relied on very 
limited bycatch estimates, which are only available for a small number 
of regions and years and only for commercial gillnet fisheries. These 
shortcomings have been noted previously and cannot be remedied until 
sufficient, reliable bycatch data become available.
    Overall, the results of the analyses presented by the commenters 
are consistent with our previous conclusions that the SI Hector's 
dolphin

[[Page 43704]]

has experienced large historical declines in abundance, is likely 
experiencing unsustainable levels of bycatch, and is likely to continue 
to decline under existing management protections. Therefore, we 
conclude the information provided in the commenters' report does not 
alter our finding that the SI Hector's dolphin meets the definition of 
threatened under the ESA.
    Comment 3: Five commenters requested that we list the SI Hector's 
dolphin as endangered under the ESA. One of these commenters also urged 
that we enact strict protections immediately for SI Hector's dolphins 
(and Maui dolphins). One of the commenters stated that an endangered 
listing for SI Hector's dolphins was justified because this subspecies 
consists of a network of unique, local populations or ``Distinct 
Population Segments'' that are small, declining, and increasingly 
fragmented. Three papers on specific subpopulations of SI Hector's 
dolphins (i.e., Rayment et al., 2009a, Turek et al., 2013, Weir and 
Sagnol 2015) and one study on genetic differentiation among populations 
(i.e., Hamner et al., 2012a) were provided to demonstrate fragmentation 
of populations. This commenter also stated that bycatch levels remain 
high because current fisheries management measures cover only a small 
portion of the SI Hector's dolphin's habitat and are poorly monitored 
and enforced. A report reviewing marine fisheries catch data in New 
Zealand (i.e., Simmons et al., 2016) and a link to video footage 
showing the capture of two SI Hector's dolphins were provided to 
support this statement.
    Response: In response to these comments, we reviewed the 
information and references provided and considered whether the 
available information indicates the SI Hector's dolphin meets the 
definition of endangered under the ESA.
    We agree that SI Hector's dolphin comprises multiple populations, 
some of which have been estimated to be very small, and that the 
population structure, in combination with other factors such as small 
home ranges (e.g., Rayment et al., 2009a), is contributing to the 
extinction risk for this subspecies. The best available data indicate 
that the SI Hector's subspecies comprises three, regional populations 
that can be distinguished geographically and genetically--an east coast 
(ECSI), west coast (WCSI), and south coast population (SCSI; Pichler 
2002, Hamner et al., 2012). Additional population structuring within 
these larger geographic regions has also been indicated in genetic 
studies (e.g., Te W[aelig]w[aelig] Bay and Toetoe Bay within the SCSI, 
Hamner et al., 2012a). Two references cited by the commenter present 
analyses of photo-identification data that provide additional evidence 
of small, localized or fragmented populations off Otago and Kairkoura 
on the ECSI (Turek et al., 2013, Weir and Sagnol 2015). Because we had 
not cited these latter two references previously, we have expanded our 
discussion of population structure in the status review report (Manning 
and Grantz 2017) to incorporate information from these two studies.
    The references provided, however, do not alter our interpretation 
of the available data regarding population structure and its 
contribution to extinction risk for SI Hector's dolphins. As discussed 
in the status review report and proposed rule, the available genetic 
evidence (based on both mitochondrial DNA and microsatellites) 
indicates that there are low levels of migration between most 
neighboring local populations over distances shorter than 100 km 
(Hamner et al., 2012a). While strong genetic differentiation has been 
detected among the regional populations, very few intra-regional 
comparisons of populations in the ECSI and WCSI regions have been 
significant (Pichler 2002; Hamner et al., 2012a). Analysis of levels of 
genetic differentiation among sample locations within regions suggests 
there is sufficient gene flow to maintain genetic diversity within the 
ECSI and WCSI regions; however, the very restricted gene flow detected 
between local populations in the SCSI region (i.e., beween Te WaeWae 
and Toetoe Bays) does pose a conservation concern (Hamner et al., 
2012a). Connectivity between the small, local populations within each 
region is very important to the overall status of this subspecies, and 
additional loss of connectivity would increase risks of genetic drift, 
loss of genetic diversity, and extinction. Thus, as we concluded in our 
status review (Manning and Grantz 2017), the spatial structure and 
connectivity among SI Hector's populations is posing a moderate risk to 
the subspecies, but this factor, either alone or in combination with 
other threats, does not put the subspecies at immediate risk of 
extinction (Manning and Grantz 2017). Information provided by the 
commenter does not provide new or different information regarding the 
degree of population fragmentation, abundance, or the rate of decline 
of any populations. Therefore, we find that the information provided by 
the commenter is consistent with the analysis presented in our status 
review and does not alter our conclusion that the SI Hector's dolphin 
meets the definition of threatened under the ESA.
    We also agree with the comment that bycatch of SI Hector's dolphins 
continues to pose a threat despite existing fisheries management 
efforts. As we discuss in our status review, the risk of bycatch in 
commercial and recreational trawl and gillnet fisheries remains high 
given the known distribution of the dolphins relative to areas open to 
fishing, especially on the west and north coasts of the South Island 
(Faustino et al., 2013, Slooten 2013). The report provided by the 
commenter, which reviewed New Zealand marine fisheries catch data from 
1950-2010 (i.e., Simmons et al., 2016), indicates a serious degree of 
under-reporting of catch and discards in commercial fisheries; however, 
the report documents the under-reporting of only a single Hector's 
dolphin by one fishing vessel. Video footage provided by one of the 
commenters was recorded as part of an investigation, called Operation 
Achilles, conducted by the New Zealand Ministry for Primary Industries' 
(MPI) following earlier video evidence of dolphin bycatch obtained 
during a pilot electronic monitoring program. The footage provided by 
the commenter was made publicly available by MPI and shows the capture 
of two SI Hector's dolphins; and according to the associated reports 
provided by MPI (http://mpi.govt.nz/protection-and-response/environment-and-natural-resources/sustainable-fisheries/independent-review-of-prosecution-decisions/), only one of the two dolphins was 
reported as legally required. Overall, while the report and the video 
provide definitive evidence that under-reporting of bycatch of Hector's 
dolphins has occurred, this information alone does not augment the 
available bycatch data or improve our understanding of the extent or 
rate of bycatch such that an endangered listing for the SI Hector's 
dolphin is warranted.
    Lastly, we note that one of the commenters who requested an 
endangered listing for the SI Hector's dolphin equated the population 
structure of SI Hector's dolphins with ``distinct population segments'' 
(DPSs), which are included in the ESA definition of a ``species'' and 
are units of vertebrate populations that can be listed under the ESA. 
We address DPSs and the issue of whether populations of SI Hector's 
dolphins should be identified as DPSs under our response to Comment 4 
(below).
    Comment 4: The Marine Mammal Commission commented that the 
information provided in our status

[[Page 43705]]

review and proposed rule is insufficient to support a threatened 
listing for the SI Hector's dolphin. The comment discussed four main 
lines of reasoning in support of that statement: (1) In contrast to the 
Maui dolphin, the SI Hector's dolphins remain fairly abundant; (2) the 
length of the ``foreseeable future'' we applied is unrealistically 
long; (3) bycatch is currently being mitigated through management 
actions, and we cannot assume that additional management measures will 
not be implemented by New Zealand; and, (4) while disease and tourism 
are potential threats, their population-level impacts are uncertain. 
The Commission recommended that we revise the length of the 
``foreseeable future'' used in the analysis, reconsider whether 
existing regulatory mechanisms are inadequate to address the threat of 
bycatch, and reconsider our proposal to list the SI Hector's dolphin 
subspecies as threatened.
    The Commission also noted that one or more of the regional 
populations of SI Hector's dolphins could meet the definition of a DPS. 
The Commission states that the status review and proposed rule did not 
explore the possibility that any of these populations could merit 
separate listing consideration or could contribute to a threatened 
listing of the subspecies.
    Response: We agree with the Commission that the current abundance 
estimate for the SI Hector's dolphin is fairly high relative to the 
estimated population abundance of Maui dolphins, which is at a 
critically low level. The estimated abundance of the entire SI 
subspecies was an important consideration in our risk analysis and 
contributed to our finding that the SI Hector's dolphin is not 
presently in danger of extinction and thus does not meet the definition 
of endangered under the ESA. However, we did not rely on estimates of 
abundance as an exclusive determinant of this subspecies' risk of 
extinction. Rather, and as is our standard practice when conducting 
status reviews under the ESA and as articulated in our status review, 
our analysis also considered other demographic risk factors, including 
population growth/productivity, spatial structure and connectivity, and 
genetic diversity. As required under the ESA, we also considered 
threats and protective efforts. Thus, for SI Hector's dolphins in 
particular, we considered the estimates of large historical declines in 
abundance, the observed loss of genetic diversity, the limited 
connectivity of populations, as well as ongoing threats such as bycatch 
and the projections of continued declines despite management efforts. 
Ultimately, all of this information was used in reaching the conclusion 
that this subspecies faces a level of risk that warrants listing it as 
threatened under the ESA.
    We disagree with the comment that we applied an ``unrealistically 
long'' timeframe as the ``foreseeable future'' in our analysis and that 
we should revise it to be ``a period of time relevant to mitigation of 
the bycatch threat.'' The comment explicitly refers to a discussion 
presented in both the status review and proposed rule regarding the 
rate of decline of SI Hector's dolphins around Banks Peninsula as 
estimated by Gormley et al. (2012) and our extrapolation of that rate 
of decline to the entire subspecies. The result of our calculation was 
a 50 percent decline in the population in about 138 years and an 80 
percent decline in about 321 years. We did not, however, apply these 
timeframes as the ``foreseeable future'' as asserted by the Commission. 
As we stated in the proposed rule (81 FR 64121, September 19, 2016), 
these are simply calculations based on the limited data available, and 
we did not use them to establish any specific thresholds for 
determining when the subspecies may be in danger of extinction. The 
status review also characterizes this calculation as ``grossly over-
simplified and not realistic'' and explains that a trend analysis and a 
projection of the time to extinction is not currently possible (Manning 
and Grantz 2017). We also stated in both the status review and proposed 
rule that the actual rate of decline of the subspecies remains unclear 
given the deficiency of bycatch mortality data. We note that we are not 
required to develop a specific rate of decline in order to find that a 
species meets the definition of threatened under the ESA. In this 
particular case, the available data do not support such a calculation. 
Lastly, we note that our ultimate determination regarding the status of 
the SI Hector's dolphin does not exclusively depend on the threat of 
bycatch or the rate of decline attributable to bycatch alone. Our 
status review and proposed rule discuss available data on other 
demographic risk factors and threats, and our conclusion that the SI 
Hector's dolphin warrants listing as threatened was based on 
consideration of these multiple threats, each of which may be operating 
at different time scales. We made minor edits to the status review 
report to clarify this issue.
    As requested by the Commission, we reconsidered our conclusion 
regarding the adequacy of existing management measures relative to the 
threat of bycatch of SI Hector's dolphins. We also searched for 
additional data and information regarding bycatch of Hector's dolphins 
and associated management measures. We did not find any updated 
information regarding the rate or extent of bycatch or the 
effectiveness of current bycatch reduction efforts around the South 
Island, nor did the Commission provide any data or information 
regarding the adequacy of bycatch management measures. We did, however, 
receive a letter, dated November 22, 2016, from the New Zealand 
Department of Conservation (DOC), affirming the New Zealand 
government's commitment to the long-term viability of Hector's dolphins 
and indicating that the DOC and the Ministry for Primary Industries 
(MPI) will be undertaking a review of their Threat Management Plan in 
2018. The effectiveness of existing protections for the dolphins will 
be assessed as part of that review. However, we cannot speculate on 
whether or what changes to existing protections may occur in the future 
as a result of that review process.
    During our search for additional information, we noticed that since 
publication of the proposed rule to list SI Hector's dolphins in 
September 2016 (81 FR 64110), five SI Hector's dolphin mortalities had 
been added to the DOC's incident database. Cause of death, which was 
determinable for three of the five dolphins, is listed as disease for 
two dolphins and bycatch in a commercial trawl net for the third 
dolphin. We also found a recent press release, dated June 27, 2017, 
from the New Zealand MPI indicating that MPI was investigating the 
death of two other SI Hector's dolphins found in March 2017, one near 
Banks Peninsula on the East Coast and one in Greymouth on the West 
Coast (http://www.mpi.govt.nz). In the press release, MPI states they 
believe the cause of death of the dolphin found on the West Coast was 
illegal recreational set-netting. This additional information clearly 
indicates that bycatch of SI Hector's dolphins is continuing in both 
trawls and gillnets; however, it does not constitute sufficient data to 
alter or revise our previous assessment. Ultimately, after careful 
consideration, we did not find any basis to change our previous 
conclusion regarding the adequacy of existing bycatch management 
measures. We find that the weight of the available data and study 
results support a conclusion that bycatch has contributed to a large 
historical decline in abundance and continues to contribute to the 
decline of SI Hector's dolphins.
    We agree with the Commission that the population-level effects of 
disease

[[Page 43706]]

and tourism are uncertain. Other threats discussed in our status review 
report (Manning and Grantz 2017)--for example, pollution and 
contaminants--have a similar uncertainty. We do not agree, however, 
that this uncertainty means these threats can be disregarded. As we 
discuss in our status review report, the available data suggest that 
tourism activities and disease are posing threats to SI Hector's 
dolphins (Manning and Grantz 2017). The report presents the available 
information regarding infectious disease cases (especially 
toxoplasmosis) in SI Hector's dolphins, which in addition to being a 
possibly substantial source of mortality, may have other detrimental, 
sub-lethal consequences (e.g., increased risk of predation, reduced 
reproductive rate, neonatal deaths) for the dolphins. The status review 
report also presents information on the intensity and popularity of 
dolphin watching and commercial encounter (or ``swim with'') operations 
off the South Island; and presents evidence of short-term behavioral 
responses in SI Hector's dolphins, and evidence of linkages to longer-
term impacts in other dolphins (e.g., Tursiops sp.). Available data on 
the related concern of boat strikes were also provided. We noted in the 
report that the available data are not currently sufficient to 
understand the magnitude or overall impact of these threats on the 
subspecies. In our proposed rule (81 FR 64123, September 19, 2016), we 
concluded that factors such as disease and tourism are ``lesser 
threats'' that are ``likely exacerbating the rates of decline'' for SI 
Hector's dolphins. In other words, we do not consider disease and 
tourism to be the main drivers of decline of SI Hector's dolphins; 
rather, we consider them to be contributors to the cumulative, negative 
impacts on the status of the subspecies.
    Lastly, we disagree with the suggestion that we should explore the 
possibility of listing separate distinct population segments (DPS) of 
SI Hector's dolphins or consider how their individual statuses might 
contribute to a threatened listing for the subspecies. Section 3 of the 
ESA defines a ``species'' to include ``any subspecies of fish or 
wildlife or plants, and any distinct population segment of any species 
of vertebrate fish or wildlife which interbreeds when mature.'' A joint 
policy with the U.S. Fish and Wildlife Service (together the 
``Services'') lays out two elements that must be considered when 
identifying a DPS: (1) The discreteness of the population segment in 
relation to the remainder of the species (or subspecies); and (2) the 
significance of the population segment to the remainder of the species 
(or subspecies) (``the DPS Policy,'' 61 FR 4722, February 7, 1996). As 
stated in the DPS Policy, Congress expressed its expectation that the 
Services would exercise authority with regard to DPSs sparingly and 
only when the biological evidence indicates such action is warranted. 
In this particular case, because we reached a determination that the SI 
Hector's dolphin warrants listing at the subspecies level, such an 
analysis would be superfluous. In addition, because we were not 
petitioned to list the SI Hector's dolphins as separate DPSs, there is 
no requirement that we commit additional agency resources to conduct an 
analysis and determine whether SI Hector's dolphins could be listed 
separately at the DPS level. Furthermore, we note there is no clear 
conservation benefit to the subspecies by pursuing such an option.
    Comment 5: Several commenters stated that they were opposed to the 
elimination of swim-with-dolphin activities. One commenter stated that, 
although he is supportive of marine mammal conservation generally, 
swimming with wild dolphins should not be prohibited because it causes 
no harm to the dolphins.
    Response: This rulemaking concerns only whether Maui dolphins and 
SI Hector's dolphins meet the statutory definition of a threatened or 
endangered species and thus warrant listing under the ESA. Therefore, 
these comments are not relevant to this rulemaking. Furthermore, 
regulation of swimming with wild Hector's dolphins is under the 
exclusive jurisdiction of the government of New Zealand.
    We also note that, as discussed in our proposed rule and status 
review, several studies have demonstrated short-term behavioral changes 
in SI Hector's dolphins in response to dolphin-watching tour boats and 
`swim-with' activities (e.g., significant disruptions of diving and 
travelling), and that any longer-term impacts are not yet clear. The 
commenter provided no data or information to support the assertion that 
such activities pose ``no harm'' to SI Hector's dolphins.
    Comment 6: Over a dozen commenters requested that the United States 
or U.S. citizens stop buying New Zealand fish until both Maui and SI 
Hector's dolphins are protected throughout their ranges. Several 
comments specifically referenced the Fish and Fish Product Import 
Provisions of the Marine Mammal Protection Act and the associated 
regulatory requirements for countries wishing to export fish to the 
United States. One of these commenters stated that to meet these 
requirements New Zealand will have to implement effective measures to 
protect Maui and Hector's dolphins, including substantially improving 
its fisheries management systems.
    Response: This rulemaking concerns only whether Maui dolphins and 
SI Hector's dolphins meet the statutory definition of a threatened or 
endangered species and thus warrant listing under the ESA. Listing the 
Maui dolphin and the SI Hector's dolphin under the ESA will not 
directly result in a ban or prohibition on U.S. import of fish or fish 
products from fisheries contributing to incidental mortality or serious 
injury of Hector's dolphins. Such a ban cannot be established under the 
authority of the ESA. Specific protections that will be provided to 
Hector's dolphins following their listing under the ESA are discussed 
below in the Effects of Listing section.
    U.S. import of fish or fish products from a nation's fisheries with 
associated incidental mortality or serious injury of marine mammals may 
be subject to NMFS' recent regulation promulgated under the U.S. Marine 
Mammal Protection Act (81 FR 54390, August 15, 2016). This regulation 
established criteria and a formal process for evaluating foreign 
fisheries and their frequency of incidental mortality and serious 
injury of marine mammals. Additional information on this regulation and 
its implementation are available online at www.fisheries.noaa.gov/ia/slider_stories/2016/08/mmpafinalrule.html.
    Comment 7: Multiple commenters raised concerns about the impacts to 
Hector's dolphins from offshore oil and gas development and alternative 
energy projects. One commenter stated that there are concerns that 
current seismic mapping will scare away Hector's dolphins on the east 
coast of the South Island. Another commenter stated that we should 
further consider emerging threats, including the potential offshore 
expansion of renewable energy facilities. This commenter noted that 
while her organization is not opposed to renewable energy projects and 
that while relevant data are limited, the risks to Hector's dolphins 
stemming from pile driving noise, collisions with tidal turbines, 
increased marine traffic, vessel strikes, and habitat displacement 
should not be dismissed. The commenter provided several studies 
documenting the effects of wind farm construction and operation on 
harbor porpoises within the Baltic Sea.
    Response: We agree that seismic testing and other activities within 
the

[[Page 43707]]

marine environment associated with oil and gas exploration and 
development may be posing threats to Hector's dolphins. Our status 
review (Manning and Grantz 2017) provided some discussion about the 
possible impacts of these activities--for example, reductions in local 
fish abundance (Eng[aring]s et al., 1996), disruption of normal 
behaviors (Gordon et al., 2003; Thompson 2012), and habitat 
displacement (Hildebrand 2005). However, we also acknowledged that the 
extent to which Hector's dolphins are being negatively affected--both 
individually and at a population level--has not yet been established 
because there are insufficient data to evaluate impacts to Hector's 
dolphins specifically. Thus, we cannot draw any firm conclusions 
regarding the extent to which these activities are affecting Hector's 
dolphins. We note that the Marine Mammal Impact Assessments, which are 
prerequisite environmental assessments for conducting seismic testing 
within New Zealand's EEZ (http://www.doc.govt.nz/our-work/seismic-surveys-code-of-conduct/marine-mammal-impact-assessments/), typically 
conclude that impacts on marine mammals from seismic testing are 
``minor.''
    In response to the comment on marine renewable energy facilities 
and projects, we reviewed the literature submitted and conducted a 
search for additional information regarding these types of projects 
within New Zealand. According to the national energy efficiency 
strategy for 2017-2022, New Zealand has set a target of generating 90 
percent of its electricity from renewable sources by the year 2025 
(MBIE 2017). However, very little information is available regarding 
specific renewable marine energy projects or associated impacts in New 
Zealand. Tidal and wave energy development, in particular, appear to be 
at a very nascent stage. The Energy Efficiency and Conservation 
Authority (EECA) is New Zealand's government agency charged with 
promoting energy efficiency, including the use of renewable sources of 
energy. According to EECA's Web site, the agency provided funding to 
support six wave or tidal projects from 2007 to 2011 but none of those 
projects has proceeded past some initial stage. A tidal power project 
has been proposed for the main channel of Kaipara Harbor, which lies 
towards the northern edge of the Maui dolphin range; however, the 
status of that facility is unclear. Within the range of SI Hector's 
dolphins, as of 2011, two tidal energy projects were being pursued in 
Cook Strait, and research and development to support a wave energy 
project in Pegasus Bay was underway (Wright and Leary 2011). The 
current status of these projects is also unclear. The EECA Web site 
states that, given the relatively substantial expense of these 
projects, the agency does not foresee marine energy as a major energy 
contributor in New Zealand (see www.eeca.govt.nz). Wind energy appears 
to be a more promising renewable energy source in New Zealand, and 
according to the EECA, 19 wind farms are either operating or under 
construction. However, none of these wind farms are in the marine 
environment (see www.windenergy.org.nz). Therefore, at this time, there 
is insufficient information to evaluate whether renewable marine energy 
projects are currently posing a threat to Hector's dolphins, and there 
is no clear indication that renewable energy projects will pose a 
future threat to the dolphins or their habitat. We have revised our 
status review report to include a discussion of renewable energy 
development, but ultimately this information did not alter our 
extinction risk conclusions for either subspecies.

Summary of Changes From the Proposed Listing Rule

    We did not receive, nor did we find, data or references that 
presented substantial new information to change our proposed listing 
determinations. We did, however, make several revisions to the status 
review report (Manning and Grantz 2017) to incorporate, as appropriate, 
relevant information received in response to our request for public 
comments. Specifically, we updated the status review to include the 
more recently completed 2015-2016 abundance estimate for Maui dolphins 
and associated results (e.g., survival rates, Baker et al., 2016). 
Because this new abundance estimate still indicates a critically low 
population abundance of 63 dolphins 1 year of age and older (95 percent 
CI = 57-75; Baker et al., 2016) and is within the 95 percent confidence 
interval of the previous estimate (N = 55, 95 percent CI = 48-69), it 
did not alter the outcome of our risk assessment. We expanded our 
discussion of population structure within the SI Hector's dolphin to 
include the additional references provided by a commenter and made 
minor edits to clarify our discussion on the rate of decline for this 
subspecies. We also revised the status review report by adding a 
discussion of the potential threat of marine alternative energy 
projects to both Hector's and Maui dolphins. As noted above, 
consideration of this additional, potential threat did not alter any 
conclusions regarding extinction risk for either subspecies. Lastly, we 
updated the spelling of the common name for C. hectori maui to Maui in 
response to a peer reviewer's comment that this spelling more 
appropriately reflects the Maori language from which the name was 
derived.

Status Review

    Status reviews for the Maui dolphin and the SI Hector's dolphin 
were completed by NMFS staff from the Office of Protected Resources. To 
complete the status reviews, we compiled the best available data and 
information on the subspecies' biology, ecology, life history, threats, 
and conservation status by examining the petition and cited references 
and by conducting a comprehensive literature search and review. We also 
considered information submitted to us in response to our petition 
finding. The status review report provides a thorough discussion of the 
life history, threats, demographic risks, and overall extinction risk 
for both dolphin subspecies. The status review was subjected to peer 
review by three, independent reviewers. All peer reviewer comments are 
available at http://www.cio.noaa.gov/services_programs/prplans/ID351.html. The final status review report (cited as Manning and Grantz 
2017) is available on our Web site http://www.nmfs.noaa.gov/pr/species/petition81.htm.

ESA Section 4(a)(1) Factors Affecting the Dolphins

    As stated previously and as discussed in the proposed rule (81 FR 
64110; September 19, 2016), we considered whether any one or a 
combination of the five threat factors specified in section 4(a)(1) of 
the ESA are contributing to the extinction risk of the Maui and SI 
Hector's dolphins. Several commenters provided additional information 
related to threats such as forms of habitat modification and 
degradation, under-reporting of bycatch, and the projected population 
decline of SI Hector's dolphins. The information provided was 
consistent with or reinforced information in the status review report 
and proposed rule, and thus, did not change our conclusions regarding 
any of the section 4(a)(1) factors or their interactions. Therefore, we 
incorporate herein all information, discussion, and conclusions 
regarding the factors affecting the two dolphin subspecies from the 
final status review report (Manning and Grantz 2017) and the

[[Page 43708]]

proposed rule (81 FR 64110; September 19, 2016).

Extinction Risk

    As discussed previously, the status review evaluated the 
demographic risks to both dolphin subspecies according to four 
categories--abundance and trends, population growth/productivity, 
spatial structure/connectivity, and genetic diversity. As a concluding 
step, after considering all of the available information regarding 
demographic and other threats to the subspecies, we rated each 
subspecies' extinction risk according to a qualitative scale (high, 
moderate, and low risk). Although we did update our status review to 
incorporate the most recent abundance estimate for Maui dolphins and 
information from two additional studies regarding population 
fragmentation within SI Hector's dolphins, none of the comments or 
information we received on the proposed rule changed the outcome of our 
extinction risk evaluations for either subspecies. Our conclusions 
regarding extinction risk for these subspecies remain the same. 
Therefore, we incorporate herein all information, discussion, and 
conclusions on the extinction risk of the two dolphin subspecies in the 
final status review report (Manning and Grantz 2017) and proposed rule 
(81 FR 64110; September 19, 2016).

Protective Efforts

    In addition to regulatory measures (e.g., fishing and boating 
regulations, sanctuary designations), we considered other efforts being 
made to protect Hector's dolphins. We considered whether such 
protective efforts altered the conclusions of the extinction risk 
analysis for Maui and SI Hector's dolphins. None of the information we 
received on the proposed rule affected our conclusions regarding 
conservation efforts to protect the two dolphin subspecies. Therefore, 
we incorporate herein all information, discussion, and conclusions on 
the extinction risk of the two dolphin subspecies in the final status 
review report (Manning and Grantz 2017) and proposed rule (81 FR 64110; 
September 19, 2016).

Final Listing Determinations

    The present estimated abundance of Maui dolphins is critically low, 
and the subspecies faces additional demographic risks due to greatly 
reduced genetic diversity and a low intrinsic population growth rate. 
Past declines, estimated to be on the order of about 90 percent 
(Martien et al., 1999, Slooten 2007a), are considered to have been 
driven largely by bycatch in gillnets (Currey et al., 2012). Maui 
dolphins continue to face threats of bycatch, disease, and mining and 
seismic disturbances; and, it is considered unlikely that this 
subspecies will recover unless sources of anthropogenic mortality are 
eliminated (Slooten et al., 2006; MFish and DOC 2007b, Baker et al., 
2010). Based on the best available scientific and commercial 
information, as summarized here, in our proposed rule (81 FR 64110; 
September 19, 2016), and in the status review report (Manning and 
Grantz 2017), and after consideration of protective efforts, we find 
that the Maui dolphin (Cephalorhynchus hectori maui) is in danger of 
extinction throughout its range. Therefore, we find that this 
subspecies meets the definition of an endangered species under the ESA 
and list it as such.
    The SI Hector's dolphin has experienced substantial population 
declines since the 1970s, has relatively low genetic diversity, a low 
intrinsic population growth rate, and a fragmented population 
structure. Although historical data are lacking, Slooten (2007a) 
estimated that the SI Hector's dolphin population has declined by about 
73 percent between 1970 and 2007, and available population viability 
analyses indicate that the SI Hector's dolphin is likely to continue to 
decline unless bycatch mortality is reduced (Davies et al., 2008, 
Slooten and Davies 2012, Slooten 2013). Gormley et al. (2012) estimated 
that the Banks Peninsula population, which has benefited from almost 
three decades of protection, would continue to decline at a rate of 
about 0.5 percent per year despite significantly improved survival 
rates. The actual rate of decline of the subspecies remains unclear 
given the very limited bycatch mortality data available, and a trend 
analysis based on survey data is also confounded by the fact that 
surveys have covered different portions of the range and have 
dramatically increased in sophistication and geographical scope over 
time. Thus, a precise analysis of the rate of decline and projection of 
time to extinction given multiple threats and demographic 
considerations is not currently possible. However, the available 
evidence indicates that management measures have not halted population 
declines and supports a conclusion that populations of SI Hector's 
dolphins will continue to decline.
    Current levels of bycatch are contributing to the decline of this 
subspecies (Slooten and Davies 2012). Additional, lesser threats, such 
as disease and tourism impacts, are likely exacerbating the rate of 
decline and thereby contributing to the overall extinction risk of this 
subspecies. Given recent abundance estimates for the total population 
and evidence of a slowed rate of decline following expanded fisheries 
management measures, we find that this subspecies is not presently in 
danger of extinction. However, significant historical declines and the 
projected decline for most populations, combined with a low population 
growth rate, low genetic diversity, limited population connectivity, 
and the ongoing threats of bycatch, disease, and tourism, provide a 
strong indication that this subspecies is likely to become an 
endangered species within the foreseeable future. We therefore find 
that this subspecies meets the definition of threatened under the ESA 
and list it as such.

Effects of Listing

    Conservation measures provided for species listed as endangered or 
threatened under the ESA include the development and implementation of 
recovery plans (16 U.S.C. 1533(f)); designation of critical habitat, if 
prudent and determinable (16 U.S.C. 1533(a)(3)(A)); and a requirement 
that Federal agencies consult with NMFS under section 7 of the ESA to 
ensure their actions are not likely to jeopardize the species or result 
in adverse modification or destruction of designated critical habitat 
(16 U.S.C. 1536). For endangered species, protections also include 
prohibitions related to ``take'' and trade (16 U.S.C. 1538). Take is 
defined as ``to harass, harm, pursue, hunt, shoot, wound, kill, trap, 
capture, or collect, or to attempt to engage in any such conduct'' (16 
U.S.C. 1532(19)). These prohibitions do not apply to species listed as 
threatened unless protective regulations are issued under section 4(d) 
of the ESA (16 U.S.C. 1533(d)), leaving it to the Secretary's 
discretion whether, and to what extent, to extend the ESA's 
prohibitions to the species. Section 4(d) protective regulations may 
prohibit, with respect to threatened species, some or all of the acts 
which section 9(a) of the ESA prohibits with respect to endangered 
species.
    Recognition of the species' imperiled status through listing may 
also promote conservation actions by Federal and state agencies, 
foreign entities, private groups, and individuals.

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

    On July 1, 1994, NMFS and the U.S. Fish and Wildlife Service 
(USFWS) published a policy (59 FR 34272) that requires us to identify, 
to the maximum

[[Page 43709]]

extent practicable at the time a species is listed, those activities 
that would or would not constitute a violation of section 9 of the ESA. 
The intent of this policy is to increase public awareness of the 
potential effects of species listings on proposed and ongoing 
activities.
    Because we are listing the Maui dolphin as endangered, all of the 
prohibitions of section 9(a)(1) of the ESA will apply to this 
subspecies. Section 9(a)(1) includes prohibitions against the import, 
export, use in foreign commerce, and ``take'' of the listed species. 
These prohibitions apply to all persons subject to the jurisdiction of 
the United States, including in the United States, its territorial sea, 
or on the high seas. Activities that could result in a violation of 
section 9 prohibitions for Maui dolphins include, but are not limited 
to, the following:
    (1) Delivering, receiving, carrying, transporting, or shipping in 
interstate or foreign commerce any Maui dolphin or any of its parts, in 
the course of a commercial activity;
    (2) Selling or offering for sale in interstate commerce any part, 
except antique articles at least 100 years old; and
    (3) Importing or exporting Maui dolphins or any parts of these 
dolphins.
    Whether a violation results from a particular activity is entirely 
dependent upon the facts and circumstances of each incident. Further, 
an activity not listed here may in fact constitute a violation.

Identification of Those Activities That Would Not Likely Constitute a 
Violation of Section 9 of the ESA

    Although the determination of whether any given activity 
constitutes a violation is fact dependent, we consider the following 
actions, depending on the circumstances, as being unlikely to violate 
the prohibitions in ESA section 9 with regard to Maui dolphins: (1) 
Take authorized by, and carried out in accordance with the terms and 
conditions of, an ESA section 10(a)(1)(A) permit issued by NMFS for 
purposes of scientific research or the enhancement of the propagation 
or survival of the species; and (2) continued possession of Maui 
dolphins or any parts that were in possession at the time of listing. 
Such parts may be non-commercially exported or imported; however, the 
importer or exporter must be able to provide evidence to show that the 
parts meet the criteria of ESA section 9(b)(1) (i.e., held in a 
controlled environment at the time of listing, in a non-commercial 
activity).
    Section 11(f) of the ESA gives NMFS the authority to promulgate 
regulations that may be appropriate to enforce the ESA. Thus, we could 
promulgate future regulations to regulate trade or holding of Maui 
dolphins. However, we do not foresee a necessity for such regulations 
at this time.

Protective Regulations Under Section 4(d) of the ESA

    Because we are listing the SI Hector's dolphins as threatened, the 
prohibitions under section 9 of the ESA will not automatically apply to 
this subspecies. As stated above, ESA section 4(d) leaves it to the 
Secretary's discretion whether, and to what extent, to extend the 
section 9(a) prohibitions to threatened species, and authorizes us to 
issue regulations that are deemed necessary and advisable to provide 
for the conservation of the species. Because SI Hector's dolphins occur 
entirely outside of the United States, and are not commercially traded 
with the United States, extending the section 9(a) prohibitions to this 
subspecies will not result in added conservation benefits or species 
protection, particularly given the fact that such trade is already 
generally prohibited under the Marine Mammal Protection Act (16 U.S.C. 
1372). Therefore, we do not intend to issue section 4(d) regulations 
for SI Hector's dolphins at this time.

Section 7 Consultation Requirements

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

Critical Habitat

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

Peer Review

    In December 2004, the Office of Management and Budget (OMB) issued 
a Final Information Quality Bulletin for Peer Review establishing a 
minimum peer review standard. We solicited peer review comments on the 
draft status review report from three scientists with expertise on 
Hector's dolphins. We received and reviewed comments from these 
scientists, and, prior to publication of the proposed rule, their 
comments were incorporated into the draft status review report (Manning 
and Grantz 2016), which was then made available for public comment. As 
stated earlier, peer reviewer comments on the status review are 
available at http://www.cio.noaa.gov/services_programs/prplans/ID351.html.

References

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

Classification

National Environmental Policy Act

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

Executive Order 12866, Regulatory Flexibility Act

    As noted in the Conference Report on the 1982 amendments to the 
ESA, economic impacts cannot be considered when assessing the status of 
a species. Therefore, the economic analysis requirements of the 
Regulatory

[[Page 43710]]

Flexibility Act are not applicable to the listing process.
    In addition, this rule is exempt from review under Executive Order 
12866.

Paperwork Reduction Act

    This final rule does not contain a collection-of-information 
requirement for the purposes of the Paperwork Reduction Act.

Executive Order 13132, Federalism

    In accordance with E.O. 13132, we determined that this final rule 
does not have significant federalism effects and that a federalism 
assessment is not required.

List of Subjects

50 CFR Part 223

    Endangered and threatened species, Exports, Transportation.

50 CFR Part 224

    Endangered and threatened species, Exports, Imports, 
Transportation.

    Dated: September 14, 2017.
Samuel D. Rauch, III,
Deputy Assistant Administrator for Regulatory Programs, National Marine 
Fisheries Service.

    For the reasons set out in the preamble, 50 CFR parts 223 and 224 
are amended as follows:

PART 223--THREATENED MARINE AND ANADROMOUS SPECIES

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

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


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


Sec.  223.102  Enumeration of threatened marine and anadromous species.

* * * * *
    (e) * * *

----------------------------------------------------------------------------------------------------------------
                          Species \1\
---------------------------------------------------------------  Citation(s) for     Critical
                                                Description of       listing          habitat        ESA rules
         Common name          Scientific name   listed entity   determination(s)
----------------------------------------------------------------------------------------------------------------
                                                 Marine Mammals
----------------------------------------------------------------------------------------------------------------
Dolphin, Hector's...........  Cephalorhynchus  Entire           [Insert Federal               NA              NA
                               hectori          subspecies.      Register page
                               hectori.                          where the
                                                                 document
                                                                 begins],
                                                                 September 19,
                                                                 2017.
 
                                                 * * * * * * *
----------------------------------------------------------------------------------------------------------------
\1\ Species includes taxonomic species, subspecies, distinct population segments (DPSs) (for a policy statement,
  see 61 FR 4722, February 7, 1996), and evolutionarily significant units (ESUs) (for a policy statement, see 56
  FR 58612, November 20, 1991).

* * * * *

PART 224--ENDANGERED MARINE AND ANADROMOUS SPECIES

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

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

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


Sec.  224.101  Enumeration of endangered marine and anadromous species.

* * * * *
    (h) * * *

----------------------------------------------------------------------------------------------------------------
                          Species \1\
---------------------------------------------------------------  Citation(s) for     Critical
                                                Description of       listing          habitat        ESA rules
         Common name          Scientific name   listed entity   determination(s)
----------------------------------------------------------------------------------------------------------------
                                                 Marine Mammals
----------------------------------------------------------------------------------------------------------------
 
                                                  * * * * * * *
Dolphin, Maui...............  Cephalorhynchus  Entire           [Insert Federal               NA              NA
                               hectori maui.    subspecies.      Register page
                                                                 where the
                                                                 document
                                                                 begins],
                                                                 September 19,
                                                                 2017.
 
                                                  * * * * * * *
----------------------------------------------------------------------------------------------------------------
\1\ Species includes taxonomic species, subspecies, distinct population segments (DPSs) (for a policy statement,
  see 61 FR 4722, February 7, 1996), and evolutionarily significant units (ESUs) (for a policy statement, see 56
  FR 58612, November 20, 1991).

* * * * *
[FR Doc. 2017-19903 Filed 9-18-17; 8:45 am]
 BILLING CODE 3510-22-P



                                                                   Federal Register / Vol. 82, No. 180 / Tuesday, September 19, 2017 / Rules and Regulations                                                  43701

                                                     The Congressional Review Act, 5                      reconsideration by the Administrator of                    Dated: September 7, 2017.
                                                  U.S.C. 801 et seq., as added by the Small               this final rule does not affect the finality             Deborah A. Szaro,
                                                  Business Regulatory Enforcement                         of this action for the purposes of judicial              Acting Regional Administrator, EPA New
                                                  Fairness Act of 1996, generally provides                review nor does it extend the time                       England.
                                                  that before a rule may take effect, the                 within which a petition for judicial                       Part 52 of chapter I, title 40 of the
                                                  agency promulgating the rule must                       review may be filed, and shall not                       Code of Federal Regulations is amended
                                                  submit a rule report, which includes a                  postpone the effectiveness of such rule                  as follows:
                                                  copy of the rule, to each House of the                  or action. This action may not be
                                                  Congress and to the Comptroller General                 challenged later in proceedings to                       PART 52—APPROVAL AND
                                                  of the United States. EPA will submit a                                                                          PROMULGATION OF
                                                                                                          enforce its requirements. (See section
                                                  report containing this action and other                                                                          IMPLEMENTATION PLANS
                                                                                                          307(b)(2)).
                                                  required information to the U.S. Senate,
                                                  the U.S. House of Representatives, and                  List of Subjects in 40 CFR Part 52                       ■ 1. The authority citation for part 52
                                                  the Comptroller General of the United                                                                            continues to read as follows:
                                                  States prior to publication of the rule in                Environmental protection, Air
                                                                                                                                                                       Authority: 42 U.S.C. 7401 et seq.
                                                  the Federal Register. A major rule                      pollution control, Carbon monoxide,
                                                  cannot take effect until 60 days after it               Incorporation by reference,                              Subpart U—Maine
                                                  is published in the Federal Register.                   Intergovernmental relations, Lead,
                                                  This action is not a ‘‘major rule’’ as                  Nitrogen dioxide, Ozone, Particulate                     ■  2. In § 52.1020, the table in paragraph
                                                  defined by 5 U.S.C. 804(2).                             matter, Regional haze, Reporting and                     (e) is amended by adding the entry
                                                     Under section 307(b)(1) of the Clean                 recordkeeping requirements, Sulfur                       ‘‘Regional Haze 5-Year Progress Report’’
                                                  Air Act, petitions for judicial review of               oxides, Volatile organic compounds.                      at the end of the table to read as follows:
                                                  this action must be filed in the United
                                                  States Court of Appeals for the                                                                                  § 52.1020        Identification of plan.
                                                  appropriate circuit by November 20,                                                                              *       *    *        *     *
                                                  2017. Filing a petition for                                                                                          (e) * * *

                                                                                                                       MAINE NON REGULATORY
                                                                                                  Applicable                State
                                                       Name of non regulatory SIP               geographic or             submittal                  EPA approved date 3                     Explanations
                                                               provision                        nonattainment           date/effective
                                                                                                    area                    date


                                                           *                  *                            *                       *                          *                     *                   *
                                                  Regional Haze 5-Year Progress Re-           Statewide ............        2/23/2016      9/19/2017, [insert Federal Reg-        Progress report for the first re-
                                                    port.                                                                                    ister citation].                       gional haze planning period
                                                                                                                                                                                    ending in 2018.
                                                    3 In order to determine the EPA effective date for a specific provision listed in this table, consult the Federal Register notice cited in this col-
                                                  umn for the particular provision.


                                                  [FR Doc. 2017–19817 Filed 9–18–17; 8:45 am]             (Cephalorhynchus hectori maui) as                        FOR FURTHER INFORMATION CONTACT:  Lisa
                                                  BILLING CODE 6560–50–P                                  endangered and the South Island (SI)                     Manning, NMFS, Office of Protected
                                                                                                          Hector’s dolphin (C. hectori hectori) as                 Resources, lisa.manning@noaa.gov,
                                                                                                          threatened under the Endangered                          (301) 427–8466.
                                                  DEPARTMENT OF COMMERCE                                  Species Act (ESA). We considered                         SUPPLEMENTARY INFORMATION:
                                                                                                          comments submitted on the proposed
                                                  National Oceanic and Atmospheric                                                                                 Background
                                                                                                          listing rule and have determined that
                                                  Administration                                          the Maui dolphin and the SI Hector’s                        On July 15, 2013, we received a
                                                                                                          dolphin warrant listing as endangered                    petition from WildEarth Guardians to
                                                  50 CFR Parts 223 and 224                                and threatened species, respectively. We                 list 81 marine species or populations as
                                                  [Docket No. 160614520–7805–02]                          will not designate critical habitat for                  endangered or threatened species under
                                                                                                          either of these dolphin subspecies,                      the ESA. We determined that the
                                                  RIN 0648–XE686                                                                                                   petition had sufficient merit for further
                                                                                                          because the geographical areas occupied
                                                                                                                                                                   consideration, and status reviews were
                                                  Endangered and Threatened Wildlife                      by these dolphins are entirely outside
                                                                                                                                                                   initiated for 27 of the 81 species or
                                                  and Plants: Final Rule To List the Maui                 U.S. jurisdiction, and we have not
                                                                                                                                                                   populations, including the Hector’s
                                                  Dolphin as Endangered and the South                     identified any unoccupied areas within                   dolphin (Cephalorhynchus hectori; 78
                                                  Island Hector’s Dolphin as Threatened                   U.S. jurisdiction that are currently                     FR 63941, October 25, 2013; 78 FR
                                                  Under the Endangered Species Act                        essential to the conservation of either of               66675, November 6, 2013; 78 FR 69376,
asabaliauskas on DSKBBXCHB2PROD with RULES




                                                                                                          these subspecies.                                        November 19, 2013; 79 FR 9880,
                                                  AGENCY:  National Marine Fisheries
                                                  Service (NMFS), National Oceanic and                    DATES:This final rule is effective                       February 21, 2014; and 79 FR 10104,
                                                  Atmospheric Administration (NOAA),                      October 19, 2017.                                        February 24, 2014). On September 19,
                                                  Commerce.                                                                                                        2016, we published a proposed rule to
                                                                                                          ADDRESSES:  Endangered Species                           list the Maui dolphin (Cephalorhynchus
                                                  ACTION: Final rule.
                                                                                                          Division, NMFS Office of Protected                       hectori maui) as endangered and the SI
                                                  SUMMARY:    We, NMFS, issue a final rule                Resources (F/PR3), 1315 East West                        Hector’s dolphin (C. hectori hectori) as
                                                  to list the Maui dolphin                                Highway, Silver Spring, MD 20910.                        threatened (81 FR 64110). We requested


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                                                  43702            Federal Register / Vol. 82, No. 180 / Tuesday, September 19, 2017 / Rules and Regulations

                                                  public comments on the information in                   relied upon. The foreseeable future                   particular factor, synergies among
                                                  the proposed rule and the associated                    considers the life history of the species,            contributing factors, and the cumulative
                                                  status review during a 60-day public                    habitat characteristics, availability of              impact of all demographic risks and
                                                  comment period, which closed on                         data, particular threats, ability to predict          threats on each subspecies.
                                                  November 18, 2016. This final rule                      threats, and the reliability to forecast the            Section 4(b)(1)(A) of the ESA requires
                                                  provides a discussion of the public                     effects of these threats and future events            the Secretary, when making a listing
                                                  comments received in response to the                    on the status of the species under                    determination for a species, to take into
                                                  proposed rule and our final                             consideration. Because a species may be               consideration those efforts, if any, being
                                                  determinations on the petition to list the              susceptible to a variety of threats for               made by any State or foreign nation, or
                                                  Maui dolphin and the SI Hector’s                        which different data are available                    any political subdivision of a State or
                                                  dolphin under the ESA. The findings                     regarding the species’ response to that               foreign nation, to protect the species.
                                                  and relevant Federal Register notices                   threat, or which operate across different             Therefore, prior to making a listing
                                                  for the other species and populations                   time scales, the foreseeable future is not            determination, we also assess such
                                                  addressed in the petition can be found                  necessarily reducible to a particular                 protective efforts to determine if they
                                                  on our Web site at www.nmfs.noaa.gov/                   number of years.                                      are adequate to mitigate the existing
                                                  pr/species/petition81.htm.                                 Section 4(a)(1) of the ESA requires us             threats.
                                                                                                          to determine whether any species is
                                                  Listing Determinations Under the ESA                    endangered or threatened due to any                   Summary of Comments
                                                     We are responsible for determining                   one or a combination of the following                    In response to our request for
                                                  whether species meet the definition of                  five threat factors: The present or                   comments on the proposed rule, we
                                                  threatened or endangered under the                      threatened destruction, modification, or              received 75 comments. The comments
                                                  ESA (16 U.S.C. 1531 et seq.). To make                   curtailment of its habitat or range;                  were submitted by multiple
                                                  this determination, we first consider                   overutilization for commercial,                       organizations and individual members
                                                  whether a group of organisms                            recreational, scientific, or educational              of the public from a minimum of seven
                                                  constitutes a ‘‘species’’ under the ESA,                purposes; disease or predation; the                   countries (Australia, Bahamas, Canada,
                                                  then whether the status of the species                  inadequacy of existing regulatory                     England, Ireland, New Zealand, and the
                                                  qualifies it for listing as either                      mechanisms; or other natural or                       United States). All of the comments
                                                  threatened or endangered. Section 3 of                  manmade factors affecting its continued               were supportive of the proposed
                                                  the ESA defines a ‘‘species’’ to include                existence. We are also required to make               endangered listing for the Maui dolphin.
                                                  any subspecies of fish or wildlife or                   listing determinations based solely on                Several commenters suggested listing
                                                  plants, and any distinct population                     the best scientific and commercial data               the SI Hector’s dolphin as endangered,
                                                  segment of any species of vertebrate fish               available, after conducting a review of               and one comment was opposed to the
                                                  or wildlife which interbreeds when                      the species’ status and after taking into
                                                  mature. The Maui dolphin, C. hectori                                                                          proposed threatened listing for the SI
                                                                                                          account efforts being made by any state
                                                  maui, and the SI Hector’s dolphin, C.                                                                         Hector’s dolphin. Summaries of
                                                                                                          or foreign nation to protect the species.
                                                  hectori hectori, are formally recognized                                                                      comments received regarding the
                                                                                                             In assessing the extinction risk of
                                                  subspecies (Baker et al., 2002, Pichler                 these two subspecies, we considered                   proposed rule and our responses are
                                                  2002) and thus meet the ESA definition                  demographic risk factors, such as those               provided below.
                                                  of a ‘‘species.’’                                       developed by McElhany et al. (2000), to                  Comment 1: A large majority of the
                                                     Section 3 of the ESA defines an                      organize and evaluate the forms of risks.             comments were general statements
                                                  endangered species as ‘‘any species                     The approach of considering                           expressing support for listing Maui
                                                  which is in danger of extinction                        demographic risk factors to help frame                dolphins as endangered and SI Hector’s
                                                  throughout all or a significant portion of              the consideration of extinction risk has              dolphins as threatened under the ESA.
                                                  its range’’ and a threatened species as                 been used in many of our previous                     Most of these comments were not
                                                  one ‘‘which is likely to become an                      status reviews (see http://www.nmfs.                  accompanied by information or
                                                  endangered species within the                           noaa.gov/pr/species for links to these                references. Some of the comments were
                                                  foreseeable future throughout all or a                  reviews). In this approach, the collective            accompanied by information that is
                                                  significant portion of its range.’’ We                  condition of individual populations is                consistent with, or cited directly from,
                                                  interpret an ‘‘endangered species’’ to be               considered at the species level (or in                our proposed rule or draft status review
                                                  one that is presently in danger of                      this case, the subspecies level)                      report. Several of the comments
                                                  extinction. A ‘‘threatened species,’’ on                according to four demographic viability               included pointed statements regarding
                                                  the other hand, is not presently in                     factors: abundance and trends,                        the inadequacy of current management
                                                  danger of extinction, but is likely to                  population growth rate or productivity,               efforts to reduce bycatch of Hector’s
                                                  become so in the foreseeable future (that               spatial structure and connectivity, and               dolphins. Several other comments were
                                                  is, at a later time). In other words, the               genetic diversity. These viability factors            associated with a ‘‘Let’s Face It’’
                                                  primary statutory difference between a                  reflect concepts that are well-founded in             campaign to protect Maui dolphins, and
                                                  threatened species and endangered                       conservation biology and that                         in one case, a commenter provided a
                                                  species is the timing of when a species                 individually and collectively provide                 link to an online, visual petition from
                                                  may be in danger of extinction, either                  strong indicators of extinction risk.                 ‘‘Let’s Face it’’ consisting of photos of
                                                  presently (endangered) or in the                           Scientific conclusions about the                   the over 9,400 people who participated
                                                  foreseeable future (threatened).                        overall risk of extinction faced by the               in the campaign. The Marine Mammal
asabaliauskas on DSKBBXCHB2PROD with RULES




                                                     When we consider whether a species                   Maui dolphin and the SI Hector’s                      Commission in particular concurred
                                                  might qualify as threatened under the                   dolphin under present conditions and                  with our proposed endangered listing of
                                                  ESA, we must consider the meaning of                    in the foreseeable future are based on                Maui dolphins, and recommended we
                                                  the term ‘‘foreseeable future.’’ It is                  our evaluation of the subspecies’                     proceed with a final rule listing them as
                                                  appropriate to interpret ‘‘foreseeable                  demographic risks and section 4(a)(1)                 such under the ESA.
                                                  future’’ as the horizon over which                      threat factors. Our assessment of overall                Response: We acknowledge all of
                                                  predictions about the conservation                      extinction risk considered the                        these comments and the considerable
                                                  status of the species can be reasonably                 likelihood and contribution of each                   public interest expressed in support of


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                                                                   Federal Register / Vol. 82, No. 180 / Tuesday, September 19, 2017 / Rules and Regulations                                      43703

                                                  the conservation of the SI Hector’s and                 offshore distribution of dolphins on the              Mackenzie and Clement 2016). These
                                                  Maui dolphins.                                          east coast of the South Island.                       surveys extended farther offshore than
                                                     Comment 2: Two scientists from the                      Response: We thoroughly reviewed                   the previous island surveys (up to 20
                                                  University of Otago, New Zealand,                       and considered the analyses and                       nautical miles offshore versus 4 to 10
                                                  submitted an unpublished report                         information presented in this report.                 nautical miles), a factor that, to some
                                                  (referred to here as Slooten and Dawson                    In response to the information                     extent, contributed to the larger
                                                  2016) presenting population viability                   provided in this comment, we updated                  abundance estimate relative to the
                                                  analyses (PVAs), estimates of Potential                 our status review report (Manning and                 previous estimate. Interestingly, despite
                                                  Biological Removal (PBR), and projected                 Grantz 2017) to include the recent                    the much larger population abundance
                                                  population trends for Maui and SI                       abundance estimate for Maui dolphins                  estimate for this subspecies, the results
                                                  Hector’s dolphins. The report updates                   from Baker et al. (2016), who reported                of the updated analyses for the SI
                                                  previously published analyses (e.g.,                    an abundance estimate of 63 dolphins 1                Hector’s dolphin provided by the
                                                  Slooten 2007a; Slooten and Dawson                       year of age and older (95 percent CI: 57–             commenters do not suggest a
                                                  2010) by incorporating the recent                       75). This new abundance estimate is                   substantially different outlook for the
                                                  abundance estimates reported by Baker                   based on a long-term genetic mark-                    subspecies.
                                                  et al. (2016) for Maui dolphins and by                  recapture study and is within the 95                     The commenters provide updated
                                                  Mackenzie and Clement (2014, 2016) for                  percent CI of the previous estimate                   PBR estimates for SI Hector’s dolphins
                                                  SI Hector’s dolphins. These updated                     resulting from this work (i.e., 55                    by region. Unfortunately, however, the
                                                  analyses were conducted to explore how                  dolphins 1 year of age and older (95                  east coast of the South Island is the only
                                                  the new abundance estimates affect                      percent CI: 48–69), Hamner et al.,                    region for which bycatch estimates are
                                                  previous conclusions about risk and                     2014b). Estimates of the rate of                      available following implementation of
                                                  population viability. The report also                   population decline provided by the                    management measures in 2008, making
                                                  reviews the available data on fishery-                  commenters are consistent with those                  comparisons of bycatch levels to PBR
                                                  observer coverage and available bycatch                 provided recently by Baker et al. (2016):             estimates for other regions difficult. The
                                                  data by location, year, and gear type                   Both sources indicate an annual rate of               updated PBR estimates for the east coast
                                                  (gillnet, trawl, or craypot). The report                decline of about 2 percent with a high                population presented by the
                                                  discusses several limitations of the                    degree of uncertainty. The updated PBR                commenters (3–15 dolphins per year)
                                                  available bycatch data and asserts the                  estimates reported by the commenters                  are higher than those published
                                                  data provide an under-estimate of the                   (i.e., 0.05 (or one dolphin every 20                  previously by the commenters (0.57–
                                                  actual level of bycatch mortality.                      years) to 0.12 (or one dolphin every 8.3              1.28, Slooten and Dawson 2008b);
                                                     The commenters’ updated PBR (using                   years)) are also similar to those reported            however, they are still largely below the
                                                  a recovery factor of 0.1) for Maui                      previously using older abundance                      level of bycatch estimated for the east
                                                  dolphins ranges from 0.05 to 0.12,                      estimates—e.g., 0.16 (Slooten et al.,                 coast using commercial gillnetting
                                                  depending on the assumed per capita                     2006a), 0.044–0.10 (Wade et al., 2012).               observer data (23 dolphins, min-max
                                                  growth rate (Rmax). Their estimated rate                   Overall, while the commenters’ report              range of 4—48, Slooten and Davies
                                                  of population decline is 2 percent per                  does provide updated analyses, the                    2012). This information suggests that
                                                  year, with a 95 percent confidence                      results presented and the more recent                 bycatch in commercial gillnets alone
                                                  interval (CI) that ranges from a 1.6                    population abundance estimate for Maui                may be occurring at an unsustainable
                                                  percent decline to a 4.8 percent increase               dolphins do not change the outlook for                rate in this region.
                                                  per year, which the commenters note                     this subspecies. The subspecies is at a                  The results of the updated PVAs
                                                  indicates a high level of uncertainty                   critically low abundance, is still                    provided by the commenters for the SI
                                                  regarding the population trend. The                     considered to have a very low threshold               Hector’s dolphins suggest that a large
                                                  commenters present a Bayesian linear                    for human-caused mortality (i.e., PBR is              historical decline in abundance
                                                  regression analysis that indicates there                still well below 1.0), and is likely to               occurred since the 1970’s, similar to the
                                                  is a 68 percent probability that the Maui               undergo continued decline. Therefore,                 finding of previous analyses (e.g.,
                                                  dolphin population is continuing to                     we find that the new abundance                        Slooten 2007a, Slooten and Dawson
                                                  decline, and their power analysis                       estimate and revised analyses support,                2010). The updated PVA also predicts
                                                  indicates that the ability (statistical                 and do not alter, our previous                        continued decline by about 44 percent
                                                  power) to detect population trends in                   conclusion that the Maui dolphin meets                by the year 2050 given current fishing
                                                  continued population surveys for Maui                   the definition of endangered under the                effort, estimated bycatch, and current
                                                  dolphins is very low.                                   ESA.                                                  management measures. It is not clear,
                                                     The updated PBR estimate provided                       As explained by the commenters,                    however, what bycatch estimates were
                                                  by the commenters for the SI Hector’s                   previous estimates of PBR and                         applied in this analysis; and, as noted
                                                  dolphin ranges from 3 to 24 dolphins                    population viability analyses for the SI              by the commenters, there is
                                                  per year, depending on the value of                     Hector’s dolphins relied on earlier,                  considerable uncertainty regarding the
                                                  Rmax and the offshore range of the                      lower abundance estimates; whereas,                   level of bycatch across the range of the
                                                  dolphins applied. Results of the                        the analyses prepared by the                          subspecies. This and previous analyses
                                                  updated PVA suggest that the                            commenters use the latest abundance                   have relied on very limited bycatch
                                                  abundance of SI Hector’s dolphins has                   estimate of 14,849 SI Hector’s dolphins               estimates, which are only available for
                                                  declined by 70 percent over the last                    (95% CI = 11,923–18,492, Mackenzie                    a small number of regions and years and
                                                  three generations (39 years), and that the              and Clement 2014, 2016). As discussed                 only for commercial gillnet fisheries.
asabaliauskas on DSKBBXCHB2PROD with RULES




                                                  subspecies will continue to decline to                  in more detail in the status review                   These shortcomings have been noted
                                                  8,283 dolphins (95 percent CI: 4,925–                   report (Manning and Gantz 2017), this                 previously and cannot be remedied
                                                  13,931) by the year 2050. The                           most recent abundance estimate for the                until sufficient, reliable bycatch data
                                                  commenters conclude that the new,                       SI Hector’s dolphin is based on a series              become available.
                                                  higher abundance estimate for the SI                    of aerial, line-transect surveys that were               Overall, the results of the analyses
                                                  Hector’s dolphins is more than offset by                conducted around the South Island                     presented by the commenters are
                                                  the increased degree of overlap between                 during 2010–2015 (Clement et al., 2011,               consistent with our previous
                                                  fishing activities and the more extensive               Mackenzie and Clement 2014,                           conclusions that the SI Hector’s dolphin


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                                                  43704            Federal Register / Vol. 82, No. 180 / Tuesday, September 19, 2017 / Rules and Regulations

                                                  has experienced large historical declines               SCSI, Hamner et al., 2012a). Two                      our conclusion that the SI Hector’s
                                                  in abundance, is likely experiencing                    references cited by the commenter                     dolphin meets the definition of
                                                  unsustainable levels of bycatch, and is                 present analyses of photo-identification              threatened under the ESA.
                                                  likely to continue to decline under                     data that provide additional evidence of                 We also agree with the comment that
                                                  existing management protections.                        small, localized or fragmented                        bycatch of SI Hector’s dolphins
                                                  Therefore, we conclude the information                  populations off Otago and Kairkoura on                continues to pose a threat despite
                                                  provided in the commenters’ report                      the ECSI (Turek et al., 2013, Weir and                existing fisheries management efforts.
                                                  does not alter our finding that the SI                  Sagnol 2015). Because we had not cited                As we discuss in our status review, the
                                                  Hector’s dolphin meets the definition of                these latter two references previously,               risk of bycatch in commercial and
                                                  threatened under the ESA.                               we have expanded our discussion of                    recreational trawl and gillnet fisheries
                                                     Comment 3: Five commenters                           population structure in the status                    remains high given the known
                                                  requested that we list the SI Hector’s                  review report (Manning and Grantz                     distribution of the dolphins relative to
                                                  dolphin as endangered under the ESA.                    2017) to incorporate information from                 areas open to fishing, especially on the
                                                  One of these commenters also urged that                 these two studies.                                    west and north coasts of the South
                                                  we enact strict protections immediately                    The references provided, however, do               Island (Faustino et al., 2013, Slooten
                                                  for SI Hector’s dolphins (and Maui                      not alter our interpretation of the                   2013). The report provided by the
                                                  dolphins). One of the commenters stated                 available data regarding population                   commenter, which reviewed New
                                                  that an endangered listing for SI                       structure and its contribution to                     Zealand marine fisheries catch data
                                                  Hector’s dolphins was justified because                                                                       from 1950–2010 (i.e., Simmons et al.,
                                                                                                          extinction risk for SI Hector’s dolphins.
                                                  this subspecies consists of a network of                                                                      2016), indicates a serious degree of
                                                                                                          As discussed in the status review report
                                                  unique, local populations or ‘‘Distinct                                                                       under-reporting of catch and discards in
                                                                                                          and proposed rule, the available genetic
                                                  Population Segments’’ that are small,                                                                         commercial fisheries; however, the
                                                                                                          evidence (based on both mitochondrial
                                                  declining, and increasingly fragmented.                                                                       report documents the under-reporting of
                                                                                                          DNA and microsatellites) indicates that
                                                  Three papers on specific subpopulations                                                                       only a single Hector’s dolphin by one
                                                                                                          there are low levels of migration
                                                  of SI Hector’s dolphins (i.e., Rayment et                                                                     fishing vessel. Video footage provided
                                                                                                          between most neighboring local
                                                  al., 2009a, Turek et al., 2013, Weir and                                                                      by one of the commenters was recorded
                                                                                                          populations over distances shorter than
                                                  Sagnol 2015) and one study on genetic                                                                         as part of an investigation, called
                                                                                                          100 km (Hamner et al., 2012a). While
                                                  differentiation among populations (i.e.,                                                                      Operation Achilles, conducted by the
                                                                                                          strong genetic differentiation has been               New Zealand Ministry for Primary
                                                  Hamner et al., 2012a) were provided to
                                                  demonstrate fragmentation of                            detected among the regional                           Industries’ (MPI) following earlier video
                                                  populations. This commenter also stated                 populations, very few intra-regional                  evidence of dolphin bycatch obtained
                                                  that bycatch levels remain high because                 comparisons of populations in the ECSI                during a pilot electronic monitoring
                                                  current fisheries management measures                   and WCSI regions have been significant                program. The footage provided by the
                                                  cover only a small portion of the SI                    (Pichler 2002; Hamner et al., 2012a).                 commenter was made publicly available
                                                  Hector’s dolphin’s habitat and are                      Analysis of levels of genetic                         by MPI and shows the capture of two SI
                                                  poorly monitored and enforced. A                        differentiation among sample locations                Hector’s dolphins; and according to the
                                                  report reviewing marine fisheries catch                 within regions suggests there is                      associated reports provided by MPI
                                                  data in New Zealand (i.e., Simmons et                   sufficient gene flow to maintain genetic              (http://mpi.govt.nz/protection-and-
                                                  al., 2016) and a link to video footage                  diversity within the ECSI and WCSI                    response/environment-and-natural-
                                                  showing the capture of two SI Hector’s                  regions; however, the very restricted                 resources/sustainable-fisheries/
                                                  dolphins were provided to support this                  gene flow detected between local                      independent-review-of-prosecution-
                                                  statement.                                              populations in the SCSI region (i.e.,                 decisions/), only one of the two
                                                     Response: In response to these                       beween Te WaeWae and Toetoe Bays)                     dolphins was reported as legally
                                                  comments, we reviewed the information                   does pose a conservation concern                      required. Overall, while the report and
                                                  and references provided and considered                  (Hamner et al., 2012a). Connectivity                  the video provide definitive evidence
                                                  whether the available information                       between the small, local populations                  that under-reporting of bycatch of
                                                  indicates the SI Hector’s dolphin meets                 within each region is very important to               Hector’s dolphins has occurred, this
                                                  the definition of endangered under the                  the overall status of this subspecies, and            information alone does not augment the
                                                  ESA.                                                    additional loss of connectivity would                 available bycatch data or improve our
                                                     We agree that SI Hector’s dolphin                    increase risks of genetic drift, loss of              understanding of the extent or rate of
                                                  comprises multiple populations, some                    genetic diversity, and extinction. Thus,              bycatch such that an endangered listing
                                                  of which have been estimated to be very                 as we concluded in our status review                  for the SI Hector’s dolphin is warranted.
                                                  small, and that the population structure,               (Manning and Grantz 2017), the spatial                   Lastly, we note that one of the
                                                  in combination with other factors such                  structure and connectivity among SI                   commenters who requested an
                                                  as small home ranges (e.g., Rayment et                  Hector’s populations is posing a                      endangered listing for the SI Hector’s
                                                  al., 2009a), is contributing to the                     moderate risk to the subspecies, but this             dolphin equated the population
                                                  extinction risk for this subspecies. The                factor, either alone or in combination                structure of SI Hector’s dolphins with
                                                  best available data indicate that the SI                with other threats, does not put the                  ‘‘distinct population segments’’ (DPSs),
                                                  Hector’s subspecies comprises three,                    subspecies at immediate risk of                       which are included in the ESA
                                                  regional populations that can be                        extinction (Manning and Grantz 2017).                 definition of a ‘‘species’’ and are units
                                                  distinguished geographically and                        Information provided by the commenter                 of vertebrate populations that can be
asabaliauskas on DSKBBXCHB2PROD with RULES




                                                  genetically—an east coast (ECSI), west                  does not provide new or different                     listed under the ESA. We address DPSs
                                                  coast (WCSI), and south coast                           information regarding the degree of                   and the issue of whether populations of
                                                  population (SCSI; Pichler 2002, Hamner                  population fragmentation, abundance,                  SI Hector’s dolphins should be
                                                  et al., 2012). Additional population                    or the rate of decline of any populations.            identified as DPSs under our response
                                                  structuring within these larger                         Therefore, we find that the information               to Comment 4 (below).
                                                  geographic regions has also been                        provided by the commenter is                             Comment 4: The Marine Mammal
                                                  indicated in genetic studies (e.g., Te                  consistent with the analysis presented                Commission commented that the
                                                  W#w# Bay and Toetoe Bay within the                      in our status review and does not alter               information provided in our status


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                                                                   Federal Register / Vol. 82, No. 180 / Tuesday, September 19, 2017 / Rules and Regulations                                       43705

                                                  review and proposed rule is insufficient                despite management efforts. Ultimately,               bycatch of SI Hector’s dolphins. We also
                                                  to support a threatened listing for the SI              all of this information was used in                   searched for additional data and
                                                  Hector’s dolphin. The comment                           reaching the conclusion that this                     information regarding bycatch of
                                                  discussed four main lines of reasoning                  subspecies faces a level of risk that                 Hector’s dolphins and associated
                                                  in support of that statement: (1) In                    warrants listing it as threatened under               management measures. We did not find
                                                  contrast to the Maui dolphin, the SI                    the ESA.                                              any updated information regarding the
                                                  Hector’s dolphins remain fairly                            We disagree with the comment that                  rate or extent of bycatch or the
                                                  abundant; (2) the length of the                         we applied an ‘‘unrealistically long’’                effectiveness of current bycatch
                                                  ‘‘foreseeable future’’ we applied is                    timeframe as the ‘‘foreseeable future’’ in            reduction efforts around the South
                                                  unrealistically long; (3) bycatch is                    our analysis and that we should revise                Island, nor did the Commission provide
                                                  currently being mitigated through                       it to be ‘‘a period of time relevant to               any data or information regarding the
                                                  management actions, and we cannot                       mitigation of the bycatch threat.’’ The               adequacy of bycatch management
                                                  assume that additional management                       comment explicitly refers to a                        measures. We did, however, receive a
                                                  measures will not be implemented by                     discussion presented in both the status               letter, dated November 22, 2016, from
                                                  New Zealand; and, (4) while disease and                 review and proposed rule regarding the                the New Zealand Department of
                                                  tourism are potential threats, their                    rate of decline of SI Hector’s dolphins               Conservation (DOC), affirming the New
                                                  population-level impacts are uncertain.                 around Banks Peninsula as estimated by                Zealand government’s commitment to
                                                  The Commission recommended that we                      Gormley et al. (2012) and our                         the long-term viability of Hector’s
                                                  revise the length of the ‘‘foreseeable                  extrapolation of that rate of decline to              dolphins and indicating that the DOC
                                                  future’’ used in the analysis, reconsider               the entire subspecies. The result of our              and the Ministry for Primary Industries
                                                  whether existing regulatory mechanisms                  calculation was a 50 percent decline in               (MPI) will be undertaking a review of
                                                  are inadequate to address the threat of                 the population in about 138 years and                 their Threat Management Plan in 2018.
                                                  bycatch, and reconsider our proposal to                 an 80 percent decline in about 321                    The effectiveness of existing protections
                                                  list the SI Hector’s dolphin subspecies                 years. We did not, however, apply these               for the dolphins will be assessed as part
                                                  as threatened.                                          timeframes as the ‘‘foreseeable future’’              of that review. However, we cannot
                                                     The Commission also noted that one                   as asserted by the Commission. As we                  speculate on whether or what changes
                                                  or more of the regional populations of                  stated in the proposed rule (81 FR                    to existing protections may occur in the
                                                  SI Hector’s dolphins could meet the                     64121, September 19, 2016), these are                 future as a result of that review process.
                                                  definition of a DPS. The Commission                     simply calculations based on the limited                 During our search for additional
                                                  states that the status review and                       data available, and we did not use them               information, we noticed that since
                                                  proposed rule did not explore the                       to establish any specific thresholds for              publication of the proposed rule to list
                                                  possibility that any of these populations               determining when the subspecies may                   SI Hector’s dolphins in September 2016
                                                  could merit separate listing                            be in danger of extinction. The status                (81 FR 64110), five SI Hector’s dolphin
                                                  consideration or could contribute to a                  review also characterizes this                        mortalities had been added to the DOC’s
                                                  threatened listing of the subspecies.                   calculation as ‘‘grossly over-simplified              incident database. Cause of death,
                                                     Response: We agree with the                          and not realistic’’ and explains that a               which was determinable for three of the
                                                  Commission that the current abundance                   trend analysis and a projection of the                five dolphins, is listed as disease for two
                                                  estimate for the SI Hector’s dolphin is                 time to extinction is not currently                   dolphins and bycatch in a commercial
                                                  fairly high relative to the estimated                   possible (Manning and Grantz 2017).                   trawl net for the third dolphin. We also
                                                  population abundance of Maui                            We also stated in both the status review              found a recent press release, dated June
                                                  dolphins, which is at a critically low                  and proposed rule that the actual rate of             27, 2017, from the New Zealand MPI
                                                  level. The estimated abundance of the                   decline of the subspecies remains                     indicating that MPI was investigating
                                                  entire SI subspecies was an important                   unclear given the deficiency of bycatch               the death of two other SI Hector’s
                                                  consideration in our risk analysis and                  mortality data. We note that we are not               dolphins found in March 2017, one near
                                                  contributed to our finding that the SI                  required to develop a specific rate of                Banks Peninsula on the East Coast and
                                                  Hector’s dolphin is not presently in                    decline in order to find that a species               one in Greymouth on the West Coast
                                                  danger of extinction and thus does not                  meets the definition of threatened under              (http://www.mpi.govt.nz). In the press
                                                  meet the definition of endangered under                 the ESA. In this particular case, the                 release, MPI states they believe the
                                                  the ESA. However, we did not rely on                    available data do not support such a                  cause of death of the dolphin found on
                                                  estimates of abundance as an exclusive                  calculation. Lastly, we note that our                 the West Coast was illegal recreational
                                                  determinant of this subspecies’ risk of                 ultimate determination regarding the                  set-netting. This additional information
                                                  extinction. Rather, and as is our                       status of the SI Hector’s dolphin does                clearly indicates that bycatch of SI
                                                  standard practice when conducting                       not exclusively depend on the threat of               Hector’s dolphins is continuing in both
                                                  status reviews under the ESA and as                     bycatch or the rate of decline                        trawls and gillnets; however, it does not
                                                  articulated in our status review, our                   attributable to bycatch alone. Our status             constitute sufficient data to alter or
                                                  analysis also considered other                          review and proposed rule discuss                      revise our previous assessment.
                                                  demographic risk factors, including                     available data on other demographic                   Ultimately, after careful consideration,
                                                  population growth/productivity, spatial                 risk factors and threats, and our                     we did not find any basis to change our
                                                  structure and connectivity, and genetic                 conclusion that the SI Hector’s dolphin               previous conclusion regarding the
                                                  diversity. As required under the ESA,                   warrants listing as threatened was based              adequacy of existing bycatch
                                                  we also considered threats and                          on consideration of these multiple                    management measures. We find that the
asabaliauskas on DSKBBXCHB2PROD with RULES




                                                  protective efforts. Thus, for SI Hector’s               threats, each of which may be operating               weight of the available data and study
                                                  dolphins in particular, we considered                   at different time scales. We made minor               results support a conclusion that
                                                  the estimates of large historical declines              edits to the status review report to                  bycatch has contributed to a large
                                                  in abundance, the observed loss of                      clarify this issue.                                   historical decline in abundance and
                                                  genetic diversity, the limited                             As requested by the Commission, we                 continues to contribute to the decline of
                                                  connectivity of populations, as well as                 reconsidered our conclusion regarding                 SI Hector’s dolphins.
                                                  ongoing threats such as bycatch and the                 the adequacy of existing management                      We agree with the Commission that
                                                  projections of continued declines                       measures relative to the threat of                    the population-level effects of disease


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                                                  43706            Federal Register / Vol. 82, No. 180 / Tuesday, September 19, 2017 / Rules and Regulations

                                                  and tourism are uncertain. Other threats                significance of the population segment                export fish to the United States. One of
                                                  discussed in our status review report                   to the remainder of the species (or                   these commenters stated that to meet
                                                  (Manning and Grantz 2017)—for                           subspecies) (‘‘the DPS Policy,’’ 61 FR                these requirements New Zealand will
                                                  example, pollution and contaminants—                    4722, February 7, 1996). As stated in the             have to implement effective measures to
                                                  have a similar uncertainty. We do not                   DPS Policy, Congress expressed its                    protect Maui and Hector’s dolphins,
                                                  agree, however, that this uncertainty                   expectation that the Services would                   including substantially improving its
                                                  means these threats can be disregarded.                 exercise authority with regard to DPSs                fisheries management systems.
                                                  As we discuss in our status review                      sparingly and only when the biological                   Response: This rulemaking concerns
                                                  report, the available data suggest that                 evidence indicates such action is                     only whether Maui dolphins and SI
                                                  tourism activities and disease are posing               warranted. In this particular case,                   Hector’s dolphins meet the statutory
                                                  threats to SI Hector’s dolphins (Manning                because we reached a determination                    definition of a threatened or endangered
                                                  and Grantz 2017). The report presents                   that the SI Hector’s dolphin warrants                 species and thus warrant listing under
                                                  the available information regarding                     listing at the subspecies level, such an              the ESA. Listing the Maui dolphin and
                                                  infectious disease cases (especially                    analysis would be superfluous. In                     the SI Hector’s dolphin under the ESA
                                                  toxoplasmosis) in SI Hector’s dolphins,                 addition, because we were not                         will not directly result in a ban or
                                                  which in addition to being a possibly                   petitioned to list the SI Hector’s                    prohibition on U.S. import of fish or fish
                                                  substantial source of mortality, may                    dolphins as separate DPSs, there is no                products from fisheries contributing to
                                                  have other detrimental, sub-lethal                      requirement that we commit additional                 incidental mortality or serious injury of
                                                  consequences (e.g., increased risk of                   agency resources to conduct an analysis               Hector’s dolphins. Such a ban cannot be
                                                  predation, reduced reproductive rate,                   and determine whether SI Hector’s                     established under the authority of the
                                                  neonatal deaths) for the dolphins. The                  dolphins could be listed separately at                ESA. Specific protections that will be
                                                  status review report also presents                      the DPS level. Furthermore, we note                   provided to Hector’s dolphins following
                                                  information on the intensity and                        there is no clear conservation benefit to             their listing under the ESA are
                                                  popularity of dolphin watching and                      the subspecies by pursuing such an                    discussed below in the Effects of Listing
                                                  commercial encounter (or ‘‘swim with’’)                 option.                                               section.
                                                  operations off the South Island; and                       Comment 5: Several commenters                         U.S. import of fish or fish products
                                                  presents evidence of short-term                         stated that they were opposed to the                  from a nation’s fisheries with associated
                                                  behavioral responses in SI Hector’s                     elimination of swim-with-dolphin                      incidental mortality or serious injury of
                                                  dolphins, and evidence of linkages to                   activities. One commenter stated that,                marine mammals may be subject to
                                                  longer-term impacts in other dolphins                   although he is supportive of marine                   NMFS’ recent regulation promulgated
                                                  (e.g., Tursiops sp.). Available data on                 mammal conservation generally,                        under the U.S. Marine Mammal
                                                                                                          swimming with wild dolphins should                    Protection Act (81 FR 54390, August 15,
                                                  the related concern of boat strikes were
                                                                                                          not be prohibited because it causes no                2016). This regulation established
                                                  also provided. We noted in the report
                                                                                                          harm to the dolphins.                                 criteria and a formal process for
                                                  that the available data are not currently
                                                                                                             Response: This rulemaking concerns                 evaluating foreign fisheries and their
                                                  sufficient to understand the magnitude
                                                                                                          only whether Maui dolphins and SI                     frequency of incidental mortality and
                                                  or overall impact of these threats on the
                                                                                                          Hector’s dolphins meet the statutory                  serious injury of marine mammals.
                                                  subspecies. In our proposed rule (81 FR
                                                                                                          definition of a threatened or endangered              Additional information on this
                                                  64123, September 19, 2016), we
                                                                                                          species and thus warrant listing under                regulation and its implementation are
                                                  concluded that factors such as disease
                                                                                                          the ESA. Therefore, these comments are                available online at www.fisheries.
                                                  and tourism are ‘‘lesser threats’’ that are
                                                                                                          not relevant to this rulemaking.                      noaa.gov/ia/slider_stories/2016/08/
                                                  ‘‘likely exacerbating the rates of                      Furthermore, regulation of swimming                   mmpafinalrule.html.
                                                  decline’’ for SI Hector’s dolphins. In                  with wild Hector’s dolphins is under                     Comment 7: Multiple commenters
                                                  other words, we do not consider disease                 the exclusive jurisdiction of the                     raised concerns about the impacts to
                                                  and tourism to be the main drivers of                   government of New Zealand.                            Hector’s dolphins from offshore oil and
                                                  decline of SI Hector’s dolphins; rather,                   We also note that, as discussed in our             gas development and alternative energy
                                                  we consider them to be contributors to                  proposed rule and status review, several              projects. One commenter stated that
                                                  the cumulative, negative impacts on the                 studies have demonstrated short-term                  there are concerns that current seismic
                                                  status of the subspecies.                               behavioral changes in SI Hector’s                     mapping will scare away Hector’s
                                                     Lastly, we disagree with the                         dolphins in response to dolphin-                      dolphins on the east coast of the South
                                                  suggestion that we should explore the                   watching tour boats and ‘swim-with’                   Island. Another commenter stated that
                                                  possibility of listing separate distinct                activities (e.g., significant disruptions of          we should further consider emerging
                                                  population segments (DPS) of SI                         diving and travelling), and that any                  threats, including the potential offshore
                                                  Hector’s dolphins or consider how their                 longer-term impacts are not yet clear.                expansion of renewable energy
                                                  individual statuses might contribute to                 The commenter provided no data or                     facilities. This commenter noted that
                                                  a threatened listing for the subspecies.                information to support the assertion that             while her organization is not opposed to
                                                  Section 3 of the ESA defines a ‘‘species’’              such activities pose ‘‘no harm’’ to SI                renewable energy projects and that
                                                  to include ‘‘any subspecies of fish or                  Hector’s dolphins.                                    while relevant data are limited, the risks
                                                  wildlife or plants, and any distinct                       Comment 6: Over a dozen                            to Hector’s dolphins stemming from pile
                                                  population segment of any species of                    commenters requested that the United                  driving noise, collisions with tidal
                                                  vertebrate fish or wildlife which                       States or U.S. citizens stop buying New               turbines, increased marine traffic, vessel
asabaliauskas on DSKBBXCHB2PROD with RULES




                                                  interbreeds when mature.’’ A joint                      Zealand fish until both Maui and SI                   strikes, and habitat displacement should
                                                  policy with the U.S. Fish and Wildlife                  Hector’s dolphins are protected                       not be dismissed. The commenter
                                                  Service (together the ‘‘Services’’) lays                throughout their ranges. Several                      provided several studies documenting
                                                  out two elements that must be                           comments specifically referenced the                  the effects of wind farm construction
                                                  considered when identifying a DPS: (1)                  Fish and Fish Product Import Provisions               and operation on harbor porpoises
                                                  The discreteness of the population                      of the Marine Mammal Protection Act                   within the Baltic Sea.
                                                  segment in relation to the remainder of                 and the associated regulatory                            Response: We agree that seismic
                                                  the species (or subspecies); and (2) the                requirements for countries wishing to                 testing and other activities within the


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                                                                   Federal Register / Vol. 82, No. 180 / Tuesday, September 19, 2017 / Rules and Regulations                                       43707

                                                  marine environment associated with oil                  development to support a wave energy                  of this additional, potential threat did
                                                  and gas exploration and development                     project in Pegasus Bay was underway                   not alter any conclusions regarding
                                                  may be posing threats to Hector’s                       (Wright and Leary 2011). The current                  extinction risk for either subspecies.
                                                  dolphins. Our status review (Manning                    status of these projects is also unclear.             Lastly, we updated the spelling of the
                                                  and Grantz 2017) provided some                          The EECA Web site states that, given the              common name for C. hectori maui to
                                                  discussion about the possible impacts of                relatively substantial expense of these               Maui in response to a peer reviewer’s
                                                  these activities—for example,                           projects, the agency does not foresee                 comment that this spelling more
                                                  reductions in local fish abundance                      marine energy as a major energy                       appropriately reflects the Maori
                                                  (Engås et al., 1996), disruption of                    contributor in New Zealand (see                       language from which the name was
                                                  normal behaviors (Gordon et al., 2003;                  www.eeca.govt.nz). Wind energy                        derived.
                                                  Thompson 2012), and habitat                             appears to be a more promising
                                                                                                          renewable energy source in New                        Status Review
                                                  displacement (Hildebrand 2005).
                                                  However, we also acknowledged that                      Zealand, and according to the EECA, 19                  Status reviews for the Maui dolphin
                                                  the extent to which Hector’s dolphins                   wind farms are either operating or under              and the SI Hector’s dolphin were
                                                  are being negatively affected—both                      construction. However, none of these                  completed by NMFS staff from the
                                                  individually and at a population level—                 wind farms are in the marine                          Office of Protected Resources. To
                                                  has not yet been established because                    environment (see                                      complete the status reviews, we
                                                  there are insufficient data to evaluate                 www.windenergy.org.nz). Therefore, at                 compiled the best available data and
                                                  impacts to Hector’s dolphins                            this time, there is insufficient                      information on the subspecies’ biology,
                                                  specifically. Thus, we cannot draw any                  information to evaluate whether                       ecology, life history, threats, and
                                                  firm conclusions regarding the extent to                renewable marine energy projects are                  conservation status by examining the
                                                  which these activities are affecting                    currently posing a threat to Hector’s                 petition and cited references and by
                                                  Hector’s dolphins. We note that the                     dolphins, and there is no clear                       conducting a comprehensive literature
                                                  Marine Mammal Impact Assessments,                       indication that renewable energy                      search and review. We also considered
                                                  which are prerequisite environmental                    projects will pose a future threat to the             information submitted to us in response
                                                  assessments for conducting seismic                      dolphins or their habitat. We have                    to our petition finding. The status
                                                  testing within New Zealand’s EEZ                        revised our status review report to                   review report provides a thorough
                                                  (http://www.doc.govt.nz/our-work/                       include a discussion of renewable                     discussion of the life history, threats,
                                                  seismic-surveys-code-of-conduct/marine                  energy development, but ultimately this               demographic risks, and overall
                                                  -mammal-impact-assessments/),                           information did not alter our extinction              extinction risk for both dolphin
                                                  typically conclude that impacts on                      risk conclusions for either subspecies.               subspecies. The status review was
                                                  marine mammals from seismic testing                     Summary of Changes From the                           subjected to peer review by three,
                                                  are ‘‘minor.’’                                          Proposed Listing Rule                                 independent reviewers. All peer
                                                     In response to the comment on marine                    We did not receive, nor did we find,               reviewer comments are available at
                                                  renewable energy facilities and projects,               data or references that presented                     http://www.cio.noaa.gov/services_
                                                  we reviewed the literature submitted                    substantial new information to change                 programs/prplans/ID351.html. The final
                                                  and conducted a search for additional                   our proposed listing determinations. We               status review report (cited as Manning
                                                  information regarding these types of                    did, however, make several revisions to               and Grantz 2017) is available on our
                                                  projects within New Zealand. According                  the status review report (Manning and                 Web site http://www.nmfs.noaa.gov/pr/
                                                  to the national energy efficiency strategy              Grantz 2017) to incorporate, as                       species/petition81.htm.
                                                  for 2017–2022, New Zealand has set a                    appropriate, relevant information                     ESA Section 4(a)(1) Factors Affecting
                                                  target of generating 90 percent of its                  received in response to our request for               the Dolphins
                                                  electricity from renewable sources by                   public comments. Specifically, we
                                                  the year 2025 (MBIE 2017). However,                     updated the status review to include the                 As stated previously and as discussed
                                                  very little information is available                    more recently completed 2015–2016                     in the proposed rule (81 FR 64110;
                                                  regarding specific renewable marine                     abundance estimate for Maui dolphins                  September 19, 2016), we considered
                                                  energy projects or associated impacts in                and associated results (e.g., survival                whether any one or a combination of the
                                                  New Zealand. Tidal and wave energy                      rates, Baker et al., 2016). Because this              five threat factors specified in section
                                                  development, in particular, appear to be                new abundance estimate still indicates                4(a)(1) of the ESA are contributing to the
                                                  at a very nascent stage. The Energy                     a critically low population abundance of              extinction risk of the Maui and SI
                                                  Efficiency and Conservation Authority                   63 dolphins 1 year of age and older (95               Hector’s dolphins. Several commenters
                                                  (EECA) is New Zealand’s government                      percent CI = 57–75; Baker et al., 2016)               provided additional information related
                                                  agency charged with promoting energy                    and is within the 95 percent confidence               to threats such as forms of habitat
                                                  efficiency, including the use of                        interval of the previous estimate (N =                modification and degradation, under-
                                                  renewable sources of energy. According                  55, 95 percent CI = 48–69), it did not                reporting of bycatch, and the projected
                                                  to EECA’s Web site, the agency provided                 alter the outcome of our risk assessment.             population decline of SI Hector’s
                                                  funding to support six wave or tidal                    We expanded our discussion of                         dolphins. The information provided was
                                                  projects from 2007 to 2011 but none of                  population structure within the SI                    consistent with or reinforced
                                                  those projects has proceeded past some                  Hector’s dolphin to include the                       information in the status review report
                                                  initial stage. A tidal power project has                additional references provided by a                   and proposed rule, and thus, did not
asabaliauskas on DSKBBXCHB2PROD with RULES




                                                  been proposed for the main channel of                   commenter and made minor edits to                     change our conclusions regarding any of
                                                  Kaipara Harbor, which lies towards the                  clarify our discussion on the rate of                 the section 4(a)(1) factors or their
                                                  northern edge of the Maui dolphin                       decline for this subspecies. We also                  interactions. Therefore, we incorporate
                                                  range; however, the status of that facility             revised the status review report by                   herein all information, discussion, and
                                                  is unclear. Within the range of SI                      adding a discussion of the potential                  conclusions regarding the factors
                                                  Hector’s dolphins, as of 2011, two tidal                threat of marine alternative energy                   affecting the two dolphin subspecies
                                                  energy projects were being pursued in                   projects to both Hector’s and Maui                    from the final status review report
                                                  Cook Strait, and research and                           dolphins. As noted above, consideration               (Manning and Grantz 2017) and the


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                                                  43708            Federal Register / Vol. 82, No. 180 / Tuesday, September 19, 2017 / Rules and Regulations

                                                  proposed rule (81 FR 64110; September                   gillnets (Currey et al., 2012). Maui                  thereby contributing to the overall
                                                  19, 2016).                                              dolphins continue to face threats of                  extinction risk of this subspecies. Given
                                                                                                          bycatch, disease, and mining and                      recent abundance estimates for the total
                                                  Extinction Risk
                                                                                                          seismic disturbances; and, it is                      population and evidence of a slowed
                                                     As discussed previously, the status                  considered unlikely that this subspecies              rate of decline following expanded
                                                  review evaluated the demographic risks                  will recover unless sources of                        fisheries management measures, we find
                                                  to both dolphin subspecies according to                 anthropogenic mortality are eliminated                that this subspecies is not presently in
                                                  four categories—abundance and trends,                   (Slooten et al., 2006; MFish and DOC                  danger of extinction. However,
                                                  population growth/productivity, spatial                 2007b, Baker et al., 2010). Based on the              significant historical declines and the
                                                  structure/connectivity, and genetic                     best available scientific and commercial              projected decline for most populations,
                                                  diversity. As a concluding step, after                  information, as summarized here, in our               combined with a low population growth
                                                  considering all of the available                        proposed rule (81 FR 64110; September                 rate, low genetic diversity, limited
                                                  information regarding demographic and                   19, 2016), and in the status review                   population connectivity, and the
                                                  other threats to the subspecies, we rated               report (Manning and Grantz 2017), and                 ongoing threats of bycatch, disease, and
                                                  each subspecies’ extinction risk                        after consideration of protective efforts,            tourism, provide a strong indication that
                                                  according to a qualitative scale (high,                 we find that the Maui dolphin                         this subspecies is likely to become an
                                                  moderate, and low risk). Although we                    (Cephalorhynchus hectori maui) is in                  endangered species within the
                                                  did update our status review to                         danger of extinction throughout its                   foreseeable future. We therefore find
                                                  incorporate the most recent abundance                   range. Therefore, we find that this                   that this subspecies meets the definition
                                                  estimate for Maui dolphins and                          subspecies meets the definition of an                 of threatened under the ESA and list it
                                                  information from two additional studies                 endangered species under the ESA and                  as such.
                                                  regarding population fragmentation                      list it as such.
                                                  within SI Hector’s dolphins, none of the                   The SI Hector’s dolphin has                        Effects of Listing
                                                  comments or information we received                     experienced substantial population                       Conservation measures provided for
                                                  on the proposed rule changed the                        declines since the 1970s, has relatively              species listed as endangered or
                                                  outcome of our extinction risk                          low genetic diversity, a low intrinsic                threatened under the ESA include the
                                                  evaluations for either subspecies. Our                  population growth rate, and a                         development and implementation of
                                                  conclusions regarding extinction risk for               fragmented population structure.                      recovery plans (16 U.S.C. 1533(f));
                                                  these subspecies remain the same.                       Although historical data are lacking,                 designation of critical habitat, if prudent
                                                  Therefore, we incorporate herein all                    Slooten (2007a) estimated that the SI                 and determinable (16 U.S.C.
                                                  information, discussion, and                            Hector’s dolphin population has                       1533(a)(3)(A)); and a requirement that
                                                  conclusions on the extinction risk of the               declined by about 73 percent between                  Federal agencies consult with NMFS
                                                  two dolphin subspecies in the final                     1970 and 2007, and available                          under section 7 of the ESA to ensure
                                                  status review report (Manning and                       population viability analyses indicate                their actions are not likely to jeopardize
                                                  Grantz 2017) and proposed rule (81 FR                   that the SI Hector’s dolphin is likely to             the species or result in adverse
                                                  64110; September 19, 2016).                             continue to decline unless bycatch                    modification or destruction of
                                                                                                          mortality is reduced (Davies et al., 2008,            designated critical habitat (16 U.S.C.
                                                  Protective Efforts                                                                                            1536). For endangered species,
                                                                                                          Slooten and Davies 2012, Slooten 2013).
                                                     In addition to regulatory measures                   Gormley et al. (2012) estimated that the              protections also include prohibitions
                                                  (e.g., fishing and boating regulations,                 Banks Peninsula population, which has                 related to ‘‘take’’ and trade (16 U.S.C.
                                                  sanctuary designations), we considered                  benefited from almost three decades of                1538). Take is defined as ‘‘to harass,
                                                  other efforts being made to protect                     protection, would continue to decline at              harm, pursue, hunt, shoot, wound, kill,
                                                  Hector’s dolphins. We considered                        a rate of about 0.5 percent per year                  trap, capture, or collect, or to attempt to
                                                  whether such protective efforts altered                 despite significantly improved survival               engage in any such conduct’’ (16 U.S.C.
                                                  the conclusions of the extinction risk                  rates. The actual rate of decline of the              1532(19)). These prohibitions do not
                                                  analysis for Maui and SI Hector’s                       subspecies remains unclear given the                  apply to species listed as threatened
                                                  dolphins. None of the information we                    very limited bycatch mortality data                   unless protective regulations are issued
                                                  received on the proposed rule affected                  available, and a trend analysis based on              under section 4(d) of the ESA (16 U.S.C.
                                                  our conclusions regarding conservation                  survey data is also confounded by the                 1533(d)), leaving it to the Secretary’s
                                                  efforts to protect the two dolphin                      fact that surveys have covered different              discretion whether, and to what extent,
                                                  subspecies. Therefore, we incorporate                   portions of the range and have                        to extend the ESA’s prohibitions to the
                                                  herein all information, discussion, and                 dramatically increased in sophistication              species. Section 4(d) protective
                                                  conclusions on the extinction risk of the               and geographical scope over time. Thus,               regulations may prohibit, with respect
                                                  two dolphin subspecies in the final                     a precise analysis of the rate of decline             to threatened species, some or all of the
                                                  status review report (Manning and                       and projection of time to extinction                  acts which section 9(a) of the ESA
                                                  Grantz 2017) and proposed rule (81 FR                   given multiple threats and demographic                prohibits with respect to endangered
                                                  64110; September 19, 2016).                             considerations is not currently possible.             species.
                                                                                                          However, the available evidence                          Recognition of the species’ imperiled
                                                  Final Listing Determinations
                                                                                                          indicates that management measures                    status through listing may also promote
                                                    The present estimated abundance of                    have not halted population declines and               conservation actions by Federal and
                                                  Maui dolphins is critically low, and the                supports a conclusion that populations                state agencies, foreign entities, private
asabaliauskas on DSKBBXCHB2PROD with RULES




                                                  subspecies faces additional                             of SI Hector’s dolphins will continue to              groups, and individuals.
                                                  demographic risks due to greatly                        decline.
                                                  reduced genetic diversity and a low                        Current levels of bycatch are                      Activities That Would Constitute a
                                                  intrinsic population growth rate. Past                  contributing to the decline of this                   Violation of Section 9 of the ESA
                                                  declines, estimated to be on the order of               subspecies (Slooten and Davies 2012).                   On July 1, 1994, NMFS and the U.S.
                                                  about 90 percent (Martien et al., 1999,                 Additional, lesser threats, such as                   Fish and Wildlife Service (USFWS)
                                                  Slooten 2007a), are considered to have                  disease and tourism impacts, are likely               published a policy (59 FR 34272) that
                                                  been driven largely by bycatch in                       exacerbating the rate of decline and                  requires us to identify, to the maximum


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                                                                   Federal Register / Vol. 82, No. 180 / Tuesday, September 19, 2017 / Rules and Regulations                                      43709

                                                  extent practicable at the time a species                that may be appropriate to enforce the                1533(a)(3)(A)) requires that, to the
                                                  is listed, those activities that would or               ESA. Thus, we could promulgate future                 extent prudent and determinable,
                                                  would not constitute a violation of                     regulations to regulate trade or holding              critical habitat be designated
                                                  section 9 of the ESA. The intent of this                of Maui dolphins. However, we do not                  concurrently with the listing of a
                                                  policy is to increase public awareness of               foresee a necessity for such regulations              species. However, critical habitat cannot
                                                  the potential effects of species listings               at this time.                                         be designated in foreign countries or
                                                  on proposed and ongoing activities.                                                                           other areas outside U.S. jurisdiction (50
                                                     Because we are listing the Maui                      Protective Regulations Under Section
                                                                                                          4(d) of the ESA                                       CFR 424.12(g)). Maui and SI Hector’s
                                                  dolphin as endangered, all of the                                                                             dolphins are endemic to New Zealand
                                                  prohibitions of section 9(a)(1) of the                     Because we are listing the SI Hector’s             and do not occur within areas under
                                                  ESA will apply to this subspecies.                      dolphins as threatened, the prohibitions              U.S. jurisdiction. There is no basis to
                                                  Section 9(a)(1) includes prohibitions                   under section 9 of the ESA will not                   conclude that any unoccupied areas
                                                  against the import, export, use in foreign              automatically apply to this subspecies.               under U.S. jurisdiction are essential for
                                                  commerce, and ‘‘take’’ of the listed                    As stated above, ESA section 4(d) leaves              the conservation of either subspecies.
                                                  species. These prohibitions apply to all                it to the Secretary’s discretion whether,             Therefore, we do not intend to propose
                                                  persons subject to the jurisdiction of the              and to what extent, to extend the section             any critical habitat designations for
                                                  United States, including in the United                  9(a) prohibitions to threatened species,              either subspecies.
                                                  States, its territorial sea, or on the high             and authorizes us to issue regulations
                                                  seas. Activities that could result in a                 that are deemed necessary and advisable               Peer Review
                                                  violation of section 9 prohibitions for                 to provide for the conservation of the                  In December 2004, the Office of
                                                  Maui dolphins include, but are not                      species. Because SI Hector’s dolphins                 Management and Budget (OMB) issued
                                                  limited to, the following:                              occur entirely outside of the United                  a Final Information Quality Bulletin for
                                                     (1) Delivering, receiving, carrying,                 States, and are not commercially traded               Peer Review establishing a minimum
                                                  transporting, or shipping in interstate or              with the United States, extending the                 peer review standard. We solicited peer
                                                  foreign commerce any Maui dolphin or                    section 9(a) prohibitions to this                     review comments on the draft status
                                                  any of its parts, in the course of a                    subspecies will not result in added                   review report from three scientists with
                                                  commercial activity;                                    conservation benefits or species                      expertise on Hector’s dolphins. We
                                                     (2) Selling or offering for sale in                  protection, particularly given the fact               received and reviewed comments from
                                                  interstate commerce any part, except                    that such trade is already generally                  these scientists, and, prior to
                                                  antique articles at least 100 years old;                prohibited under the Marine Mammal                    publication of the proposed rule, their
                                                  and                                                     Protection Act (16 U.S.C. 1372).                      comments were incorporated into the
                                                     (3) Importing or exporting Maui                      Therefore, we do not intend to issue                  draft status review report (Manning and
                                                  dolphins or any parts of these dolphins.                section 4(d) regulations for SI Hector’s              Grantz 2016), which was then made
                                                     Whether a violation results from a                   dolphins at this time.                                available for public comment. As stated
                                                  particular activity is entirely dependent                                                                     earlier, peer reviewer comments on the
                                                  upon the facts and circumstances of                     Section 7 Consultation Requirements
                                                                                                                                                                status review are available at http://
                                                  each incident. Further, an activity not                   Section 7(a)(2) (16 U.S.C. 1536(a)(2))
                                                                                                                                                                www.cio.noaa.gov/services_programs/
                                                  listed here may in fact constitute a                    of the ESA and joint NMFS/USFWS
                                                                                                                                                                prplans/ID351.html.
                                                  violation.                                              regulations require Federal agencies to
                                                                                                          consult with NMFS to ensure that                      References
                                                  Identification of Those Activities That                 activities they authorize, fund, or carry
                                                  Would Not Likely Constitute a Violation                                                                          A complete list of the references used
                                                                                                          out are not likely to jeopardize the
                                                  of Section 9 of the ESA                                                                                       is available upon request (see
                                                                                                          continued existence of listed species or
                                                                                                                                                                ADDRESSES).
                                                    Although the determination of                         destroy or adversely modify critical
                                                  whether any given activity constitutes a                habitat. It is unlikely that the listing of           Classification
                                                  violation is fact dependent, we consider                these subspecies under the ESA will
                                                  the following actions, depending on the                                                                       National Environmental Policy Act
                                                                                                          increase the number of section 7
                                                  circumstances, as being unlikely to                     consultations, because these subspecies                 Section 4(b)(1)(A) of the ESA restricts
                                                  violate the prohibitions in ESA section                 occur outside of the United States and                the information that may be considered
                                                  9 with regard to Maui dolphins: (1) Take                are unlikely to be affected by U.S.                   when assessing species for listing and
                                                  authorized by, and carried out in                       Federal actions.                                      sets the basis upon which listing
                                                  accordance with the terms and                                                                                 determinations must be made. Based on
                                                  conditions of, an ESA section                           Critical Habitat                                      the requirements in section 4(b)(1)(A) of
                                                  10(a)(1)(A) permit issued by NMFS for                      Critical habitat is defined in section 3           the ESA and the opinion in Pacific Legal
                                                  purposes of scientific research or the                  of the ESA (16 U.S.C. 1532(5)) as: (1)                Foundation v. Andrus, 675 F. 2d 825
                                                  enhancement of the propagation or                       The specific areas within the                         (6th Cir. 1981), we have concluded that
                                                  survival of the species; and (2)                        geographical area occupied by a species,              ESA listing actions are not subject to the
                                                  continued possession of Maui dolphins                   at the time it is listed in accordance                environmental assessment requirements
                                                  or any parts that were in possession at                 with the ESA, on which are found those                of the National Environmental Policy
                                                  the time of listing. Such parts may be                  physical or biological features (a)                   Act (NEPA).
                                                  non-commercially exported or                            essential to the conservation of the
asabaliauskas on DSKBBXCHB2PROD with RULES




                                                                                                          species and (b) that may require special              Executive Order 12866, Regulatory
                                                  imported; however, the importer or
                                                                                                          management considerations or                          Flexibility Act
                                                  exporter must be able to provide
                                                  evidence to show that the parts meet the                protection; and (2) specific areas outside              As noted in the Conference Report on
                                                  criteria of ESA section 9(b)(1) (i.e., held             the geographical area occupied by a                   the 1982 amendments to the ESA,
                                                  in a controlled environment at the time                 species at the time it is listed if such              economic impacts cannot be considered
                                                  of listing, in a non-commercial activity).              areas are determined to be essential for              when assessing the status of a species.
                                                    Section 11(f) of the ESA gives NMFS                   the conservation of the species. Section              Therefore, the economic analysis
                                                  the authority to promulgate regulations                 4(a)(3)(A) of the ESA (16 U.S.C.                      requirements of the Regulatory


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                                                  43710               Federal Register / Vol. 82, No. 180 / Tuesday, September 19, 2017 / Rules and Regulations

                                                  Flexibility Act are not applicable to the                              List of Subjects                                                PART 223—THREATENED MARINE
                                                  listing process.                                                                                                                       AND ANADROMOUS SPECIES
                                                                                                                         50 CFR Part 223
                                                     In addition, this rule is exempt from
                                                                                                                           Endangered and threatened species,                            ■ 1. The authority citation for part 223
                                                  review under Executive Order 12866.
                                                                                                                         Exports, Transportation.                                        continues to read as follows:
                                                  Paperwork Reduction Act                                                                                                                   Authority: 16 U.S.C. 1531–1543; subpart
                                                                                                                         50 CFR Part 224                                                 B, §§ 223.201–202 also issued under 16
                                                    This final rule does not contain a                                                                                                   U.S.C. 1361 et seq.; 16 U.S.C. 5503(d) for
                                                  collection-of-information requirement                                    Endangered and threatened species,                            § 223.206(d)(9).
                                                  for the purposes of the Paperwork                                      Exports, Imports, Transportation.
                                                                                                                                                                                         ■ 2. In § 223.102, amend the table in
                                                  Reduction Act.                                                           Dated: September 14, 2017.                                    paragraph (e) by adding a new entry
                                                  Executive Order 13132, Federalism                                      Samuel D. Rauch, III,                                           under ‘‘Marine Mammals’’ in
                                                                                                                         Deputy Assistant Administrator for                              alphabetical order, by common name, to
                                                    In accordance with E.O. 13132, we                                    Regulatory Programs, National Marine                            read as follows:
                                                  determined that this final rule does not                               Fisheries Service.
                                                  have significant federalism effects and                                                                                                § 223.102 Enumeration of threatened
                                                                                                                           For the reasons set out in the                                marine and anadromous species.
                                                  that a federalism assessment is not
                                                  required.                                                              preamble, 50 CFR parts 223 and 224 are                          *       *    *       *       *
                                                                                                                         amended as follows:                                                 (e) * * *
                                                                                                             Species 1                                                              Citation(s) for listing       Critical        ESA rules
                                                                                                                                                                                      determination(s)            habitat
                                                          Common name                                      Scientific name                    Description of listed entity

                                                                                                                                             Marine Mammals

                                                  Dolphin, Hector’s .................        Cephalorhynchus hectori hectori .............   Entire subspecies ..............   [Insert Federal Register                     NA           NA
                                                                                                                                                                                   page where the docu-
                                                                                                                                                                                   ment begins], September
                                                                                                                                                                                   19, 2017.

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


                                                  *        *        *         *          *                                 Authority: 16 U.S.C. 1531–1543 and 16                         alphabetical order, by common name, to
                                                                                                                         U.S.C. 1361 et seq.                                             read as follows:
                                                  PART 224—ENDANGERED MARINE
                                                  AND ANADROMOUS SPECIES                                                 ■ 4. In § 224.101, amend the table in                           § 224.101 Enumeration of endangered
                                                                                                                         paragraph (h) by adding a new entry                             marine and anadromous species.
                                                  ■ 3. The authority citation for part 224                               under ‘‘Marine Mammals’’ in                                     *       *    *       *       *
                                                  continues to read as follows:                                                                                                              (h) * * *
                                                                                                             Species 1                                                              Citation(s) for listing       Critical        ESA rules
                                                                                                                                                                                      determination(s)            habitat
                                                          Common name                                      Scientific name                    Description of listed entity

                                                                                                                                             Marine Mammals


                                                                        *                             *                  *                           *                        *                   *                          *
                                                  Dolphin, Maui ......................       Cephalorhynchus hectori maui ................   Entire subspecies .............. [Insert Federal Register                       NA           NA
                                                                                                                                                                                 page where the docu-
                                                                                                                                                                                 ment begins], September
                                                                                                                                                                                 19, 2017.

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


                                                  *        *        *         *          *                               DEPARTMENT OF COMMERCE                                          Atmospheric Administration (NOAA),
                                                  [FR Doc. 2017–19903 Filed 9–18–17; 8:45 am]                                                                                            Commerce.
                                                  BILLING CODE 3510–22–P                                                 National Oceanic and Atmospheric                                ACTION: Notification that the Northeast
                                                                                                                         Administration                                                  Distant Area (NED) quota is filled and
                                                                                                                                                                                         Atlantic Tunas Longline Category
asabaliauskas on DSKBBXCHB2PROD with RULES




                                                                                                                         50 CFR Part 635                                                 Individual Bluefin Quota (IBQ)
                                                                                                                         RIN 0648–XF700
                                                                                                                                                                                         accounting rules now apply in the NED.

                                                                                                                         Atlantic Highly Migratory Species;                              SUMMARY:  NMFS announces that the 25-
                                                                                                                         Atlantic Bluefin Tuna Fisheries                                 mt quota available for Atlantic bluefin
                                                                                                                                                                                         tuna bycatch (including landings and
                                                                                                                         AGENCY:  National Marine Fisheries                              dead discards) by the Longline category
                                                                                                                         Service (NMFS), National Oceanic and                            in the Northeast Distant gear restricted


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Document Created: 2018-10-24 14:19:13
Document Modified: 2018-10-24 14:19:13
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionRules and Regulations
ActionFinal rule.
DatesThis final rule is effective October 19, 2017.
ContactLisa Manning, NMFS, Office of Protected Resources, [email protected], (301) 427-8466.
FR Citation82 FR 43701 
RIN Number0648-XE68
CFR Citation50 CFR 223
50 CFR 224
CFR AssociatedEndangered and Threatened Species; Exports; Transportation and Imports

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