82_FR_44078 82 FR 43897 - Endangered and Threatened Wildlife and Plants; Endangered Species Status for Sonoyta Mud Turtle

82 FR 43897 - Endangered and Threatened Wildlife and Plants; Endangered Species Status for Sonoyta Mud Turtle

DEPARTMENT OF THE INTERIOR
Fish and Wildlife Service

Federal Register Volume 82, Issue 181 (September 20, 2017)

Page Range43897-43907
FR Document2017-20072

We, the U.S. Fish and Wildlife Service (Service), list the Sonoyta mud turtle (Kinosternon sonoriense longifemorale), a turtle from Arizona in the United States and Sonora in Mexico, as an endangered species under the Endangered Species Act of 1973 (Act), as amended. This rule adds the Sonoyta mud turtle to the Federal List of Endangered and Threatened Wildlife and extends the Act's protections to this subspecies.

Federal Register, Volume 82 Issue 181 (Wednesday, September 20, 2017)
[Federal Register Volume 82, Number 181 (Wednesday, September 20, 2017)]
[Rules and Regulations]
[Pages 43897-43907]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2017-20072]



[[Page 43897]]

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DEPARTMENT OF THE INTERIOR

Fish and Wildlife Service

50 CFR Part 17

[Docket No. FWS-R2-ES-2016-0103; 4500030113]
RIN 1018-AZ02


Endangered and Threatened Wildlife and Plants; Endangered Species 
Status for Sonoyta Mud Turtle

AGENCY: Fish and Wildlife Service, Interior.

ACTION: Final rule.

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SUMMARY: We, the U.S. Fish and Wildlife Service (Service), list the 
Sonoyta mud turtle (Kinosternon sonoriense longifemorale), a turtle 
from Arizona in the United States and Sonora in Mexico, as an 
endangered species under the Endangered Species Act of 1973 (Act), as 
amended. This rule adds the Sonoyta mud turtle to the Federal List of 
Endangered and Threatened Wildlife and extends the Act's protections to 
this subspecies.

DATES: This rule is effective October 20, 2017.

ADDRESSES: This final rule is available on the Internet at http://www.regulations.gov and at http://www.fws.gov/southwest/es/arizona/. 
Comments and materials we received, as well as supporting documentation 
we used in preparing this rule, are available for public inspection at 
http://www.regulations.gov. Comments, materials, and documentation that 
we considered in this rulemaking will be available by appointment, 
during normal business hours at: U.S. Fish and Wildlife Service, 
Arizona Ecological Services Field Office, 9828 North 31st Ave #C3, 
Phoenix, AZ 85051-2517; telephone 602-242-0210.

FOR FURTHER INFORMATION CONTACT: Steve Spangle, Field Supervisor, U.S. 
Fish and Wildlife Service, Arizona Ecological Services Field Office, 
9828 North 31st Ave #C3, Phoenix, AZ 85051-2517; telephone 602-242-
0210. Persons who use a telecommunications device for the deaf (TDD) 
may call the Federal Relay Service at 800-877-8339.

SUPPLEMENTARY INFORMATION: 

Previous Federal Action

    Please refer to the proposed listing rule for the Sonoyta mud 
turtle (81 FR 64829; September 21, 2016) for a detailed description of 
previous Federal actions concerning this subspecies.

Background

    We completed a comprehensive assessment of the biological status of 
the Sonoyta mud turtle, and prepared a report of the assessment, which 
provides a thorough account of the subspecies' overall viability. We 
define viability as the ability of the subspecies to persist over the 
long term and avoid extinction. In this section, we summarize the 
conclusions of that assessment, which can be accessed at Docket No. 
FWS-R2-ES-2016-0103 on http://www.regulations.gov and at http://www.fws.gov/southwest/es/arizona/. The Sonoyta mud turtle's Species 
Status Assessment (SSA Report; Service 2017, chapter 4) contains a 
detailed discussion of our evaluation of the biological status of the 
Sonoyta mud turtle and the influences that may affect its continued 
existence.
    To assess Sonoyta mud turtle viability, we used the three 
conservation biology principles of resiliency, representation, and 
redundancy (Shaffer and Stein 2000, pp. 306-310). Briefly, resiliency 
supports the ability of the species to withstand environmental and 
demographic stochasticity (for example, wet or dry, warm or cold 
years); representation supports the ability of the species to adapt 
over time to long-term changes in the environment (for example, climate 
changes); and redundancy supports the ability of the species to 
withstand catastrophic events (for example, droughts). In general, the 
more redundant, representative, and resilient a species is, the more 
likely it is to sustain populations over time, even under changing 
environmental conditions. Using these principles, we identified the 
Sonoyta mud turtle's ecological requirements for survival and 
reproduction at the individual, population, and subspecies levels, and 
described the beneficial and risk factors influencing the subspecies' 
viability.
    We evaluated the change in resiliency, representation, and 
redundancy from the past until the present, and projected the 
anticipated future states of these conditions. To forecast the 
biological condition into the future, we devised plausible future 
scenarios by using expert information on the primary stressors 
anticipated in the future to the Sonoyta mud turtle: habitat loss and 
degradation (i.e., surface water loss and riparian vegetation loss), 
effects of climate change, and small population dynamics. To assess 
population resiliency of the Sonoyta mud turtle, we evaluated habitat 
conditions and recruitment over time. To assess representation (as an 
indicator of adaptive capacity) of the Sonoyta mud turtle, we evaluated 
the ecological and genetic diversity and connectivity over time. To 
assess redundancy, we calculated the risk of population extirpations 
given the catastrophic events. That is, we tallied the number of 
populations historically, currently, and projected into the future to 
assess the viability of the subspecies.

Subspecies Description

    The Sonoyta mud turtle is a freshwater turtle encountered in or 
near water in an otherwise arid environment that commonly experiences 
drought and extreme heat (ambient temperatures can exceed 45 degrees 
Celsius ([deg]C) (113 degrees Fahrenheit ([deg]F)). The Sonoyta mud 
turtle is one of two recognized subspecies of Sonora mud turtle 
(Kinosternon sonoriense) and has been differentiated from the other 
subspecies based on shell measurements and DNA analysis (Iverson 1981, 
p. 62; Rosen 2003, entire; Rosen et al. 2006, entire). The other 
subspecies, K. s. sonoriense, is commonly referred to as Sonora mud 
turtle. The Sonoyta mud turtle is an isolated, native endemic found in 
southern Arizona and northern Sonora, Mexico. The Sonoyta mud turtle is 
a dark, medium-sized freshwater turtle with a mottled pattern on the 
head, neck, and limbs. Average lifespan is from 10 to 12 years; 
however, one has been reported to be 39 years old.
    Minimum age of sexual maturity of female Sonoyta mud turtles is 
just under 6 years, and males around 4 years (Rosen and Lowe 1996, pp. 
14-16). Mating occurs in water from April to late June. Ovulation and 
shelling of eggs begins in June, and eggs remain in the oviducts until 
the monsoon rains occur from mid to late July through September (van 
Loben Sels et al. 1997, p. 343). In mid to late July through September, 
females leave the water briefly to lay eggs in terrestrial nests. Eggs 
may undergo embryonic diapause (delayed embryo development) in the nest 
for up to 11 months after being laid. Development begins as eggs warm 
during the following spring and takes about 80 days, and hatchlings 
emerge and disperse from the nest the following year to coincide with 
the onset of summer rains (van Lobel Sels et al. 1997, p. 343; Ernst 
and Lovich 2009, p. 497; Stone et al. 2015, p. 735).

Habitat and Range

    The Sonoyta mud turtle is found in southern Arizona and 
northwestern Mexico and depends on aquatic habitat with adjacent 
terrestrial habitat. Its habitats commonly experience drought and 
extreme heat. Historically, the Sonoyta mud turtle was limited in its

[[Page 43898]]

distribution to the Rio Sonoyta basin in Arizona and Sonora, Mexico. 
There are five historical records of the subspecies being found within 
three historical perennial sections of the Rio Sonoyta, including the 
Sonoyta, Santo Domingo, and Papalote (also referred to as Agua Dulce) 
reaches (Rosen et al. 2010, p. 152), which we assume supported three 
populations. Perennial waters likely flowed through these three 
sections of the Rio Sonoyta separated by seasonally ephemeral sections 
(figure 3.1.1.b of the SSA Report), and groundwater also supported 
springs and cienegas (wet, marshy areas) in the area (Miller and Fuiman 
1987, p. 602; Schoenherr 1988, p. 110; Hendrickson and Varela-Romero 
1989, p. 481). These three distinct perennial reaches of the Rio 
Sonoyta together likely provided 19 to 27 kilometers (km) (12 to 17 
miles (mi)) of stream habitat for the Sonoyta mud turtle. The Rio 
Sonoyta probably flowed for short periods during wet seasons, providing 
connectivity for mud turtles, with the stream rapidly retracting during 
the dry season, as it still does today. During periods of above-average 
precipitation, the river may have been continuous for longer periods, 
making turtle population connectivity more likely along Rio Sonoyta. We 
assume that the historical locations of the Sonoyta mud turtles were in 
areas of the Rio Sonoyta basin that maintained perennial surface water 
at all times except, possibly, during rare, protracted drought periods. 
These locations may no longer have reliable surface water to support 
mud turtles or sufficient surface water to support as large a 
population as they used to (Paredes-Aguilar and Rosen 2003, p. 2; Rosen 
et al. 2010, p. 155). Perennial water also existed outside of the Rio 
Sonoyta in cienegas such as one fed by Quitobaquito Springs on Organ 
Pipe Cactus National Monument. Quitobaquito Springs is predominately 
supplied by groundwater (Carruth 1996, pp. 14, 18).
    In the SSA Report, we define a population of Sonoyta mud turtles as 
a group of interbreeding individuals living in an ecological community 
and separated from other populations by barriers including desert 
upland (overland, not connected by riparian or xeroriparian habitat) or 
in-channel distances that lack water most of the time. Currently, five 
populations of Sonoyta mud turtles occur. Three of these populations 
are historical populations--Quitobaquito Springs, and the Sonoyta and 
Papalote reaches of the Rio Sonoyta. However, the Sonoyta reach has now 
been reduced to a much smaller reach referred to as Xochimilco. There 
are two new populations--the Sonoyta sewage lagoon and Quitovac in 
Mexico, which were historically unknown and only discovered in 2002 but 
likely were present since the 1990s (Knowles et al. 2002, p. 74). These 
two new populations are not connected hydrologically to each other or 
to the Rio Sonoyta populations and it is likely that humans 
transplanted turtles from the Rio Sonoyta to these sites. One other 
historical population is considered extirpated--Santo Domingo. Of the 
five extant populations, one is in the United States in the pond and 
channel associated with Quitobaquito Springs in Organ Pipe Cactus 
National Monument, Arizona. The other four populations are in Sonora, 
Mexico (Rosen et al. 2010, p. 152). Two populations in the Rio Sonoyta 
in the Papalote reach and Xochimilco reach are extant, but perennial 
water flow in these reaches is reduced from historical levels. Since 
these perennial reaches in the Rio Sonoyta are greatly reduced or gone, 
the connectivity among these remaining populations is highly unlikely. 
The other two extant populations are the Sonoyta sewage lagoon and 
Quitovac in Mexico. Quitovac consists of multiple springs impounded to 
form a pond. The Sonoyta sewage lagoon site consists of two lagoons of 
raw sewage. A new wastewater treatment plant has been constructed to 
replace the Sonoyta sewage lagoons. However, this new plant has yet to 
begin operating and it is unclear when it will open. The amount of 
water and riparian vegetation provided at the new plant is less than 
that provided at the sewage lagoons and only a portion of the Sonoyta 
mud turtles are likely to be transplanted.
    The population at Quitobaquito Springs has been extensively 
monitored since the early 1980s. Surveys in the Rio Sonoyta basin in 
Sonora, Mexico, from 2001 through 2006 provide most of our knowledge of 
the current populations in Mexico (table 3.2.2 of the SSA Report; 
Paredes-Aguilar and Rosen 2003, entire; Knowles et al. 2002, entire; 
Rosen et al. 2010, pp. 152-153). However, we have low confidence that 
the population sizes for the Sonora populations remain at 2006 levels 
today, as many changes since the early 2000s have reduced or degraded 
habitat at most of the sites that still support Sonoyta mud turtles. In 
October 2001, a single turtle was found in a soup-bowl-sized remnant of 
water at the semi-perennial spring in the Santo Domingo reach (Santo 
Domingo is in the Rio Sonoyta and is the location of one of the five 
historical records of Sonoyta mud turtle listed above; Rosen et al. 
2010, pp. 152-153), and we now think this historical population is 
likely extirpated due to loss of perennial surface water in this reach 
(Rosen 2016, pers. comm.).

Species Needs

    Sonoyta mud turtles depend on aquatic habitat for foraging, 
shelter, and mating and terrestrial habitat for nesting and estivating. 
The Sonoyta mud turtle historically occupied habitat in cienegas and 
streams supported by groundwater-fed springs. Natural aquatic habitats 
of Sonoyta mud turtles are sustained by groundwater discharged from 
springs and augmented by seasonal rainfall. Terrestrial habitat that 
maintains soil moisture needed for Sonoyta mud turtles occurs in 
riparian areas along the banks of ponds and streams, including 
intermittently dry sections of a stream channel. However, natural 
aquatic habitats are highly limited. Sonoyta mud turtles can also be 
sustained by modified natural habitats or completely human-created 
habitats that provide similar permanent or almost permanent surface 
water. Currently, populations still occur within stream habitat, but 
all the cienegas have been modified from their natural state.
    For the Sonoyta mud turtle to maintain viability, its populations, 
or some portion of its populations, must be resilient enough to 
withstand stochastic events such as fluctuations in water levels, 
habitat modification, and introduction of nonnative predators. In the 
SSA Report, we categorized the potential resiliency of populations of 
the subspecies. We developed four different resiliency levels: High, 
medium, low, and none. In a highly resilient Sonoyta mud turtle 
population, all or the majority of turtles are able to complete their 
life functions, breeding maintains a stable or increasing population, 
and the population is able to withstand stochastic events or recover 
from stochastic events from connected populations. Influencing those 
factors are elements of Sonoyta mud turtle habitat that determine 
whether survivorship among age classes is achieved, thereby increasing 
the resiliency of populations. These factors include perennial or near 
perennial water (i.e., 10 to 11 months annually for consecutive years) 
of sufficient volume and extent with connectivity to other populations, 
terrestrial riparian habitat with soil moisture, high invertebrate prey 
abundance, and lack of problem nonnative species. The factors used to 
develop these resiliency levels are discussed below.

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                        Table 1--Population Resiliency Categories for Sonoyta Mud Turtle
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             High (Good)                       Moderate                   Low                      None
----------------------------------------------------------------------------------------------------------------
A population with high resilience is   A population with        A population with low    A population with no
 where:                                 moderate resilience is   resilience is one        resiliency is one that
 All or the majority of         where:                   where:                   might be extirpated
 turtles are able to complete their     Some turtles     Some or few      completely.
 life functions;                        can complete life        turtles can complete
 Breeding is successful to      functions;.              life functions;.
 maintain a stable or increasing        Some turtles     Some or few
 population;                            have some successful     turtles have
 Population is able to          breeding, but            successful breeding,
 withstand stochastic events or         population is not        but population is
 recover from stochastic events from    increasing;.             decreasing;.
 connected populations.                 Population       Population is
                                        could be stable or       not able to withstand
                                        decreasing;.             stochastic events, and
                                        Population       is not able to recover
                                        could withstand some     through the
                                        stochastic events or a   immigration of
                                        portion of the           connected populations..
                                        population could
                                        withstand stochastic
                                        events, but population
                                        is not able to recover
                                        through the
                                        immigration of
                                        connected populations..
----------------------------------------------------------------------------------------------------------------

Surface Water

    Sonoyta mud turtles require perennial or mostly perennial water to 
complete their life-history functions and avoid desiccation. We define 
near-perennial as water present more than 10 to 11 months of the year 
for multiple years. Aquatic habitat in ponds and streams with water 2 
meters (m) (6.5 feet (ft)) deep, with a rocky, muddy, or sandy 
substrate, and emergent or submergent vegetation, or both is needed 
(NPS 2015, p. 2; Paredes-Aguilar and Rosen 2003, p. 5-7; Rosen 2003, p. 
5; Rosen et al. 2010, p. 14). Hatchling, juvenile, and sub-adult 
turtles prefer aquatic habitat with shallow water and dense emergent 
vegetation and overhanging vegetation along the stream channel or pond 
margin that provides foraging opportunities as well as protection from 
predators (Rosen 1986, pp. 14 and 36; Rosen and Lowe 1996, p. 11). 
Adults will also use shallow water habitat, but prefer aquatic habitat 
with accessible, deeper, open water (up to 2 m (6.5 ft)) when 
available, and submerged vegetation for feeding on benthic and plant-
crawling invertebrates along the substrate (Rosen 1986, pp. 14, 16; 
Rosen and Lowe 1996, p. 11). Adults, juveniles, and subadults also use 
aquatic habitat with structure that provides protection from predators 
such as root masses, complex rock features, and undercut banks. Turtle 
recruitment can be affected by the amount of surface water available, 
how long it is available, as well as its fluctuation. In addition, 
hydrologic connectivity is needed for a population to recover from a 
stochastic event.

Terrestrial Habitat

    Sonoyta mud turtles need terrestrial habitat that maintains soil 
moisture for Sonoyta mud turtles in riparian areas along the banks of 
ponds and streams, including intermittently dry sections of stream 
channels. Riparian habitat provides shadier, cooler, and moister 
conditions than the adjacent upland areas. Sonoyta mud turtles likely 
need moist soil for nesting to prevent desiccation of eggs and 
estivation sites to prevent desiccation of juveniles and adults. 
Riparian vegetation may also provide some level of protection from 
terrestrial predators while turtles are out of the water. Sonoyta mud 
turtles further need accessible shoreline without insurmountable rock 
or artificial vertical barriers to allow for movement between wetted 
sites, between aquatic habitat and terrestrial nest sites, and between 
water and estivation sites.

Invertebrate Prey

    Sonoyta mud turtle hatchlings and juveniles need shoreline 
invertebrate fauna, while subadults and adults need bottom dwelling 
(i.e. on or in the sediment) and plant-crawling invertebrates. Aquatic 
habitat with emergent and submerged vegetation or the substrate of 
ponds and streams is needed to support prey for Sonoyta mud turtles 
(Rosen 1986, pp. 14, 31; Rosen and Lowe 1996, pp. 32-35). Aquatic 
invertebrates primarily live on and require a variety of prey such as 
algae, diatoms, and other microorganisms. In habitats with poor aquatic 
invertebrate faunas, Sonoyta mud turtles will shift to omnivorous 
feeding, including plants and vertebrates. When invertebrates are 
abundant, and competition is low, turtles grow rapidly and have 
sufficient fat content to support reproduction.

Nonnative Predators and Competitors

    Sonoyta mud turtles need aquatic habitat free of problematic 
nonnative predators and competitors such as crayfish, American 
bullfrogs, sunfish, black bullheads, African cichlid fishes (tilapia), 
western mosquitofish, and exotic turtles. Competition between nonnative 
species and mud turtles for food likely results in disruption of the 
food chain and alteration of the invertebrate community (Taylor et al. 
1984, pp. 330-331; Fernandez and Rosen 1996, pp. 39-40; Duncan 2013, p. 
1). Such competition, in turn, likely decreases the type and amount of 
aquatic invertebrate prey available to Sonoyta mud turtles (Fernandez 
and Rosen 1996, pp. 39-40) and leads to lower fitness of turtles.
    Sonoyta mud turtles need genetic or ecological diversity to adapt 
to changing environmental conditions. The more representation, or 
diversity, a species has, the more it is capable of adapting to changes 
(natural or human-caused) in its environment. Representation can be 
measured by the breadth of genetic or environmental diversity within 
and among populations and gauges the probability that a species is 
capable of adapting to environmental changes. Currently, the Sonoyta 
mud turtle exhibits genetic and ecological diversity. Maintaining gene 
flow among populations and counteracting genetic drift and deleterious 
effects of inbreeding connectivity among populations are needed. A 
minimum of 1 and maximum of 10 migrants per generation is needed to 
successfully breed in populations of a species (Mills and Allendorf 
1996, p. 1517; Nathan et al. 2017, p. 270; Wang 2004, p. 341). This is 
a large range of migrants per generation, and we do not know where 
within this range the Sonoyta mud turtle falls to maintain genetic 
diversity among the fragmented populations of the subspecies. Genetic 
analysis conducted in the mid-2000s reveals that successful migration 
has likely occurred

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in the past (Rosen 2006, p. 10). Maintaining representation in the form 
of genetic or ecological diversity is important to maintain the Sonoyta 
mud turtle's capacity to adapt to future environmental changes.
    The Sonoyta mud turtle needs multiple resilient populations spread 
over its historical range distributed in such a way that a catastrophic 
event will not result in the loss of all populations. In addition, 
hydrologic connectivity is needed for a population to recover from a 
catastrophic event. We do not have an estimate of how many populations 
are needed to withstand localized loss of habitat and maintain 
redundancy. However, the loss of Quitobaquito Springs, Quitovac, and 
either Rio Sonoyta Papalote or Rio Sonoyta Xochimilco would reduce the 
representation for the subspecies.

Summary of Biological Status and Threats

    The primary negative factor affecting the future viability of the 
Sonoyta mud turtle is continued loss of water that supports aquatic and 
riparian habitat. The sources of water loss affecting Sonoyta mud 
turtles include groundwater pumping, drought, changes to wastewater 
infrastructure, consumption by livestock, surface water diversion, and 
habitat manipulation. Of these sources, water loss caused by drought 
and groundwater pumping, both of which are exacerbated by climate 
change and changes to wastewater infrastructure, are the primary causes 
of population-level impacts to the Sonoyta mud turtle. The other 
sources of water loss are not likely to have population-level impacts 
unless mining near Quitovac is intensified and unregulated. However, 
the Quitovac site is routinely dredged, resulting in direct impacts to 
Sonoyta mud turtles and prey. All of these factors are additive in 
terms of impacts to populations that are already stressed by the 
primary activities causing population-level impacts. In addition, 
impacts from climate change (discussed below) are expected to 
exacerbate water loss.
    Ground water pumping impacts the amount of surface water in areas 
used by Sonoyta mud turtles because the perennial sections of the Rio 
Sonoyta as well as the pond at Quitobaquito Springs and Quitovac are 
supplied by ground water. Diminished water reduces the amount of space, 
prey, and cover (from predators and for estivation) available to mud 
turtles. Reduction in aquatic habitat (i.e., space) leads to crowding 
and increased competition for limited resources (Stanila 2009, p. 45). 
Sonoyta mud turtles in dry or low surface water reaches will burrow in 
channels to escape desiccation for a short period of time. However, the 
ability of Sonoyta mud turtles to estivate may depend on behavioral 
cues provided by the level of permanence of water they reside in (Ligon 
and Stone 2003, p. 753; Stanila 2009, p. 45). After time, burrows 
themselves may become too dry; turtles will lose fat reserves due to 
lack of foraging opportunity; females may not have viable eggs due to 
lack of nutrition and fat reserves, thereby reducing reproduction; and 
eventually turtles will die from either starvation or desiccation. If 
water is not reliably present all year and absent beyond the dry 
season, turtles are not able to forage; may not reproduce; and, as 
drought periods lengthen, may eventually desiccate (Stanila 2009, p. 
45).
    Sonora mud turtles that live in permanent bodies of water have 
shown highly aquatic behavior with little terrestrial behavior or 
movement between water sources, while Sonora mud turtles in more 
ephemeral habits have been documented moving through or out of dry 
stream beds to reach wetted pools, for winter hibernation, or for 
estivation during drought as a drought-survival strategy (Hall and 
Steidl, 2007, pp. 406-408; Hensley et al. 2010, pp. 181-182; Ligon and 
Stone 2003, pp. 752-753; Stone 2001, pp. 46-51). Prolonged and 
recurrent estivation is expected to reduce fitness and increase 
mortality (Peterson and Stone 2000, pp. 692-698). Variation in body 
size among populations of Sonora mud turtles appears to be related to 
water permanence, and body size was significantly larger in permanent 
habitats compared to intermittent and ephemeral habitats (Stanila 2009, 
p. 31). In permanent water sites, growth and body size are positively 
correlated with aquatic invertebrate abundance at a site (Rosen and 
Lowe 1996, pp. 33, 35).
    Reduced surface water and ground water reduce the survival and 
growth of vegetation in the riparian areas. Reductions in riparian 
habitat decrease subsurface moisture needed for nesting sites; drought 
refuge for hatchlings, juvenile, and adult turtles; and shelter from 
large flooding events for hatchlings, juveniles, and adults. It is 
likely that only adults will be the most resistant to severe droughts. 
Decreased riparian vegetation will lead to deterioration of the 
microclimate that provides soil moisture for nest sites and burrows.
    Water permanence may also affect the diversity of aquatic 
invertebrate prey available for mud turtles, with ephemeral habitats 
having lower diversity than intermittent or perennial habitats (Stanila 
2009, p. 38), in addition to the presence of nonnative aquatic species 
that compete for prey. When invertebrates are abundant, and competition 
is low, turtles grow rapidly and have sufficient lipid content to 
support reproduction. Turtle recruitment is likely driven in 
significant part by invertebrate prey available because nutritional 
stress on females may result in a reduction in annual survivorship 
(Rosen and Lowe 1996, p. 41). Competition from nonnatives could 
decrease the type and amount of aquatic invertebrate prey available to 
Sonoyta mud turtles (Fernandez and Rosen 1996, pp. 39-40) and lead to 
lower fitness of turtles. Because high average annual juvenile 
survivorship is required for populations of long-lived organisms to 
maintain population stability (Congdon et al. 1993, pp. 831-832; 
Congdon et al. 1994, pp. 405-406), nonnative predators that reduce 
recruitment in Sonoyta mud turtle populations likely cause population 
declines.
    The current prognosis of climate change impacts on the Sonoran 
Desert includes fewer frost days; warmer temperatures; greater water 
demand by plants, animals, and people; and an increased frequency of 
extreme weather events (heat waves, droughts, and floods) (Weiss and 
Overpeck 2005, p. 2074; Archer and Predick 2008, p. 24). Any reductions 
in annual rainfall, coupled with the hotter temperatures that are 
projected with very high confidence (and that will alone bring 
reductions in aquifer inputs due to higher evaporation rates), would 
have negative effects on aquifers across the Southwest. Virtually any 
plausible future climate scenario projects longer dry spells between 
rains, which can have more severe impacts on the landscape, especially 
in spring and summer (Lenart 2008, entire).

Current Condition

    Currently, five known populations of Sonoyta mud turtle remain. The 
perennial water supporting four of the five turtle extant populations 
has been reduced, and all five populations are isolated from one 
another. For the sole population in the United States, discharge from 
Quitobaquito Springs has diminished by 42 percent over the past 35 
years, with 5,500 cubic feet (cf)/day average discharge measured in the 
period 1981-1992, down to 3,157 cf/day measured from 2005-present 
(Carruth 1996, pp. 13, 21; Holm 2016, pers. comm.). Thus far, declining 
spring flow has been associated with less than 30 centimeters (cm) (12 
inches (in)) of surface water level decline at the pond,

[[Page 43901]]

the depth of which ranges from 81 to 94 cm (32 to 37 in). This could 
indicate that current lower water levels of the pond are also caused by 
leakage or evapotranspiration, not just reduced spring flow. Excluding 
young-of-the-year (< 40 mm (1.6 in) carapace length), population 
estimates since 1984 ranged from a low of 39 turtles in 2005 to a high 
of 189 in 2013 with an average annual population estimate of 110 
turtles. The population estimate for 2015 was 141 turtles.
    In Mexico, the two populations in the Xochimilco and Papalote 
reaches of the Rio Sonoyta are isolated from one another even more than 
they used to be historically because the lengths of the perennial 
reaches have contracted. Added to this, a previously extant population 
in the Santa Domingo reach that was located between Xochimilco and 
Papalote reaches is no longer extant due to a complete lack of 
perennial water. The perennial waters in these three reaches have 
decreased by 80 to 92 percent from 19-27 km (11.8-16.8 mi) historically 
to approximately 1.5-5.5 km (0.9-3.4 mi) currently (table 1 and figure 
3.1.1 of the SSA Report). Periodic movement between populations in the 
Rio Sonoyta basin may occur during prolonged periods of high rainfall, 
but the extent of immigration and emigration of turtles is unknown. 
However, it is thought to be rare to limited due to distances between 
populations coupled with limited hydrological connection.
    Currently, the status of the Xochimilco population is unknown, but 
abundance is almost certainly far less, considering the reduced spatial 
and temporal extent of surface water. A total of 57 turtles have been 
marked in the Papalote reach in 2017, for a mark-recapture study that 
will provide better information on the status of the Sonoyta mud turtle 
in this reach in the next few years.
    The population at the Sonoyta sewage lagoon adjacent to the Rio 
Sonoyta has the most reliable source of water at this time and may be 
the largest of the five populations based on water availability, but we 
have no current data on numbers of turtles at this site. If a new 
wastewater treatment plant is completed for the town of Sonoyta, the 
existing Sonoyta sewage lagoons will be drained and the new wastewater 
treatment plant will have 75 percent less habitat available for Sonoyta 
mud turtles. The fourth population in Mexico at Quitovac is outside of 
the Rio Sonoyta watershed, in the Rio Guadalupe basin, and has no 
present-day hydrological connection to the Rio Sonoyta. In addition, 
the Quitovac site was just recently completely dredged and the current 
status of Sonoyta mud turtles at that location is unknown.

Future Condition

    The future resiliency of Sonoyta mud turtle populations depends on 
future water quantity, available riparian habitat, available 
invertebrate prey, and absence of certain nonnative aquatic species. In 
addition, if the new wastewater treatment plant becomes operational and 
replaces the Sonoyta sewage lagoons, this will be a reduction in water 
and riparian habitat for the Sonoyta mud turtle. Further, only a 
portion of the Sonoyta mud turtles are likely to be transplanted. 
Because there is uncertainty regarding how and when surface water loss 
and associated riparian habitat impairment may occur, as well as if and 
when various nonnative species may occur, we projected what the effects 
to the Sonoyta mud turtle may be in terms of population resiliency and 
species redundancy and representation under three plausible future 
scenarios over three meaningful time frames: 7 years, 35 years, and 70 
years. We chose 7 years based on the area's drought cycle, 35 years 
because it incorporates both the maximum life span of the species and 
the mid-century climate projections for the southwestern United States, 
and 70 years because it is within the range of the available drought 
and climate change model forecasts and is about twice the maximum life 
span of the species (Lenart 2008, entire; Strittholt et al. 2012, 
entire; Garfin et al. 2013, entire).
    Since surface water availability limits the other elements and the 
carrying capacity of the site, the ranking of the surface water was 
weighted higher than the other metrics. This means that if surface 
water was ranked moderate and all other elements were ranked high, the 
overall ranking would be moderate. We are presenting the moderate case 
scenarios, as we have determined that this is the most likely future 
scenario based on our understanding of the future conditions of climate 
change and groundwater pumping.

      Table 2--Summary of Sonoyta Mud Turtle Population Resiliency Under Scenario 2--Moderate Case at Each Time Step Compared To Current Condition
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                                     Current                                Moderate case scenario
                                                            --------------------------------------------------------------------------------------------
              Country                    Population name                                     7-year                35-year                70-year
                                                                    Condition       --------------------------------------------------------------------
                                                                                           time step              time step              time step
--------------------------------------------------------------------------------------------------------------------------------------------------------
United States......................  Quitobaquito Springs..  Moderate..............  Moderate.............  Moderate.............  Low
Mexico.............................  Papalote Reach (Agua    Moderate..............  Moderate.............  None.................  None
                                      Dulce).
                                     Sonoyta Sewage Lagoon.  Moderate..............  Low..................  None.................  None
                                     New Sonoyta wastewater  None..................  Moderate.............  Moderate.............  Moderate
                                      treatment plant.
                                     Xochimilco Reach......  Low...................  Low..................  None.................  None
                                     (Sonoyta Reach).......
                                     Quitovac..............  Low...................  Low..................  Low..................  Low
                                     Santo Domingo.........  None..................  None.................  None.................  None
--------------------------------------------------------------------------------------------------------------------------------------------------------

Summary of Changes From the Proposed Rule

    In preparing this final rule, we reviewed and fully considered 
comments we received from the public and peer reviewers on the SSA 
Report and proposed rule. We received numerous comments and new 
information from peer reviewers on the science and analysis in the SSA 
Report, and we have updated the SSA Report to incorporate these 
accordingly. In addition, we met with the National Park Service (NPS) 
to discuss the SSA Report, and we updated the SSA Report with the 
information NPS provided. This final rule incorporates minor changes to 
our proposed listing based on the comments we received, as discussed 
below in Summary of Comments and Recommendations. We

[[Page 43902]]

received multiple comments from peer reviewers that we underestimated 
some of the future risks to Sonoyta mud turtle populations. We have 
reevaluated the viability of the Sonoyta mud turtle in the SSA Report 
given this new information. These data allowed us to refine our risk 
assessment; thus, the final results are slightly different from those 
in the proposed rule. We found the probability of persistence lower 
than in the proposed rule. The new information we received in response 
to the proposed rule did not change our determination that the Sonoyta 
mud turtle is an endangered species, nor was it significant enough to 
warrant reopening the public comment period on the proposed rule.

Summary of Comments and Recommendations

    In the proposed rule published on September 21, 2016 (81 FR 64829), 
we requested that all interested parties submit written comments on the 
proposal by November 21, 2016. We also contacted appropriate Federal 
and State agencies, scientific experts and organizations, and other 
interested parties and invited them to comment on the proposal. 
Newspaper notices inviting general public comment were published in the 
Arizona Daily Star. We did not receive any requests for a public 
hearing.
    We reviewed all comments we received in response to the proposed 
rule for substantive issues and new information. We did not receive any 
comments from Federal agencies, States, or Tribes, and the public 
comments we received only stated a preference for listing or not 
listing the subspecies without including any substantive comments 
regarding the sufficiency of our analysis. All substantive information 
provided by peer reviewers during the comment period has either been 
incorporated directly into this final determination or is addressed 
below.

Peer Reviewer Comments

    In accordance with our peer review policy published on July 1, 1994 
(59 FR 34270), we solicited expert opinion from eight knowledgeable 
individuals with scientific expertise that included familiarity with 
the Sonoyta mud turtle and its habitat, biological needs, and threats, 
or the nominate subspecies Sonora mud turtle. We received responses 
from six of the peer reviewers.
    We reviewed all comments received from the peer reviewers for 
substantive issues and new information regarding the listing of Sonoyta 
mud turtle. The peer reviewers generally concurred with our methods and 
conclusion, and provided additional and pertinent information, 
clarifications, and suggestions to improve the SSA Report and, 
therefore, the final rule. Peer reviewer comments are addressed in the 
following summary and incorporated into the SSA Report and this final 
rule as appropriate.
    (1) Comment: One peer reviewer stated that the new wastewater 
treatment facility is not constructed, nor are there in-place plans to 
populate it, and there is currently no guarantee that whatever habitat 
is constructed will actually be suitable.
    Our Response: We made revisions throughout the SSA Report to 
acknowledge the uncertainty related to future habitat for the Sonoyta 
mud turtle at the new wastewater treatment plant in the town of 
Sonoyta, Sonora, Mexico.
    (2) Comment: One peer reviewer identified the importance of 
stipulating that the historical range and populations of the Sonoyta 
mud turtle are only those that are known or have been documented.
    Our Response: We acknowledge that these are only the known 
populations of the Sonoyta mud turtle. While historically there could 
have been other populations, the best available commercial and 
scientific information does not indicate any other additional 
populations.
    (3) Comment: One peer reviewer stated that he is not convinced that 
development of Sonoyta mud turtle embryos takes 80 days and is delayed 
after the eggs are laid, as stated in Ernst and Lovich (2009, p. 497).
    Our Response: We acknowledge uncertainty regarding the timing of 
embryo development, or diapause, in the Sonoyta mud turtle. However, 
these specific steps in the reproductive process are also noted in van 
Lobel Sels et al. (1997, p. 497) and Stone et al. (2015, p. 735). The 
best available commercial and scientific information indicates that 
diapause likely occurs in this subspecies as it does in the nominate 
subspecies.
    (4) Comment: One peer reviewer stated that we are assuming that 
Sonoyta mud turtles need riparian areas with moist soil.
    Our Response: We acknowledge uncertainty around the terrestrial 
habitat needs of the Sonoyta mud turtle. However, we have high 
confidence that this subspecies uses areas with more shade and 
increased soil moisture to prevent desiccation of eggs in nest sites 
and turtles in estivation sites. Without suitable soil moisture, eggs 
will desiccate, and while the threshold is unknown, at some point the 
loss of soil moisture will impact egg survival. In the extremely arid 
environment where the Sonoyta mud turtle exists, riparian areas provide 
more shade and soil moisture than the surrounding uplands and, 
therefore, provide better habitat for nests.
    (5) Comment: One peer reviewer stated that some nonnative aquatic 
species can be both predator and competitor to the Sonoyta mud turtle, 
and that not all nonnatives are harmful to the Sonoyta mud turtle.
    Our Response: In the SSA Report, we clarified that only certain 
nonnative aquatic species are predators of the Sonoyta mud turtle, and 
we identify those that are a potential threat. We also clarified that 
only certain other nonnative aquatic species, as well as native fish 
species, may compete with Sonoyta mud turtles for invertebrate prey or 
disrupt the prey food chain. Further, we clarified the effects to the 
Sonoyta mud turtle from predation and competition from these specific 
nonnatives.
    (6) Comment: Multiple peer reviewers thought that our viability 
projections for the Sonoyta mud turtle in chapter 5 of the SSA Report 
were overly optimistic based on uncertainty of the current status of 
populations in Mexico and because we underestimated the threats of 
introduction of nonnative aquatic species and climate change to the 
subspecies. Conversely, one peer reviewer thought we overestimated the 
threat of nonnatives persisting at Quitobaquito Springs because NPS 
would probably remove the threat.
    Our Response: We agree that viability projections for the Sonoyta 
mud turtle were overly optimistic because of the high uncertainty of 
the number of turtles in the Mexico populations and that we 
underestimated some of the threats, such as long-term drought, 
nonnatives, and loss of connectivity, to the Sonoyta mud turtle. We 
modified the SSA Report accordingly. We also agree that the nonnatives 
at Quitobaquito Springs have been removed by NPS in the past; however, 
no mechanism ensures that changing resource priorities and funding 
constraints will not be an issue in the future. We have modified the 
SSA Report accordingly.
    (7) Comment: Several peer reviewers noted that statements in the 
SSA Report that require citations to support them. For example, one 
peer reviewer believed that the statement ``prolonged and recurrent 
estivation will reduce fitness and increase mortality'' was entirely 
speculative. Similarly, another peer reviewer indicated the 
uncertainties acknowledged in the SSA Report reduce

[[Page 43903]]

its predictive value (e.g., effects of transitioning to the new sewage 
treatment plant, likelihood of introduction of nonnative species, 
status of the turtle on Tohono O'odham Nation lands, long-term genetic 
viability, and continued ability of State and Federal agencies to 
manage for this species).
    Our Response: We revised the SSA Report to add citations to support 
statements where needed throughout the document. We also recognize that 
the SSA Report contains uncertainties, and throughout the document we 
identify these uncertainties as well as quantify or clarify our level 
of uncertainty. However, because we are required by the Act (16 U.S.C. 
1531 et seq.) to complete this determination based on the best 
available scientific and commercial information, we must move forward 
without resolving all potential uncertainties.
    (8) Comment: One peer reviewer noted that the distribution map on 
page 4, figure 2.1.1., of the SSA Report is a bit out of date. 
Specifically, the Quitovac locality is not shown, and there are now 
many more localities in northeastern Sonora (see the Madrean 
Archipelago Biodiversity Assessment and Madrean Discovery Expeditions 
databases).
    Our Response: Figure 2.1.1. in the SSA Report is used to 
demonstrate the general distribution of the two mud turtle subspecies, 
Sonora and Sonoyta, in relation to each other, not to delineate the 
current range or distribution of either subspecies.

Public Comments

    We received only comments stating a preference for listing or not 
listing the subspecies. We did not receive any substantive comments 
regarding the sufficiency of the analysis.

Determination

Standard for Review

    Section 4 of the Act (16 U.S.C. 1533), and its implementing 
regulations at 50 CFR part 424, set forth the procedures for adding 
species to the Federal Lists of Endangered and Threatened Wildlife and 
Plants. Under section 4(a)(1) of the Act, we may list a species based 
on (A) The present or threatened destruction, modification, or 
curtailment of its habitat or range; (B) Overutilization for 
commercial, recreational, scientific, or educational purposes; (C) 
Disease or predation; (D) The inadequacy of existing regulatory 
mechanisms; or (E) Other natural or manmade factors affecting its 
continued existence. Listing actions may be warranted based on any of 
the above threat factors, singly or in combination.
    The fundamental question before the Service is whether the species 
meets the definition of ``endangered species'' or ``threatened 
species'' under the Act. To make this determination, we evaluated the 
projections of extinction risk, described in terms of the condition of 
current and future populations and their distribution (taking into 
account the risk factors and their effects on those populations). For 
any species, as population condition declines and distribution shrinks, 
the species' extinction risk increases and overall viability declines.

Sonoyta Mud Turtle Determination of Status Throughout All of Its Range

    We have carefully assessed the best scientific and commercial 
information available regarding the past, present, and future threats 
to the Sonoyta mud turtle. Currently, the five extant populations are 
all significantly isolated from one another such that recolonization of 
areas previously extirpated or areas that may be extirpated is 
extremely unlikely. Expert input provided during the development of the 
SSA Report indicated that connectivity or movement among the 
populations is a rare or nonexistent occurrence. The species' range has 
been reduced by 80 to 92 percent in the Rio Sonoyta (Factor A) in 
Mexico, and current distribution is limited to five populations in 
three ponds totaling less than 7 ha (less than 17.5 ac) and two 
perennial sections of the Rio Sonoyta totaling 1.5 to 5.5 km (0.9 to 
3.4 mi). Two historical populations are extirpated due to loss of 
perennial water. There are two newly discovered extant populations in 
addition to the three historical populations that remain. One is within 
a wastewater treatment plant where the impacts from facility management 
and water quality make monitoring difficult and may be adverse to 
Sonoyta mud turtle viability, and the other is outside the Rio Sonoyta 
basin, which is likely outside the historical range of the species. 
None of the five populations are classified as having ``high'' 
resiliency, described in the SSA Report as ``all or the majority of 
turtles are able to complete their life functions and breeding is 
successful to maintain a stable or increasing population, and able to 
withstand stochastic events or recover from stochastic events from 
connected populations.'' Even with a resiliency classified as 
``moderate'' in three populations, we expect stable or decreasing 
populations that are not able to recover from stochastic events. The 
remaining two populations have few turtles able to complete life 
functions, a decreasing population, and inability to withstand or 
recover from stochastic events. All five of these populations are 
currently facing stressors and are susceptible to current and ongoing 
impacts.
    Habitat loss from anthropogenic ground water withdrawals and long-
term drought is occurring rangewide and is likely to continue and 
increase in the near term (Factors A and E). This reduction in water 
restricts the limited available habitat and decreases the resiliency of 
Sonoyta mud turtle populations within those habitats. We find that 
ongoing cyclical drought is likely to continue and be exacerbated by 
climate change, further decreasing water availability and increasing 
evapotranspiration losses (Factors A and E). This threat is ongoing, 
rangewide, and expected to increase in the future. Predation by 
nonnative aquatic species has occurred at two sites in Mexico, although 
there is uncertainty with regard to the population effects (Factor C). 
Predation by nonnative aquatic species reduces recruitment and 
population size of populations of Sonora mud turtle, and it is likely 
to continue to affect Sonoyta mud turtle populations in the future. The 
Quitovac population's current habitat was just recently completely 
dredged (Factor A), and the current status of Sonoyta mud turtles at 
that location is unknown. Partial dredging in the near term is likely 
to occur based on past dredging activity. It is reasonably likely that 
a catastrophic event could occur imminently at one or more of the 
population sites, and current population resiliency and redundancy are 
inadequate to maintain population viability.
    The implementation of the conservation measures by NPS and the 
Quitobaquito Rio Sonoyta Working Group has resulted in maintaining the 
only Sonoyta mud turtle population in the United States and reduces the 
risk of loss of at least one population in Mexico. However, the 
conservation measures do not alleviate the threats that are influencing 
the resiliency, redundancy, and representation of the Sonoyta mud 
turtle across its range (as described above).
    The Act defines a ``species'' as including 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 Act defines an ``endangered species'' as any species that is ``in 
danger of extinction throughout all or a significant portion of its 
range'' and a ``threatened species'' as

[[Page 43904]]

any species ``that is likely to become endangered throughout all or a 
significant portion of its range within the foreseeable future.'' Based 
on the information presented in the SSA Report for the Sonoyta mud 
turtle, and the discussion above, we find that the best available 
scientific and commercial information indicates that the Sonoyta mud 
turtle is presently in danger of extinction throughout its entire range 
based on the severity and immediacy of threats currently impacting the 
subspecies. The overall range has been significantly reduced; the 
limited remaining habitat and populations are currently threatened by 
an increase in ground water pumping, which results in reduced spring 
flows and, therefore, reduced surface water. Discharge from 
Quitobaquito Springs has diminished by 42 percent over the past 35 
years, and the pond depth has been declining since the early 1990s due 
to evapotranspiration, leakage, and the reduction in spring water 
discharge. The perennial waters in the three historical reaches of the 
Rio Sonoyta have decreased by 80 to 92 percent. Current distribution is 
limited to five populations in three ponds totaling less than 7 ha 
(less than 17.5 ac) and two perennial sections of the Rio Sonoyta 
totaling 1.5 to 5.5 km (0.9 to 3.4 mi). The new wastewater treatment 
plant, if utilized, will provide 75 percent less habitat available for 
Sonoyta mud turtles than the current sewage lagoon. Reduced surface 
water results in reduced aquatic habitat where the subspecies spends 
the majority of its time and that is needed to avoid desiccation of all 
life stages. Further, the reduction in surface water impacts aquatic 
vegetation used by the Sonoyta mud turtle for cover and by its prey 
species. Lastly, the reduction in ground water reduces the soil 
moisture of the riparian area, resulting in habitat that is too dry for 
Sonoyta mud turtles to use for estivation and nesting.
    These factors, acting in combination, reduce the overall viability 
of the subspecies. Each of the five remaining populations are exposed 
to threats that may eliminate them individually at any time. The risk 
of extinction for this subspecies is currently high because the five 
remaining populations are small, isolated, and have limited (if any) 
potential for recolonization. Each population's isolation from other 
populations means that once a population is extirpated, it is likely to 
remain extirpated. The estimated current conditions of the known 
Sonoyta mud turtle populations as described in the SSA Report lead us 
to find that the condition and distribution of populations do not 
provide sufficient resiliency, redundancy, and representation for this 
subspecies at this time; therefore, we find that the subspecies meets 
the definition of an endangered species under the Act. Accordingly, on 
the basis of the best available scientific and commercial information, 
we are listing the Sonoyta mud turtle as endangered in accordance with 
sections 3(6) and 4(a)(1) of the Act.
    We find that a threatened status is not appropriate for the Sonoyta 
mud turtle because the danger of extinction for this subspecies exists 
now. The current restricted range and ubiquitous and imminent threats 
occur rangewide. Consequently, we find the Sonoyta mud turtle to be in 
danger of extinction now throughout its range.

Determination of Status Throughout a Significant Portion of Its Range

    The Act defines an endangered species as any species that is ``in 
danger of extinction throughout all or a significant portion of its 
range'' and a threatened species as any species ``that is likely to 
become endangered within the foreseeable future throughout all or a 
significant portion of its range.'' The phrase ``significant portion of 
its range'' is not defined by the Act, and a district court has held 
that aspects of the Service's Final Policy on Interpretation of the 
Phrase ``Significant Portion of Its Range'' in the Endangered Species 
Act's Definitions of ``Endangered Species and ``Threatened Species'' 
(79 FR 37577 (July 1, 2014)) (SPR Policy) were not valid. Center for 
Biological Diversity v. Jewell, No. 14-cv-02506-RM (D. Ariz. Mar. 29, 
2017) (Pygmy-Owl Decision).
    Although the court's order in that case has not yet gone into 
effect, if the court denies the pending motion for reconsideration, the 
SPR Policy would become vacated. Therefore, we have examined the plain 
language of the Act and court decisions addressing the Service's 
application of the SPR phrase in various listing decisions, and for 
purposes of this rulemaking we are applying the interpretation set out 
below for the phrase ``significant portion of its range'' and its 
context in determining whether or not a species is an endangered 
species or a threatened species. Because the interpretation we are 
applying is consistent with the SPR Policy, we summarize herein the 
bases for our interpretation, and also refer the public to the SPR 
Policy itself for a more-detailed explanation of our reasons for 
interpreting the phrase in this way.
    An important factor that influences the question of whether an SPR 
analysis is necessary here is what the consequence would be if the 
Service were to find that the Sonoyta mud turtle is in danger of 
extinction or likely to become so throughout a significant portion of 
its range. Two district court decisions have evaluated whether the 
outcomes of the Service's SPR determinations were reasonable. As 
described in the SPR Policy, both courts found that, once the Service 
determines that a ``species''--which can include a species, subspecies, 
or DPS under ESA Section 3(16)--meets the definition of ``endangered 
species'' or ``threatened species,'' the species must be listed in its 
entirety and the Act's protections applied consistently to all members 
of that species (subject to modification of protections through special 
rules under sections 4(d) and 10(j) of the Act). See Defenders of 
Wildlife v. Salazar, 729 F. Supp. 2d 1207, 1222 (D. Mont. 2010) 
(delisting of the Northern Rocky Mountains DPS of gray wolf; appeal 
dismissed as moot because of public law vacating the listing, 2012 U.S. 
App. LEXIS 26769 (9th Cir. Nov. 7, 2012)); WildEarth Guardians v. 
Salazar, No. 09-00574-PHX-FJM, 2010 U.S. Dist. LEXIS 105253, 15-16 (D. 
Ariz. Sept. 30, 2010) (Gunnison's prairie dog). The issue has not been 
addressed by a Federal Court of Appeals.
    Consistent with the district court case law, we interpret that the 
consequence of finding that the Sonoyta mud turtle is in danger of 
extinction or likely to become so throughout a significant portion of 
its range would be that the entire species would be listed as an 
endangered species or threatened species, respectively, and the Act's 
protections would be applied to all individuals of the species wherever 
found. Thus, the ``throughout all'' phrase and the SPR phrase provide 
two independent bases for listing. We note that in the Act Congress 
placed the ``all'' language before the SPR phrase in the definitions of 
``endangered species'' and ``threatened species.'' This suggests that 
Congress intended that an analysis based on consideration of the entire 
range should receive primary focus. Thus, the first step we undertook, 
above, in our assessment of the status of the species was to determine 
its status throughout all of its range. Having determined that the 
species is in danger of extinction throughout all of its range, we now 
examine whether it is necessary to determine its status throughout a 
significant portion of its range.
    We conclude that in this situation we do not need to conduct an SPR 
analysis. This conclusion is consistent with the Act because the 
species is currently in danger of extinction throughout all of its

[[Page 43905]]

range due either to high-magnitude threats across its range, or to 
threats that are so high in particular areas that they severely affect 
the species across its range. Therefore, the species is in danger of 
extinction throughout every portion of its range, and an analysis of 
whether the species is in danger of extinction or likely to become so 
throughout any significant portion of its range would be redundant and 
unnecessary. We accordingly conclude that we do not need to conduct 
further analysis of whether the Sonoyta mud turtle is in danger of 
extinction or likely to become so in the foreseeable future throughout 
a significant portion of its range.
    Therefore, on the basis of the best available scientific and 
commercial information, we are adding Sonoyta mud turtle to the List of 
Endangered and Threatened Wildlife as an endangered species in 
accordance with sections 3(6) and 4(a)(1) of the Act. We find that a 
threatened species status is not appropriate for Sonoyta mud turtle 
because of the immediacy of threats facing the species with only five 
known populations, at least one of which is declining in abundance.

Critical Habitat Determination

    Section 4(a)(3) of the Act, as amended, and implementing 
regulations (50 CFR 424.12), require that, to the maximum extent 
prudent and determinable, the Secretary shall designate critical 
habitat at the time the species is determined to be an endangered or 
threatened species. Our regulations (50 CFR 424.12(a)(1)) state that 
the designation of critical habitat is not prudent when one or both of 
the following situations exist:
    (1) The species is threatened by taking or other human activity, 
and identification of critical habitat can be expected to increase the 
degree of threat to the species, or
    (2) Such designation of critical habitat would not be beneficial to 
the species. In determining whether a designation would not be 
beneficial, the factors the Service may consider include but are not 
limited to: Whether the present or threatened destruction, 
modification, or curtailment of a species' habitat or range is not a 
threat to the species, or whether any areas meet the definition of 
``critical habitat.''

Prudency of Critical Habitat

    There is currently no imminent threat of take attributed to 
collection or vandalism identified under Factor B for this subspecies, 
and identification and mapping of critical habitat is not expected to 
initiate any such threat. In the absence of finding that the 
designation of critical habitat would increase threats to a species, we 
next determine whether such designation of critical habitat would not 
be beneficial to the species. In our proposed listing rule, we 
determined that there are habitat-based threats to the Sonoyta mud 
turtle identified under Factor A. Therefore, we find that the 
designation of critical habitat would be beneficial to Sonoyta mud 
turtle through the provisions of section 7 of the Act. Because we have 
determined that the designation of critical habitat will not likely 
increase the degree of threat to the subspecies and would be 
beneficial, we find that designation of critical habitat is prudent for 
the Sonoyta mud turtle.

Critical Habitat Determinability

    Having determined that designation is prudent, under section 
4(a)(3) of the Act, we must find whether critical habitat for the 
Sonoyta mud turtle is determinable. Our regulations at 50 CFR 
424.12(a)(2) state that critical habitat is not determinable when one 
or both of the following situations exist:
    (i) Information sufficient to perform required analysis of the 
impacts of the designation is lacking, or
    (ii) The biological needs of the species are not sufficiently well 
known to identify any area that meets the definition of ``critical 
habitat.''
    As required by section 4(b)(2) of the Act, we use the best 
scientific data available to designate critical habitat after taking 
into consideration the economic impact, national security impact, and 
any other relevant impact of specifying any particular area as critical 
habitat. In accordance with the Act and our implementing regulations at 
50 CFR 424.12(b), we review available information pertaining to the 
habitat requirements of the species and identify specific areas within 
the geographical area occupied by the species at the time of listing 
and any specific areas outside the geographical area occupied by the 
species to be considered for designation as critical habitat. A careful 
assessment of the economic impacts that may occur due to a critical 
habitat designation is still ongoing, and we are in the process of 
working with Customs and Border Protection and the National Park 
Service in acquiring the necessary information needed to perform that 
assessment. The information sufficient to perform a required analysis 
of the impacts of the designation is lacking. Accordingly, we find that 
critical habitat for this subspecies, in accordance with section 
4(a)(3)(A) of the Act, to be not determinable at this time. When 
critical habitat is not determinable, the Act allows the Service an 
additional year to publish a critical habitat designation (16 U.S.C. 
1533(b)(6)(C)(ii)).

Available Conservation Measures

    Conservation measures provided to species listed as endangered or 
threatened species under the Act include recognition, recovery actions, 
requirements for Federal protection, and prohibitions against certain 
practices. Recognition through listing results in public awareness, and 
conservation by Federal, State, Tribal, and local agencies, private 
organizations, and individuals. The Act encourages cooperation with the 
States and requires that recovery actions be carried out for all listed 
species. The protection required by Federal agencies and the 
prohibitions against certain activities are discussed, in part, below.
    The primary purpose of the Act is the conservation of endangered 
and threatened species and the ecosystems upon which they depend. The 
ultimate goal of such conservation efforts is the recovery of these 
listed species, so that they no longer need the protective measures of 
the Act. Subsection 4(f) of the Act requires the Service to develop and 
implement recovery plans for the conservation of endangered and 
threatened species. The recovery planning process involves the 
identification of actions that are necessary to halt or reverse the 
species' decline by addressing the threats to its survival and 
recovery. The goal of this process is to restore listed species to a 
point where they are secure, self-sustaining, and functioning 
components of their ecosystems.
    Recovery planning includes the development of a recovery outline 
shortly after a species is listed and preparation of a draft and final 
recovery plan. The recovery outline guides the immediate implementation 
of urgent recovery actions and describes the process to be used to 
develop a recovery plan. Revisions of the plan may be done to address 
continuing or new threats to the species, as new substantive 
information becomes available. The recovery plan identifies site-
specific management actions that set a trigger for review of the five 
factors that control whether a species remains endangered or may be 
downlisted or delisted, and methods for monitoring recovery progress. 
Recovery plans also establish a framework for agencies to coordinate 
their recovery efforts and provide estimates of the cost of 
implementing recovery tasks. Recovery teams (composed of species 
experts, Federal and State agencies, nongovernmental organizations, and 
stakeholders) are

[[Page 43906]]

often established to develop recovery plans. When completed, the 
recovery outline, draft recovery plan, and the final recovery plan will 
be available on our Web site (http://www.fws.gov/endangered) or from 
our Arizona Ecological Services Field Office (see FOR FURTHER 
INFORMATION CONTACT).
    Implementation of recovery actions generally requires the 
participation of a broad range of partners, including other Federal 
agencies, States, Tribes, nongovernmental organizations, businesses, 
and private landowners. Examples of recovery actions include habitat 
restoration (e.g., restoration of native vegetation), research, captive 
propagation and reintroduction, and outreach and education. The 
recovery of many listed species cannot be accomplished solely on 
Federal lands because their range may occur primarily or solely on non-
Federal lands. To achieve recovery of these species requires 
cooperative conservation efforts on private, State, and Tribal lands.
    Following publication of this final listing rule, funding for 
recovery actions will be available from a variety of sources, including 
Federal budgets, State programs, and cost share grants for non-Federal 
landowners, the academic community, and nongovernmental organizations. 
In addition, pursuant to section 6 of the Act, the State of Arizona 
will be eligible for Federal funds to implement management actions that 
promote the protection or recovery of the Sonoyta mud turtle. 
Information on our grant programs that are available to aid species 
recovery can be found at: http://www.fws.gov/grants.
    Please let us know if you are interested in participating in 
recovery efforts for the Sonoyta mud turtle. Additionally, we invite 
you to submit any new information on this subspecies whenever it 
becomes available and any information you may have for recovery 
planning purposes (see FOR FURTHER INFORMATION CONTACT).
    Section 7(a) of the Act requires Federal agencies to evaluate their 
actions with respect to any species that is listed as an endangered or 
threatened species and with respect to its critical habitat, if any is 
designated. Regulations implementing this interagency cooperation 
provision of the Act are codified at 50 CFR part 402. Section 7(a)(2) 
of the Act requires Federal agencies to ensure that activities they 
authorize, fund, or carry out are not likely to jeopardize the 
continued existence of any endangered or threatened species or destroy 
or adversely modify its critical habitat. If a Federal action may 
affect a listed species or its critical habitat, the responsible 
Federal agency must enter into consultation with the Service.
    Federal agency actions within the subspecies' habitat that may 
require conference or consultation or both as described in the 
preceding paragraph include management and any other landscape-altering 
activities on Federal lands administered by NPS (Organ Pipe Cactus 
National Monument) and U.S. Customs and Border Protection.
    The Act and its implementing regulations set forth a series of 
general prohibitions and exceptions that apply to endangered wildlife. 
The prohibitions of section 9(a)(1) of the Act, codified at 50 CFR 
17.21, make it illegal for any person subject to the jurisdiction of 
the United States to take (which includes harass, harm, pursue, hunt, 
shoot, wound, kill, trap, capture, or collect; or to attempt any of 
these) endangered wildlife within the United States or on the high 
seas. In addition, it is unlawful to import; export; deliver, receive, 
carry, transport, or ship in interstate or foreign commerce in the 
course of commercial activity; or sell or offer for sale in interstate 
or foreign commerce any listed species. It is also illegal to possess, 
sell, deliver, carry, transport, or ship any such wildlife that has 
been taken illegally. Certain exceptions apply to employees of the 
Service, the National Marine Fisheries Service, other Federal land 
management agencies, and State conservation agencies.
    We may issue permits to carry out otherwise prohibited activities 
involving endangered wildlife under certain circumstances. Regulations 
governing permits are codified at 50 CFR 17.22. With regard to 
endangered wildlife, a permit may be issued for the following purposes: 
for scientific purposes, to enhance the propagation or survival of the 
species, and for incidental take in connection with otherwise lawful 
activities. There are also certain statutory exemptions from the 
prohibitions, which are set forth at sections 9 and 10 of the Act.
    It is our policy, as published in the Federal Register on July 1, 
1994 (59 FR 34272), to identify to the maximum extent practicable at 
the time a species is listed, those activities that would or would not 
constitute a violation of section 9 of the Act. The intent of this 
policy is to increase public awareness of the effect of a final listing 
on proposed and ongoing activities within the range of a listed 
species. At this time, we are unable to identify specific activities 
that would not be considered to result in a violation of section 9 of 
the Act because the Sonoyta mud turtle sites where the species 
currently occurs are subject to a variety of potential activities, and 
it is likely that site-specific conservation measures may be needed for 
activities that may directly or indirectly affect the species. Based on 
the best available information, the following actions are likely to 
result in a violation of section 9; this list is not comprehensive:
    (1) Unauthorized handling or collecting of the Sonoyta mud turtle.
    (2) Destruction/alteration of Sonoyta mud turtle habitat by 
discharge of fill material, draining, ditching, tiling, pond 
construction, stream channelization or diversion, removal or 
destruction of emergent aquatic vegetation; or diversion or alteration 
of surface or ground water flow into or out of the wetland (i.e., due 
to roads, impoundments, discharge pipes, storm water detention basins, 
etc.) or in any body of water in which the Sonoyta mud turtle is known 
to occur.
    (3) Direct or indirect destruction of riparian habitat.
    (4) Introduction of nonnative species that compete with or prey 
upon the Sonoyta mud turtle, such as the introduction of nonnative fish 
and crayfish species.
    (5) Release of biological control agents that attack any life stage 
of this subspecies.
    (6) Discharge of chemicals or fill material into any waters in 
which the Sonoyta mud turtle is known to occur.
    Questions regarding whether specific activities would constitute a 
violation of section 9 of the Act should be directed to the Arizona 
Ecological Services Field Office (see FOR FURTHER INFORMATION CONTACT).

Required Determinations

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

    We have determined that environmental assessments and environmental 
impact statements, as defined under the authority of the National 
Environmental Policy Act (NEPA; 42 U.S.C. 4321 et seq.), need not be 
prepared in connection with listing a species as an endangered or 
threatened species under the Endangered Species Act. We published a 
notice outlining our reasons for this determination in the Federal 
Register on October 25, 1983 (48 FR 49244).

Government-to-Government Relationship With Tribes

    In accordance with the President's memorandum of April 29, 1994 
(Government-to-Government Relations with Native American Tribal 
Governments; 59 FR 22951), Executive Order 13175 (Consultation and 
Coordination With Indian Tribal

[[Page 43907]]

Governments), and the Department of the Interior's manual at 512 DM 2, 
we readily acknowledge our responsibility to communicate meaningfully 
with recognized Federal Tribes on a government-to-government basis. In 
accordance with Secretarial Order 3206 of June 5, 1997 (American Indian 
Tribal Rights, Federal-Tribal Trust Responsibilities, and the 
Endangered Species Act), we readily acknowledge our responsibilities to 
work directly with tribes in developing programs for healthy 
ecosystems, to acknowledge that tribal lands are not subject to the 
same controls as Federal public lands, to remain sensitive to Indian 
culture, and to make information available to tribes.
    Based on cultural claims maps and reservation boundaries we have on 
file, the distribution of the Sonoyta mud turtle overlaps areas that 
may be of interest to the following tribes: Tohono O'odham Nation, 
Quechan Tribe, Hopi Tribe, Colorado River Indian Tribes, and Cocopah 
Indian Tribe. On November 20, 2015, we notified these tribes via letter 
of our intent to conduct a status assessment for the purpose of 
determining whether the subspecies warrants protection under the Act. 
In our letter, we offered to meet with the tribe to discuss the 
process, potential impacts to the tribes, and how tribal information 
may be used in our assessment. In addition, we requested any 
information they have regarding the subspecies. On August 17, 2016, we 
invited comments from the five tribes, and on September 19, 2016, we 
submitted notification to tribal leaders of the proposed listing 
publication. To date, we have not received a response from these any of 
these tribes. Upon publication of this final rule, we will send 
notification letters to these tribes and again extend an invitation to 
meet and discuss.

References Cited

    A complete list of references cited in this rulemaking is available 
in the SSA Report (U.S. Fish and Wildlife Service 2017. Species status 
assessment report for the Sonoyta mud turtle (Kinosternon sonoriense 
longifemorale), Version 2.0. Albuquerque, NM) that is available on the 
Internet at http://www.regulations.gov at Docket Number FWS-R2-ES-2016-
0103, at https://www.fws.gov/southwest/es/arizona/, and upon request 
from the Arizona Ecological Services Field Office (see FOR FURTHER 
INFORMATION CONTACT).

Authors

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

List of Subjects in 50 CFR Part 17

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

Regulation Promulgation

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

PART 17--ENDANGERED AND THREATENED WILDLIFE AND PLANTS

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

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

0
2. In Sec.  17.11(h), add an entry for ``Turtle, Sonoyta mud'' to the 
List of Endangered and Threatened Wildlife in alphabetical order under 
REPTILES to read as set forth below:


Sec.  17.11   Endangered and threatened wildlife.

* * * * *
    (h) * * *

----------------------------------------------------------------------------------------------------------------
                                                                                               Listing citations
           Common name              Scientific name      Where listed           Status          and  applicable
                                                                                                     rules
----------------------------------------------------------------------------------------------------------------
 
                                                  * * * * * * *
            REPTILES
 
                                                  * * * * * * *
Turtle, Sonoyta mud.............  Kinosternon.......  Wherever found....  E.................  82 FR [insert
                                  sonoriense                                                   Federal Register
                                   longifemorale.                                              page where the
                                                                                               document begins],
                                                                                               9/20/2017.
 
                                                  * * * * * * *
----------------------------------------------------------------------------------------------------------------

* * * * *

    Dated: September 7, 2017.
James W. Kurth,
Acting Director, U.S. Fish and Wildlife Service.
[FR Doc. 2017-20072 Filed 9-19-17; 8:45 am]
 BILLING CODE 4333-15-P



                                                           Federal Register / Vol. 82, No. 181 / Wednesday, September 20, 2017 / Rules and Regulations                                         43897

                                              DEPARTMENT OF THE INTERIOR                              Background                                            Sonoyta mud turtle, we evaluated the
                                                                                                         We completed a comprehensive                       ecological and genetic diversity and
                                              Fish and Wildlife Service                               assessment of the biological status of the            connectivity over time. To assess
                                                                                                      Sonoyta mud turtle, and prepared a                    redundancy, we calculated the risk of
                                              50 CFR Part 17                                          report of the assessment, which                       population extirpations given the
                                                                                                      provides a thorough account of the                    catastrophic events. That is, we tallied
                                              [Docket No. FWS–R2–ES–2016–0103;                        subspecies’ overall viability. We define              the number of populations historically,
                                              4500030113]                                             viability as the ability of the subspecies            currently, and projected into the future
                                                                                                      to persist over the long term and avoid               to assess the viability of the subspecies.
                                              RIN 1018–AZ02                                           extinction. In this section, we                       Subspecies Description
                                                                                                      summarize the conclusions of that                        The Sonoyta mud turtle is a
                                              Endangered and Threatened Wildlife                      assessment, which can be accessed at
                                              and Plants; Endangered Species                                                                                freshwater turtle encountered in or near
                                                                                                      Docket No. FWS–R2–ES–2016–0103 on                     water in an otherwise arid environment
                                              Status for Sonoyta Mud Turtle                           http://www.regulations.gov and at                     that commonly experiences drought and
                                                                                                      http://www.fws.gov/southwest/es/                      extreme heat (ambient temperatures can
                                              AGENCY:   Fish and Wildlife Service,
                                                                                                      arizona/. The Sonoyta mud turtle’s                    exceed 45 degrees Celsius (°C) (113
                                              Interior.
                                                                                                      Species Status Assessment (SSA Report;                degrees Fahrenheit (°F)). The Sonoyta
                                              ACTION: Final rule.                                     Service 2017, chapter 4) contains a                   mud turtle is one of two recognized
                                                                                                      detailed discussion of our evaluation of              subspecies of Sonora mud turtle
                                              SUMMARY:   We, the U.S. Fish and                        the biological status of the Sonoyta mud
                                              Wildlife Service (Service), list the                                                                          (Kinosternon sonoriense) and has been
                                                                                                      turtle and the influences that may affect             differentiated from the other subspecies
                                              Sonoyta mud turtle (Kinosternon                         its continued existence.
                                              sonoriense longifemorale), a turtle from                                                                      based on shell measurements and DNA
                                                                                                         To assess Sonoyta mud turtle                       analysis (Iverson 1981, p. 62; Rosen
                                              Arizona in the United States and Sonora                 viability, we used the three conservation
                                              in Mexico, as an endangered species                                                                           2003, entire; Rosen et al. 2006, entire).
                                                                                                      biology principles of resiliency,                     The other subspecies, K. s. sonoriense,
                                              under the Endangered Species Act of                     representation, and redundancy (Shaffer
                                              1973 (Act), as amended. This rule adds                                                                        is commonly referred to as Sonora mud
                                                                                                      and Stein 2000, pp. 306–310). Briefly,                turtle. The Sonoyta mud turtle is an
                                              the Sonoyta mud turtle to the Federal                   resiliency supports the ability of the
                                              List of Endangered and Threatened                                                                             isolated, native endemic found in
                                                                                                      species to withstand environmental and                southern Arizona and northern Sonora,
                                              Wildlife and extends the Act’s                          demographic stochasticity (for example,
                                              protections to this subspecies.                                                                               Mexico. The Sonoyta mud turtle is a
                                                                                                      wet or dry, warm or cold years);                      dark, medium-sized freshwater turtle
                                              DATES: This rule is effective October 20,               representation supports the ability of                with a mottled pattern on the head,
                                              2017.                                                   the species to adapt over time to long-               neck, and limbs. Average lifespan is
                                              ADDRESSES: This final rule is available                 term changes in the environment (for                  from 10 to 12 years; however, one has
                                              on the Internet at http://                              example, climate changes); and                        been reported to be 39 years old.
                                              www.regulations.gov and at http://                      redundancy supports the ability of the                   Minimum age of sexual maturity of
                                              www.fws.gov/southwest/es/arizona/.                      species to withstand catastrophic events              female Sonoyta mud turtles is just under
                                              Comments and materials we received, as                  (for example, droughts). In general, the              6 years, and males around 4 years
                                              well as supporting documentation we                     more redundant, representative, and                   (Rosen and Lowe 1996, pp. 14–16).
                                              used in preparing this rule, are available              resilient a species is, the more likely it            Mating occurs in water from April to
                                              for public inspection at http://                        is to sustain populations over time, even             late June. Ovulation and shelling of eggs
                                              www.regulations.gov. Comments,                          under changing environmental                          begins in June, and eggs remain in the
                                              materials, and documentation that we                    conditions. Using these principles, we                oviducts until the monsoon rains occur
                                              considered in this rulemaking will be                   identified the Sonoyta mud turtle’s                   from mid to late July through September
                                              available by appointment, during                        ecological requirements for survival and              (van Loben Sels et al. 1997, p. 343). In
                                              normal business hours at: U.S. Fish and                 reproduction at the individual,                       mid to late July through September,
                                              Wildlife Service, Arizona Ecological                    population, and subspecies levels, and                females leave the water briefly to lay
                                              Services Field Office, 9828 North 31st                  described the beneficial and risk factors             eggs in terrestrial nests. Eggs may
                                              Ave #C3, Phoenix, AZ 85051–2517;                        influencing the subspecies’ viability.                undergo embryonic diapause (delayed
                                              telephone 602–242–0210.                                    We evaluated the change in                         embryo development) in the nest for up
                                                                                                      resiliency, representation, and                       to 11 months after being laid.
                                              FOR FURTHER INFORMATION CONTACT:                        redundancy from the past until the                    Development begins as eggs warm
                                              Steve Spangle, Field Supervisor, U.S.                   present, and projected the anticipated                during the following spring and takes
                                              Fish and Wildlife Service, Arizona                      future states of these conditions. To                 about 80 days, and hatchlings emerge
                                              Ecological Services Field Office, 9828                  forecast the biological condition into the            and disperse from the nest the following
                                              North 31st Ave #C3, Phoenix, AZ                         future, we devised plausible future                   year to coincide with the onset of
                                              85051–2517; telephone 602–242–0210.                     scenarios by using expert information                 summer rains (van Lobel Sels et al.
                                              Persons who use a telecommunications                    on the primary stressors anticipated in               1997, p. 343; Ernst and Lovich 2009, p.
                                              device for the deaf (TDD) may call the                  the future to the Sonoyta mud turtle:                 497; Stone et al. 2015, p. 735).
                                              Federal Relay Service at 800–877–8339.                  habitat loss and degradation (i.e.,
                                              SUPPLEMENTARY INFORMATION:                              surface water loss and riparian                       Habitat and Range
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                                                                                                      vegetation loss), effects of climate                    The Sonoyta mud turtle is found in
                                              Previous Federal Action
                                                                                                      change, and small population dynamics.                southern Arizona and northwestern
                                                Please refer to the proposed listing                  To assess population resiliency of the                Mexico and depends on aquatic habitat
                                              rule for the Sonoyta mud turtle (81 FR                  Sonoyta mud turtle, we evaluated                      with adjacent terrestrial habitat. Its
                                              64829; September 21, 2016) for a                        habitat conditions and recruitment over               habitats commonly experience drought
                                              detailed description of previous Federal                time. To assess representation (as an                 and extreme heat. Historically, the
                                              actions concerning this subspecies.                     indicator of adaptive capacity) of the                Sonoyta mud turtle was limited in its


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                                              43898        Federal Register / Vol. 82, No. 181 / Wednesday, September 20, 2017 / Rules and Regulations

                                              distribution to the Rio Sonoyta basin in                There are two new populations—the                     think this historical population is likely
                                              Arizona and Sonora, Mexico. There are                   Sonoyta sewage lagoon and Quitovac in                 extirpated due to loss of perennial
                                              five historical records of the subspecies               Mexico, which were historically                       surface water in this reach (Rosen 2016,
                                              being found within three historical                     unknown and only discovered in 2002                   pers. comm.).
                                              perennial sections of the Rio Sonoyta,                  but likely were present since the 1990s
                                              including the Sonoyta, Santo Domingo,                   (Knowles et al. 2002, p. 74). These two               Species Needs
                                              and Papalote (also referred to as Agua                  new populations are not connected                        Sonoyta mud turtles depend on
                                              Dulce) reaches (Rosen et al. 2010, p.                   hydrologically to each other or to the                aquatic habitat for foraging, shelter, and
                                              152), which we assume supported three                   Rio Sonoyta populations and it is likely
                                                                                                                                                            mating and terrestrial habitat for nesting
                                              populations. Perennial waters likely                    that humans transplanted turtles from
                                                                                                                                                            and estivating. The Sonoyta mud turtle
                                              flowed through these three sections of                  the Rio Sonoyta to these sites. One other
                                                                                                                                                            historically occupied habitat in cienegas
                                              the Rio Sonoyta separated by seasonally                 historical population is considered
                                              ephemeral sections (figure 3.1.1.b of the               extirpated—Santo Domingo. Of the five                 and streams supported by groundwater-
                                              SSA Report), and groundwater also                       extant populations, one is in the United              fed springs. Natural aquatic habitats of
                                              supported springs and cienegas (wet,                    States in the pond and channel                        Sonoyta mud turtles are sustained by
                                              marshy areas) in the area (Miller and                   associated with Quitobaquito Springs in               groundwater discharged from springs
                                              Fuiman 1987, p. 602; Schoenherr 1988,                   Organ Pipe Cactus National Monument,                  and augmented by seasonal rainfall.
                                              p. 110; Hendrickson and Varela-Romero                   Arizona. The other four populations are               Terrestrial habitat that maintains soil
                                              1989, p. 481). These three distinct                     in Sonora, Mexico (Rosen et al. 2010, p.              moisture needed for Sonoyta mud
                                              perennial reaches of the Rio Sonoyta                    152). Two populations in the Rio                      turtles occurs in riparian areas along the
                                              together likely provided 19 to 27                       Sonoyta in the Papalote reach and                     banks of ponds and streams, including
                                              kilometers (km) (12 to 17 miles (mi)) of                Xochimilco reach are extant, but                      intermittently dry sections of a stream
                                              stream habitat for the Sonoyta mud                      perennial water flow in these reaches is              channel. However, natural aquatic
                                              turtle. The Rio Sonoyta probably flowed                 reduced from historical levels. Since                 habitats are highly limited. Sonoyta
                                              for short periods during wet seasons,                   these perennial reaches in the Rio                    mud turtles can also be sustained by
                                              providing connectivity for mud turtles,                 Sonoyta are greatly reduced or gone, the              modified natural habitats or completely
                                              with the stream rapidly retracting                      connectivity among these remaining                    human-created habitats that provide
                                              during the dry season, as it still does                 populations is highly unlikely. The                   similar permanent or almost permanent
                                              today. During periods of above-average                  other two extant populations are the                  surface water. Currently, populations
                                              precipitation, the river may have been                  Sonoyta sewage lagoon and Quitovac in                 still occur within stream habitat, but all
                                              continuous for longer periods, making                   Mexico. Quitovac consists of multiple                 the cienegas have been modified from
                                              turtle population connectivity more                     springs impounded to form a pond. The                 their natural state.
                                              likely along Rio Sonoyta. We assume                     Sonoyta sewage lagoon site consists of                   For the Sonoyta mud turtle to
                                              that the historical locations of the                    two lagoons of raw sewage. A new                      maintain viability, its populations, or
                                              Sonoyta mud turtles were in areas of the                wastewater treatment plant has been                   some portion of its populations, must be
                                              Rio Sonoyta basin that maintained                       constructed to replace the Sonoyta                    resilient enough to withstand stochastic
                                              perennial surface water at all times                    sewage lagoons. However, this new                     events such as fluctuations in water
                                              except, possibly, during rare, protracted               plant has yet to begin operating and it               levels, habitat modification, and
                                              drought periods. These locations may                    is unclear when it will open. The                     introduction of nonnative predators. In
                                              no longer have reliable surface water to                amount of water and riparian vegetation               the SSA Report, we categorized the
                                              support mud turtles or sufficient surface               provided at the new plant is less than                potential resiliency of populations of
                                              water to support as large a population                  that provided at the sewage lagoons and
                                                                                                                                                            the subspecies. We developed four
                                              as they used to (Paredes-Aguilar and                    only a portion of the Sonoyta mud
                                                                                                                                                            different resiliency levels: High,
                                              Rosen 2003, p. 2; Rosen et al. 2010, p.                 turtles are likely to be transplanted.
                                                                                                         The population at Quitobaquito                     medium, low, and none. In a highly
                                              155). Perennial water also existed
                                                                                                      Springs has been extensively monitored                resilient Sonoyta mud turtle population,
                                              outside of the Rio Sonoyta in cienegas
                                                                                                      since the early 1980s. Surveys in the Rio             all or the majority of turtles are able to
                                              such as one fed by Quitobaquito Springs
                                              on Organ Pipe Cactus National                           Sonoyta basin in Sonora, Mexico, from                 complete their life functions, breeding
                                              Monument. Quitobaquito Springs is                       2001 through 2006 provide most of our                 maintains a stable or increasing
                                              predominately supplied by groundwater                   knowledge of the current populations in               population, and the population is able
                                              (Carruth 1996, pp. 14, 18).                             Mexico (table 3.2.2 of the SSA Report;                to withstand stochastic events or
                                                 In the SSA Report, we define a                       Paredes-Aguilar and Rosen 2003, entire;               recover from stochastic events from
                                              population of Sonoyta mud turtles as a                  Knowles et al. 2002, entire; Rosen et al.             connected populations. Influencing
                                              group of interbreeding individuals                      2010, pp. 152–153). However, we have                  those factors are elements of Sonoyta
                                              living in an ecological community and                   low confidence that the population sizes              mud turtle habitat that determine
                                              separated from other populations by                     for the Sonora populations remain at                  whether survivorship among age classes
                                              barriers including desert upland                        2006 levels today, as many changes                    is achieved, thereby increasing the
                                              (overland, not connected by riparian or                 since the early 2000s have reduced or                 resiliency of populations. These factors
                                              xeroriparian habitat) or in-channel                     degraded habitat at most of the sites that            include perennial or near perennial
                                              distances that lack water most of the                   still support Sonoyta mud turtles. In                 water (i.e., 10 to 11 months annually for
                                              time. Currently, five populations of                    October 2001, a single turtle was found               consecutive years) of sufficient volume
                                              Sonoyta mud turtles occur. Three of                     in a soup-bowl-sized remnant of water                 and extent with connectivity to other
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                                              these populations are historical                        at the semi-perennial spring in the                   populations, terrestrial riparian habitat
                                              populations—Quitobaquito Springs, and                   Santo Domingo reach (Santo Domingo is                 with soil moisture, high invertebrate
                                              the Sonoyta and Papalote reaches of the                 in the Rio Sonoyta and is the location                prey abundance, and lack of problem
                                              Rio Sonoyta. However, the Sonoyta                       of one of the five historical records of              nonnative species. The factors used to
                                              reach has now been reduced to a much                    Sonoyta mud turtle listed above; Rosen                develop these resiliency levels are
                                              smaller reach referred to as Xochimilco.                et al. 2010, pp. 152–153), and we now                 discussed below.



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                                                           Federal Register / Vol. 82, No. 181 / Wednesday, September 20, 2017 / Rules and Regulations                                            43899

                                                                           TABLE 1—POPULATION RESILIENCY CATEGORIES FOR SONOYTA MUD TURTLE
                                                          High (Good)                                 Moderate                                     Low                                 None

                                              A population with high resilience is      A population with moderate resil-          A population with low resilience is   A population with no resiliency is
                                                where:                                    ience is where:                            one where:                            one that might be extirpated
                                              • All or the majority of turtles are      • Some turtles can complete life           • Some or few turtles can com-          completely.
                                                able to complete their life func-         functions;                                 plete life functions;
                                                tions;                                  • Some turtles have some suc-              • Some or few turtles have suc-
                                              • Breeding is successful to main-           cessful breeding, but population           cessful breeding, but population
                                                tain a stable or increasing popu-         is not increasing;                         is decreasing;
                                                lation;                                 • Population could be stable or            • Population is not able to with-
                                              • Population is able to withstand           decreasing;                                stand stochastic events, and is
                                                stochastic events or recover            • Population     could   withstand           not able to recover through the
                                                from stochastic events from con-          some stochastic events or a                immigration of connected popu-
                                                nected populations.                       portion of the population could            lations.
                                                                                          withstand stochastic events, but
                                                                                          population is not able to re-
                                                                                          cover through the immigration
                                                                                          of connected populations.



                                              Surface Water                                           along the banks of ponds and streams,                 crayfish, American bullfrogs, sunfish,
                                                                                                      including intermittently dry sections of              black bullheads, African cichlid fishes
                                                Sonoyta mud turtles require perennial                 stream channels. Riparian habitat                     (tilapia), western mosquitofish, and
                                              or mostly perennial water to complete                   provides shadier, cooler, and moister                 exotic turtles. Competition between
                                              their life-history functions and avoid                  conditions than the adjacent upland                   nonnative species and mud turtles for
                                              desiccation. We define near-perennial as                areas. Sonoyta mud turtles likely need                food likely results in disruption of the
                                              water present more than 10 to 11                        moist soil for nesting to prevent                     food chain and alteration of the
                                              months of the year for multiple years.                  desiccation of eggs and estivation sites              invertebrate community (Taylor et al.
                                              Aquatic habitat in ponds and streams                    to prevent desiccation of juveniles and               1984, pp. 330–331; Fernandez and
                                              with water 2 meters (m) (6.5 feet (ft))                 adults. Riparian vegetation may also                  Rosen 1996, pp. 39–40; Duncan 2013,
                                              deep, with a rocky, muddy, or sandy                     provide some level of protection from                 p. 1). Such competition, in turn, likely
                                              substrate, and emergent or submergent                   terrestrial predators while turtles are out           decreases the type and amount of
                                              vegetation, or both is needed (NPS 2015,                of the water. Sonoyta mud turtles                     aquatic invertebrate prey available to
                                              p. 2; Paredes-Aguilar and Rosen 2003, p.                further need accessible shoreline                     Sonoyta mud turtles (Fernandez and
                                              5–7; Rosen 2003, p. 5; Rosen et al. 2010,               without insurmountable rock or                        Rosen 1996, pp. 39–40) and leads to
                                              p. 14). Hatchling, juvenile, and sub-                   artificial vertical barriers to allow for             lower fitness of turtles.
                                              adult turtles prefer aquatic habitat with               movement between wetted sites,                           Sonoyta mud turtles need genetic or
                                              shallow water and dense emergent                        between aquatic habitat and terrestrial               ecological diversity to adapt to changing
                                              vegetation and overhanging vegetation                   nest sites, and between water and                     environmental conditions. The more
                                              along the stream channel or pond                        estivation sites.                                     representation, or diversity, a species
                                              margin that provides foraging                                                                                 has, the more it is capable of adapting
                                              opportunities as well as protection from                Invertebrate Prey                                     to changes (natural or human-caused) in
                                              predators (Rosen 1986, pp. 14 and 36;                      Sonoyta mud turtle hatchlings and                  its environment. Representation can be
                                              Rosen and Lowe 1996, p. 11). Adults                     juveniles need shoreline invertebrate                 measured by the breadth of genetic or
                                              will also use shallow water habitat, but                fauna, while subadults and adults need                environmental diversity within and
                                              prefer aquatic habitat with accessible,                 bottom dwelling (i.e. on or in the                    among populations and gauges the
                                              deeper, open water (up to 2 m (6.5 ft))                 sediment) and plant-crawling                          probability that a species is capable of
                                              when available, and submerged                           invertebrates. Aquatic habitat with                   adapting to environmental changes.
                                              vegetation for feeding on benthic and                   emergent and submerged vegetation or                  Currently, the Sonoyta mud turtle
                                              plant-crawling invertebrates along the                  the substrate of ponds and streams is                 exhibits genetic and ecological
                                              substrate (Rosen 1986, pp. 14, 16; Rosen                needed to support prey for Sonoyta mud                diversity. Maintaining gene flow among
                                              and Lowe 1996, p. 11). Adults,                          turtles (Rosen 1986, pp. 14, 31; Rosen                populations and counteracting genetic
                                              juveniles, and subadults also use                       and Lowe 1996, pp. 32–35). Aquatic                    drift and deleterious effects of
                                              aquatic habitat with structure that                     invertebrates primarily live on and                   inbreeding connectivity among
                                              provides protection from predators such                 require a variety of prey such as algae,              populations are needed. A minimum of
                                              as root masses, complex rock features,                  diatoms, and other microorganisms. In                 1 and maximum of 10 migrants per
                                              and undercut banks. Turtle recruitment                  habitats with poor aquatic invertebrate               generation is needed to successfully
                                              can be affected by the amount of surface                faunas, Sonoyta mud turtles will shift to             breed in populations of a species (Mills
                                              water available, how long it is available,              omnivorous feeding, including plants                  and Allendorf 1996, p. 1517; Nathan et
                                              as well as its fluctuation. In addition,                and vertebrates. When invertebrates are               al. 2017, p. 270; Wang 2004, p. 341).
                                              hydrologic connectivity is needed for a                 abundant, and competition is low,                     This is a large range of migrants per
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                                              population to recover from a stochastic                 turtles grow rapidly and have sufficient              generation, and we do not know where
                                              event.                                                  fat content to support reproduction.                  within this range the Sonoyta mud
                                              Terrestrial Habitat                                                                                           turtle falls to maintain genetic diversity
                                                                                                      Nonnative Predators and Competitors                   among the fragmented populations of
                                                Sonoyta mud turtles need terrestrial                    Sonoyta mud turtles need aquatic                    the subspecies. Genetic analysis
                                              habitat that maintains soil moisture for                habitat free of problematic nonnative                 conducted in the mid-2000s reveals that
                                              Sonoyta mud turtles in riparian areas                   predators and competitors such as                     successful migration has likely occurred


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                                              43900        Federal Register / Vol. 82, No. 181 / Wednesday, September 20, 2017 / Rules and Regulations

                                              in the past (Rosen 2006, p. 10).                        surface water reaches will burrow in                  habitats (Stanila 2009, p. 38), in
                                              Maintaining representation in the form                  channels to escape desiccation for a                  addition to the presence of nonnative
                                              of genetic or ecological diversity is                   short period of time. However, the                    aquatic species that compete for prey.
                                              important to maintain the Sonoyta mud                   ability of Sonoyta mud turtles to estivate            When invertebrates are abundant, and
                                              turtle’s capacity to adapt to future                    may depend on behavioral cues                         competition is low, turtles grow rapidly
                                              environmental changes.                                  provided by the level of permanence of                and have sufficient lipid content to
                                                 The Sonoyta mud turtle needs                         water they reside in (Ligon and Stone                 support reproduction. Turtle
                                              multiple resilient populations spread                   2003, p. 753; Stanila 2009, p. 45). After             recruitment is likely driven in
                                              over its historical range distributed in                time, burrows themselves may become                   significant part by invertebrate prey
                                              such a way that a catastrophic event                    too dry; turtles will lose fat reserves due           available because nutritional stress on
                                              will not result in the loss of all                      to lack of foraging opportunity; females              females may result in a reduction in
                                              populations. In addition, hydrologic                    may not have viable eggs due to lack of               annual survivorship (Rosen and Lowe
                                              connectivity is needed for a population                 nutrition and fat reserves, thereby                   1996, p. 41). Competition from
                                              to recover from a catastrophic event. We                reducing reproduction; and eventually                 nonnatives could decrease the type and
                                              do not have an estimate of how many                     turtles will die from either starvation or            amount of aquatic invertebrate prey
                                              populations are needed to withstand                     desiccation. If water is not reliably                 available to Sonoyta mud turtles
                                              localized loss of habitat and maintain                  present all year and absent beyond the                (Fernandez and Rosen 1996, pp. 39–40)
                                              redundancy. However, the loss of                        dry season, turtles are not able to forage;           and lead to lower fitness of turtles.
                                              Quitobaquito Springs, Quitovac, and                     may not reproduce; and, as drought                    Because high average annual juvenile
                                              either Rio Sonoyta Papalote or Rio                      periods lengthen, may eventually                      survivorship is required for populations
                                              Sonoyta Xochimilco would reduce the                     desiccate (Stanila 2009, p. 45).                      of long-lived organisms to maintain
                                              representation for the subspecies.                         Sonora mud turtles that live in                    population stability (Congdon et al.
                                                                                                      permanent bodies of water have shown                  1993, pp. 831–832; Congdon et al. 1994,
                                              Summary of Biological Status and
                                                                                                      highly aquatic behavior with little                   pp. 405–406), nonnative predators that
                                              Threats
                                                                                                      terrestrial behavior or movement                      reduce recruitment in Sonoyta mud
                                                 The primary negative factor affecting                between water sources, while Sonora                   turtle populations likely cause
                                              the future viability of the Sonoyta mud                 mud turtles in more ephemeral habits                  population declines.
                                              turtle is continued loss of water that                  have been documented moving through                      The current prognosis of climate
                                              supports aquatic and riparian habitat.                  or out of dry stream beds to reach                    change impacts on the Sonoran Desert
                                              The sources of water loss affecting                     wetted pools, for winter hibernation, or              includes fewer frost days; warmer
                                              Sonoyta mud turtles include                             for estivation during drought as a                    temperatures; greater water demand by
                                              groundwater pumping, drought, changes                   drought-survival strategy (Hall and                   plants, animals, and people; and an
                                              to wastewater infrastructure,                           Steidl, 2007, pp. 406–408; Hensley et al.             increased frequency of extreme weather
                                              consumption by livestock, surface water                 2010, pp. 181–182; Ligon and Stone                    events (heat waves, droughts, and
                                              diversion, and habitat manipulation. Of                 2003, pp. 752–753; Stone 2001, pp. 46–                floods) (Weiss and Overpeck 2005, p.
                                              these sources, water loss caused by                     51). Prolonged and recurrent estivation               2074; Archer and Predick 2008, p. 24).
                                              drought and groundwater pumping,                        is expected to reduce fitness and                     Any reductions in annual rainfall,
                                              both of which are exacerbated by                        increase mortality (Peterson and Stone                coupled with the hotter temperatures
                                              climate change and changes to                           2000, pp. 692–698). Variation in body                 that are projected with very high
                                              wastewater infrastructure, are the                      size among populations of Sonora mud                  confidence (and that will alone bring
                                              primary causes of population-level                      turtles appears to be related to water                reductions in aquifer inputs due to
                                              impacts to the Sonoyta mud turtle. The                  permanence, and body size was                         higher evaporation rates), would have
                                              other sources of water loss are not likely              significantly larger in permanent                     negative effects on aquifers across the
                                              to have population-level impacts unless                 habitats compared to intermittent and                 Southwest. Virtually any plausible
                                              mining near Quitovac is intensified and                 ephemeral habitats (Stanila 2009, p. 31).             future climate scenario projects longer
                                              unregulated. However, the Quitovac site                 In permanent water sites, growth and                  dry spells between rains, which can
                                              is routinely dredged, resulting in direct               body size are positively correlated with              have more severe impacts on the
                                              impacts to Sonoyta mud turtles and                      aquatic invertebrate abundance at a site              landscape, especially in spring and
                                              prey. All of these factors are additive in              (Rosen and Lowe 1996, pp. 33, 35).                    summer (Lenart 2008, entire).
                                              terms of impacts to populations that are                   Reduced surface water and ground
                                              already stressed by the primary                         water reduce the survival and growth of               Current Condition
                                              activities causing population-level                     vegetation in the riparian areas.                        Currently, five known populations of
                                              impacts. In addition, impacts from                      Reductions in riparian habitat decrease               Sonoyta mud turtle remain. The
                                              climate change (discussed below) are                    subsurface moisture needed for nesting                perennial water supporting four of the
                                              expected to exacerbate water loss.                      sites; drought refuge for hatchlings,                 five turtle extant populations has been
                                                 Ground water pumping impacts the                     juvenile, and adult turtles; and shelter              reduced, and all five populations are
                                              amount of surface water in areas used                   from large flooding events for                        isolated from one another. For the sole
                                              by Sonoyta mud turtles because the                      hatchlings, juveniles, and adults. It is              population in the United States,
                                              perennial sections of the Rio Sonoyta as                likely that only adults will be the most              discharge from Quitobaquito Springs
                                              well as the pond at Quitobaquito                        resistant to severe droughts. Decreased               has diminished by 42 percent over the
                                              Springs and Quitovac are supplied by                    riparian vegetation will lead to                      past 35 years, with 5,500 cubic feet (cf)/
                                              ground water. Diminished water                          deterioration of the microclimate that                day average discharge measured in the
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                                              reduces the amount of space, prey, and                  provides soil moisture for nest sites and             period 1981–1992, down to 3,157 cf/day
                                              cover (from predators and for estivation)               burrows.                                              measured from 2005–present (Carruth
                                              available to mud turtles. Reduction in                     Water permanence may also affect the               1996, pp. 13, 21; Holm 2016, pers.
                                              aquatic habitat (i.e., space) leads to                  diversity of aquatic invertebrate prey                comm.). Thus far, declining spring flow
                                              crowding and increased competition for                  available for mud turtles, with                       has been associated with less than 30
                                              limited resources (Stanila 2009, p. 45).                ephemeral habitats having lower                       centimeters (cm) (12 inches (in)) of
                                              Sonoyta mud turtles in dry or low                       diversity than intermittent or perennial              surface water level decline at the pond,


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                                                             Federal Register / Vol. 82, No. 181 / Wednesday, September 20, 2017 / Rules and Regulations                                                                             43901

                                              the depth of which ranges from 81 to 94                            considering the reduced spatial and                                Sonoyta mud turtle. Further, only a
                                              cm (32 to 37 in). This could indicate                              temporal extent of surface water. A total                          portion of the Sonoyta mud turtles are
                                              that current lower water levels of the                             of 57 turtles have been marked in the                              likely to be transplanted. Because there
                                              pond are also caused by leakage or                                 Papalote reach in 2017, for a mark-                                is uncertainty regarding how and when
                                              evapotranspiration, not just reduced                               recapture study that will provide better                           surface water loss and associated
                                              spring flow. Excluding young-of-the-                               information on the status of the Sonoyta                           riparian habitat impairment may occur,
                                              year (< 40 mm (1.6 in) carapace length),                           mud turtle in this reach in the next few                           as well as if and when various
                                              population estimates since 1984 ranged                             years.                                                             nonnative species may occur, we
                                              from a low of 39 turtles in 2005 to a                                 The population at the Sonoyta sewage                            projected what the effects to the Sonoyta
                                              high of 189 in 2013 with an average                                lagoon adjacent to the Rio Sonoyta has                             mud turtle may be in terms of
                                              annual population estimate of 110                                  the most reliable source of water at this                          population resiliency and species
                                              turtles. The population estimate for                               time and may be the largest of the five                            redundancy and representation under
                                              2015 was 141 turtles.                                              populations based on water availability,                           three plausible future scenarios over
                                                 In Mexico, the two populations in the                           but we have no current data on numbers                             three meaningful time frames: 7 years,
                                              Xochimilco and Papalote reaches of the                             of turtles at this site. If a new                                  35 years, and 70 years. We chose 7 years
                                              Rio Sonoyta are isolated from one                                  wastewater treatment plant is completed                            based on the area’s drought cycle, 35
                                              another even more than they used to be                             for the town of Sonoyta, the existing                              years because it incorporates both the
                                              historically because the lengths of the                            Sonoyta sewage lagoons will be drained                             maximum life span of the species and
                                              perennial reaches have contracted.                                 and the new wastewater treatment plant                             the mid-century climate projections for
                                              Added to this, a previously extant                                 will have 75 percent less habitat                                  the southwestern United States, and 70
                                              population in the Santa Domingo reach                              available for Sonoyta mud turtles. The                             years because it is within the range of
                                              that was located between Xochimilco                                fourth population in Mexico at Quitovac                            the available drought and climate
                                              and Papalote reaches is no longer extant                           is outside of the Rio Sonoyta watershed,                           change model forecasts and is about
                                              due to a complete lack of perennial                                in the Rio Guadalupe basin, and has no                             twice the maximum life span of the
                                              water. The perennial waters in these                               present-day hydrological connection to                             species (Lenart 2008, entire; Strittholt et
                                              three reaches have decreased by 80 to 92                           the Rio Sonoyta. In addition, the                                  al. 2012, entire; Garfin et al. 2013,
                                              percent from 19–27 km (11.8–16.8 mi)                               Quitovac site was just recently                                    entire).
                                              historically to approximately 1.5–5.5 km                           completely dredged and the current
                                              (0.9–3.4 mi) currently (table 1 and figure                         status of Sonoyta mud turtles at that                                 Since surface water availability limits
                                              3.1.1 of the SSA Report). Periodic                                 location is unknown.                                               the other elements and the carrying
                                              movement between populations in the                                                                                                   capacity of the site, the ranking of the
                                              Rio Sonoyta basin may occur during                                 Future Condition                                                   surface water was weighted higher than
                                              prolonged periods of high rainfall, but                              The future resiliency of Sonoyta mud                             the other metrics. This means that if
                                              the extent of immigration and                                      turtle populations depends on future                               surface water was ranked moderate and
                                              emigration of turtles is unknown.                                  water quantity, available riparian                                 all other elements were ranked high, the
                                              However, it is thought to be rare to                               habitat, available invertebrate prey, and                          overall ranking would be moderate. We
                                              limited due to distances between                                   absence of certain nonnative aquatic                               are presenting the moderate case
                                              populations coupled with limited                                   species. In addition, if the new                                   scenarios, as we have determined that
                                              hydrological connection.                                           wastewater treatment plant becomes                                 this is the most likely future scenario
                                                 Currently, the status of the                                    operational and replaces the Sonoyta                               based on our understanding of the
                                              Xochimilco population is unknown, but                              sewage lagoons, this will be a reduction                           future conditions of climate change and
                                              abundance is almost certainly far less,                            in water and riparian habitat for the                              groundwater pumping.

                                                  TABLE 2—SUMMARY OF SONOYTA MUD TURTLE POPULATION RESILIENCY UNDER SCENARIO 2—MODERATE CASE AT
                                                                          EACH TIME STEP COMPARED TO CURRENT CONDITION
                                                                                                                                          Current                                        Moderate case scenario

                                                     Country                             Population name                                                                7-year                      35-year                      70-year
                                                                                                                                         Condition
                                                                                                                                                                      time step                    time step                  time step

                                              United States ........      Quitobaquito Springs ..........................          Moderate ..............      Moderate ..............      Moderate ..............      Low
                                              Mexico ..................   Papalote Reach (Agua Dulce) ...........                  Moderate ..............      Moderate ..............      None ....................    None
                                                                          Sonoyta Sewage Lagoon ...................                Moderate ..............      Low ......................   None ....................    None
                                                                          New Sonoyta wastewater treatment                         None ....................    Moderate ..............      Moderate ..............      Moderate
                                                                            plant.
                                                                          Xochimilco Reach ...............................         Low ......................   Low ......................   None ....................    None
                                                                          (Sonoyta Reach) ................................
                                                                          Quitovac .............................................   Low ......................   Low ......................   Low ......................   Low
                                                                          Santo Domingo ...................................        None ....................    None ....................    None ....................    None
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                                              Summary of Changes From the                                        numerous comments and new                                          Report, and we updated the SSA Report
                                              Proposed Rule                                                      information from peer reviewers on the                             with the information NPS provided.
                                                In preparing this final rule, we                                 science and analysis in the SSA Report,                            This final rule incorporates minor
                                              reviewed and fully considered                                      and we have updated the SSA Report to                              changes to our proposed listing based
                                              comments we received from the public                               incorporate these accordingly. In                                  on the comments we received, as
                                              and peer reviewers on the SSA Report                               addition, we met with the National Park                            discussed below in Summary of
                                              and proposed rule. We received                                     Service (NPS) to discuss the SSA                                   Comments and Recommendations. We


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                                              43902        Federal Register / Vol. 82, No. 181 / Wednesday, September 20, 2017 / Rules and Regulations

                                              received multiple comments from peer                    our methods and conclusion, and                       moisture will impact egg survival. In the
                                              reviewers that we underestimated some                   provided additional and pertinent                     extremely arid environment where the
                                              of the future risks to Sonoyta mud turtle               information, clarifications, and                      Sonoyta mud turtle exists, riparian areas
                                              populations. We have reevaluated the                    suggestions to improve the SSA Report                 provide more shade and soil moisture
                                              viability of the Sonoyta mud turtle in                  and, therefore, the final rule. Peer                  than the surrounding uplands and,
                                              the SSA Report given this new                           reviewer comments are addressed in the                therefore, provide better habitat for
                                              information. These data allowed us to                   following summary and incorporated                    nests.
                                              refine our risk assessment; thus, the                   into the SSA Report and this final rule                 (5) Comment: One peer reviewer
                                              final results are slightly different from               as appropriate.                                       stated that some nonnative aquatic
                                              those in the proposed rule. We found                       (1) Comment: One peer reviewer                     species can be both predator and
                                              the probability of persistence lower than               stated that the new wastewater                        competitor to the Sonoyta mud turtle,
                                              in the proposed rule. The new                           treatment facility is not constructed, nor            and that not all nonnatives are harmful
                                              information we received in response to                  are there in-place plans to populate it,              to the Sonoyta mud turtle.
                                              the proposed rule did not change our                    and there is currently no guarantee that                Our Response: In the SSA Report, we
                                              determination that the Sonoyta mud                      whatever habitat is constructed will                  clarified that only certain nonnative
                                              turtle is an endangered species, nor was                actually be suitable.                                 aquatic species are predators of the
                                              it significant enough to warrant                           Our Response: We made revisions                    Sonoyta mud turtle, and we identify
                                              reopening the public comment period                     throughout the SSA Report to                          those that are a potential threat. We also
                                              on the proposed rule.                                   acknowledge the uncertainty related to                clarified that only certain other
                                                                                                      future habitat for the Sonoyta mud turtle             nonnative aquatic species, as well as
                                              Summary of Comments and                                 at the new wastewater treatment plant                 native fish species, may compete with
                                              Recommendations                                         in the town of Sonoyta, Sonora, Mexico.               Sonoyta mud turtles for invertebrate
                                                 In the proposed rule published on                       (2) Comment: One peer reviewer                     prey or disrupt the prey food chain.
                                              September 21, 2016 (81 FR 64829), we                    identified the importance of stipulating              Further, we clarified the effects to the
                                              requested that all interested parties                   that the historical range and populations             Sonoyta mud turtle from predation and
                                              submit written comments on the                          of the Sonoyta mud turtle are only those              competition from these specific
                                              proposal by November 21, 2016. We                       that are known or have been                           nonnatives.
                                              also contacted appropriate Federal and                  documented.                                             (6) Comment: Multiple peer reviewers
                                              State agencies, scientific experts and                     Our Response: We acknowledge that                  thought that our viability projections for
                                              organizations, and other interested                     these are only the known populations of               the Sonoyta mud turtle in chapter 5 of
                                              parties and invited them to comment on                  the Sonoyta mud turtle. While                         the SSA Report were overly optimistic
                                              the proposal. Newspaper notices                         historically there could have been other              based on uncertainty of the current
                                              inviting general public comment were                    populations, the best available                       status of populations in Mexico and
                                              published in the Arizona Daily Star. We                 commercial and scientific information                 because we underestimated the threats
                                              did not receive any requests for a public               does not indicate any other additional                of introduction of nonnative aquatic
                                              hearing.                                                populations.                                          species and climate change to the
                                                 We reviewed all comments we                             (3) Comment: One peer reviewer                     subspecies. Conversely, one peer
                                              received in response to the proposed                    stated that he is not convinced that                  reviewer thought we overestimated the
                                              rule for substantive issues and new                     development of Sonoyta mud turtle                     threat of nonnatives persisting at
                                              information. We did not receive any                     embryos takes 80 days and is delayed                  Quitobaquito Springs because NPS
                                              comments from Federal agencies, States,                 after the eggs are laid, as stated in Ernst           would probably remove the threat.
                                              or Tribes, and the public comments we                   and Lovich (2009, p. 497).                              Our Response: We agree that viability
                                              received only stated a preference for                      Our Response: We acknowledge                       projections for the Sonoyta mud turtle
                                              listing or not listing the subspecies                   uncertainty regarding the timing of                   were overly optimistic because of the
                                              without including any substantive                       embryo development, or diapause, in                   high uncertainty of the number of
                                              comments regarding the sufficiency of                   the Sonoyta mud turtle. However, these                turtles in the Mexico populations and
                                              our analysis. All substantive                           specific steps in the reproductive                    that we underestimated some of the
                                              information provided by peer reviewers                  process are also noted in van Lobel Sels              threats, such as long-term drought,
                                              during the comment period has either                    et al. (1997, p. 497) and Stone et al.                nonnatives, and loss of connectivity, to
                                              been incorporated directly into this final              (2015, p. 735). The best available                    the Sonoyta mud turtle. We modified
                                              determination or is addressed below.                    commercial and scientific information                 the SSA Report accordingly. We also
                                                                                                      indicates that diapause likely occurs in              agree that the nonnatives at
                                              Peer Reviewer Comments                                  this subspecies as it does in the                     Quitobaquito Springs have been
                                                 In accordance with our peer review                   nominate subspecies.                                  removed by NPS in the past; however,
                                              policy published on July 1, 1994 (59 FR                    (4) Comment: One peer reviewer                     no mechanism ensures that changing
                                              34270), we solicited expert opinion                     stated that we are assuming that                      resource priorities and funding
                                              from eight knowledgeable individuals                    Sonoyta mud turtles need riparian areas               constraints will not be an issue in the
                                              with scientific expertise that included                 with moist soil.                                      future. We have modified the SSA
                                              familiarity with the Sonoyta mud turtle                    Our Response: We acknowledge                       Report accordingly.
                                              and its habitat, biological needs, and                  uncertainty around the terrestrial                      (7) Comment: Several peer reviewers
                                              threats, or the nominate subspecies                     habitat needs of the Sonoyta mud turtle.              noted that statements in the SSA Report
                                              Sonora mud turtle. We received                          However, we have high confidence that                 that require citations to support them.
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                                              responses from six of the peer                          this subspecies uses areas with more                  For example, one peer reviewer believed
                                              reviewers.                                              shade and increased soil moisture to                  that the statement ‘‘prolonged and
                                                 We reviewed all comments received                    prevent desiccation of eggs in nest sites             recurrent estivation will reduce fitness
                                              from the peer reviewers for substantive                 and turtles in estivation sites. Without              and increase mortality’’ was entirely
                                              issues and new information regarding                    suitable soil moisture, eggs will                     speculative. Similarly, another peer
                                              the listing of Sonoyta mud turtle. The                  desiccate, and while the threshold is                 reviewer indicated the uncertainties
                                              peer reviewers generally concurred with                 unknown, at some point the loss of soil               acknowledged in the SSA Report reduce


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                                                           Federal Register / Vol. 82, No. 181 / Wednesday, September 20, 2017 / Rules and Regulations                                         43903

                                              its predictive value (e.g., effects of                  of the above threat factors, singly or in             turtles able to complete life functions, a
                                              transitioning to the new sewage                         combination.                                          decreasing population, and inability to
                                              treatment plant, likelihood of                             The fundamental question before the                withstand or recover from stochastic
                                              introduction of nonnative species, status               Service is whether the species meets the              events. All five of these populations are
                                              of the turtle on Tohono O’odham Nation                  definition of ‘‘endangered species’’ or               currently facing stressors and are
                                              lands, long-term genetic viability, and                 ‘‘threatened species’’ under the Act. To              susceptible to current and ongoing
                                              continued ability of State and Federal                  make this determination, we evaluated                 impacts.
                                              agencies to manage for this species).                   the projections of extinction risk,                      Habitat loss from anthropogenic
                                                 Our Response: We revised the SSA                     described in terms of the condition of                ground water withdrawals and long-
                                              Report to add citations to support                      current and future populations and their              term drought is occurring rangewide
                                              statements where needed throughout                      distribution (taking into account the risk            and is likely to continue and increase in
                                              the document. We also recognize that                    factors and their effects on those                    the near term (Factors A and E). This
                                              the SSA Report contains uncertainties,                  populations). For any species, as                     reduction in water restricts the limited
                                              and throughout the document we                          population condition declines and                     available habitat and decreases the
                                              identify these uncertainties as well as                 distribution shrinks, the species’                    resiliency of Sonoyta mud turtle
                                              quantify or clarify our level of                        extinction risk increases and overall                 populations within those habitats. We
                                              uncertainty. However, because we are                    viability declines.                                   find that ongoing cyclical drought is
                                              required by the Act (16 U.S.C. 1531 et                                                                        likely to continue and be exacerbated by
                                                                                                      Sonoyta Mud Turtle Determination of
                                              seq.) to complete this determination                                                                          climate change, further decreasing water
                                                                                                      Status Throughout All of Its Range
                                              based on the best available scientific                                                                        availability and increasing
                                                                                                         We have carefully assessed the best                evapotranspiration losses (Factors A and
                                              and commercial information, we must                     scientific and commercial information                 E). This threat is ongoing, rangewide,
                                              move forward without resolving all                      available regarding the past, present,                and expected to increase in the future.
                                              potential uncertainties.                                and future threats to the Sonoyta mud                 Predation by nonnative aquatic species
                                                 (8) Comment: One peer reviewer                       turtle. Currently, the five extant                    has occurred at two sites in Mexico,
                                              noted that the distribution map on page                 populations are all significantly isolated            although there is uncertainty with
                                              4, figure 2.1.1., of the SSA Report is a                from one another such that                            regard to the population effects (Factor
                                              bit out of date. Specifically, the                      recolonization of areas previously                    C). Predation by nonnative aquatic
                                              Quitovac locality is not shown, and                     extirpated or areas that may be                       species reduces recruitment and
                                              there are now many more localities in                   extirpated is extremely unlikely. Expert              population size of populations of
                                              northeastern Sonora (see the Madrean                    input provided during the development                 Sonora mud turtle, and it is likely to
                                              Archipelago Biodiversity Assessment                     of the SSA Report indicated that                      continue to affect Sonoyta mud turtle
                                              and Madrean Discovery Expeditions                       connectivity or movement among the                    populations in the future. The Quitovac
                                              databases).                                             populations is a rare or nonexistent                  population’s current habitat was just
                                                 Our Response: Figure 2.1.1. in the                   occurrence. The species’ range has been               recently completely dredged (Factor A),
                                              SSA Report is used to demonstrate the                   reduced by 80 to 92 percent in the Rio                and the current status of Sonoyta mud
                                              general distribution of the two mud                     Sonoyta (Factor A) in Mexico, and                     turtles at that location is unknown.
                                              turtle subspecies, Sonora and Sonoyta,                  current distribution is limited to five               Partial dredging in the near term is
                                              in relation to each other, not to                       populations in three ponds totaling less              likely to occur based on past dredging
                                              delineate the current range or                          than 7 ha (less than 17.5 ac) and two                 activity. It is reasonably likely that a
                                              distribution of either subspecies.                      perennial sections of the Rio Sonoyta                 catastrophic event could occur
                                                                                                      totaling 1.5 to 5.5 km (0.9 to 3.4 mi).               imminently at one or more of the
                                              Public Comments                                         Two historical populations are                        population sites, and current population
                                                We received only comments stating a                   extirpated due to loss of perennial                   resiliency and redundancy are
                                              preference for listing or not listing the               water. There are two newly discovered                 inadequate to maintain population
                                              subspecies. We did not receive any                      extant populations in addition to the                 viability.
                                              substantive comments regarding the                      three historical populations that remain.                The implementation of the
                                              sufficiency of the analysis.                            One is within a wastewater treatment                  conservation measures by NPS and the
                                                                                                      plant where the impacts from facility                 Quitobaquito Rio Sonoyta Working
                                              Determination                                           management and water quality make                     Group has resulted in maintaining the
                                              Standard for Review                                     monitoring difficult and may be adverse               only Sonoyta mud turtle population in
                                                                                                      to Sonoyta mud turtle viability, and the              the United States and reduces the risk
                                                 Section 4 of the Act (16 U.S.C. 1533),               other is outside the Rio Sonoyta basin,               of loss of at least one population in
                                              and its implementing regulations at 50                  which is likely outside the historical                Mexico. However, the conservation
                                              CFR part 424, set forth the procedures                  range of the species. None of the five                measures do not alleviate the threats
                                              for adding species to the Federal Lists                 populations are classified as having                  that are influencing the resiliency,
                                              of Endangered and Threatened Wildlife                   ‘‘high’’ resiliency, described in the SSA             redundancy, and representation of the
                                              and Plants. Under section 4(a)(1) of the                Report as ‘‘all or the majority of turtles            Sonoyta mud turtle across its range (as
                                              Act, we may list a species based on (A)                 are able to complete their life functions             described above).
                                              The present or threatened destruction,                  and breeding is successful to maintain                   The Act defines a ‘‘species’’ as
                                              modification, or curtailment of its                     a stable or increasing population, and                including any ‘‘subspecies of fish or
                                              habitat or range; (B) Overutilization for               able to withstand stochastic events or                wildlife or plants, and any distinct
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                                              commercial, recreational, scientific, or                recover from stochastic events from                   population segment of any species of
                                              educational purposes; (C) Disease or                    connected populations.’’ Even with a                  vertebrate fish or wildlife which
                                              predation; (D) The inadequacy of                        resiliency classified as ‘‘moderate’’ in              interbreeds when mature.’’ The Act
                                              existing regulatory mechanisms; or (E)                  three populations, we expect stable or                defines an ‘‘endangered species’’ as any
                                              Other natural or manmade factors                        decreasing populations that are not able              species that is ‘‘in danger of extinction
                                              affecting its continued existence. Listing              to recover from stochastic events. The                throughout all or a significant portion of
                                              actions may be warranted based on any                   remaining two populations have few                    its range’’ and a ‘‘threatened species’’ as


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                                              43904        Federal Register / Vol. 82, No. 181 / Wednesday, September 20, 2017 / Rules and Regulations

                                              any species ‘‘that is likely to become                  find that the condition and distribution              is necessary here is what the
                                              endangered throughout all or a                          of populations do not provide sufficient              consequence would be if the Service
                                              significant portion of its range within                 resiliency, redundancy, and                           were to find that the Sonoyta mud turtle
                                              the foreseeable future.’’ Based on the                  representation for this subspecies at this            is in danger of extinction or likely to
                                              information presented in the SSA                        time; therefore, we find that the                     become so throughout a significant
                                              Report for the Sonoyta mud turtle, and                  subspecies meets the definition of an                 portion of its range. Two district court
                                              the discussion above, we find that the                  endangered species under the Act.                     decisions have evaluated whether the
                                              best available scientific and commercial                Accordingly, on the basis of the best                 outcomes of the Service’s SPR
                                              information indicates that the Sonoyta                  available scientific and commercial                   determinations were reasonable. As
                                              mud turtle is presently in danger of                    information, we are listing the Sonoyta               described in the SPR Policy, both courts
                                              extinction throughout its entire range                  mud turtle as endangered in accordance                found that, once the Service determines
                                              based on the severity and immediacy of                  with sections 3(6) and 4(a)(1) of the Act.            that a ‘‘species’’—which can include a
                                              threats currently impacting the                            We find that a threatened status is not            species, subspecies, or DPS under ESA
                                              subspecies. The overall range has been                  appropriate for the Sonoyta mud turtle                Section 3(16)—meets the definition of
                                              significantly reduced; the limited                      because the danger of extinction for this             ‘‘endangered species’’ or ‘‘threatened
                                              remaining habitat and populations are                   subspecies exists now. The current                    species,’’ the species must be listed in
                                              currently threatened by an increase in                  restricted range and ubiquitous and                   its entirety and the Act’s protections
                                              ground water pumping, which results in                  imminent threats occur rangewide.                     applied consistently to all members of
                                              reduced spring flows and, therefore,                    Consequently, we find the Sonoyta mud                 that species (subject to modification of
                                              reduced surface water. Discharge from                   turtle to be in danger of extinction now              protections through special rules under
                                              Quitobaquito Springs has diminished by                  throughout its range.                                 sections 4(d) and 10(j) of the Act). See
                                              42 percent over the past 35 years, and                  Determination of Status Throughout a                  Defenders of Wildlife v. Salazar, 729 F.
                                              the pond depth has been declining since                 Significant Portion of Its Range                      Supp. 2d 1207, 1222 (D. Mont. 2010)
                                              the early 1990s due to                                                                                        (delisting of the Northern Rocky
                                                                                                         The Act defines an endangered                      Mountains DPS of gray wolf; appeal
                                              evapotranspiration, leakage, and the
                                                                                                      species as any species that is ‘‘in danger            dismissed as moot because of public law
                                              reduction in spring water discharge. The
                                                                                                      of extinction throughout all or a                     vacating the listing, 2012 U.S. App.
                                              perennial waters in the three historical
                                                                                                      significant portion of its range’’ and a              LEXIS 26769 (9th Cir. Nov. 7, 2012));
                                              reaches of the Rio Sonoyta have
                                                                                                      threatened species as any species ‘‘that              WildEarth Guardians v. Salazar, No.
                                              decreased by 80 to 92 percent. Current
                                                                                                      is likely to become endangered within                 09–00574–PHX–FJM, 2010 U.S. Dist.
                                              distribution is limited to five
                                                                                                      the foreseeable future throughout all or              LEXIS 105253, 15–16 (D. Ariz. Sept. 30,
                                              populations in three ponds totaling less                a significant portion of its range.’’ The
                                              than 7 ha (less than 17.5 ac) and two                                                                         2010) (Gunnison’s prairie dog). The
                                                                                                      phrase ‘‘significant portion of its range’’           issue has not been addressed by a
                                              perennial sections of the Rio Sonoyta                   is not defined by the Act, and a district
                                              totaling 1.5 to 5.5 km (0.9 to 3.4 mi).                                                                       Federal Court of Appeals.
                                                                                                      court has held that aspects of the                       Consistent with the district court case
                                              The new wastewater treatment plant, if                  Service’s Final Policy on Interpretation
                                              utilized, will provide 75 percent less                                                                        law, we interpret that the consequence
                                                                                                      of the Phrase ‘‘Significant Portion of Its            of finding that the Sonoyta mud turtle
                                              habitat available for Sonoyta mud                       Range’’ in the Endangered Species Act’s
                                              turtles than the current sewage lagoon.                                                                       is in danger of extinction or likely to
                                                                                                      Definitions of ‘‘Endangered Species and               become so throughout a significant
                                              Reduced surface water results in                        ‘‘Threatened Species’’ (79 FR 37577                   portion of its range would be that the
                                              reduced aquatic habitat where the                       (July 1, 2014)) (SPR Policy) were not                 entire species would be listed as an
                                              subspecies spends the majority of its                   valid. Center for Biological Diversity v.             endangered species or threatened
                                              time and that is needed to avoid                        Jewell, No. 14–cv–02506–RM (D. Ariz.                  species, respectively, and the Act’s
                                              desiccation of all life stages. Further, the            Mar. 29, 2017) (Pygmy-Owl Decision).                  protections would be applied to all
                                              reduction in surface water impacts                         Although the court’s order in that case            individuals of the species wherever
                                              aquatic vegetation used by the Sonoyta                  has not yet gone into effect, if the court            found. Thus, the ‘‘throughout all’’
                                              mud turtle for cover and by its prey                    denies the pending motion for                         phrase and the SPR phrase provide two
                                              species. Lastly, the reduction in ground                reconsideration, the SPR Policy would                 independent bases for listing. We note
                                              water reduces the soil moisture of the                  become vacated. Therefore, we have                    that in the Act Congress placed the ‘‘all’’
                                              riparian area, resulting in habitat that is             examined the plain language of the Act                language before the SPR phrase in the
                                              too dry for Sonoyta mud turtles to use                  and court decisions addressing the                    definitions of ‘‘endangered species’’ and
                                              for estivation and nesting.                             Service’s application of the SPR phrase               ‘‘threatened species.’’ This suggests that
                                                 These factors, acting in combination,                in various listing decisions, and for                 Congress intended that an analysis
                                              reduce the overall viability of the                     purposes of this rulemaking we are                    based on consideration of the entire
                                              subspecies. Each of the five remaining                  applying the interpretation set out                   range should receive primary focus.
                                              populations are exposed to threats that                 below for the phrase ‘‘significant                    Thus, the first step we undertook,
                                              may eliminate them individually at any                  portion of its range’’ and its context in             above, in our assessment of the status of
                                              time. The risk of extinction for this                   determining whether or not a species is               the species was to determine its status
                                              subspecies is currently high because the                an endangered species or a threatened                 throughout all of its range. Having
                                              five remaining populations are small,                   species. Because the interpretation we                determined that the species is in danger
                                              isolated, and have limited (if any)                     are applying is consistent with the SPR               of extinction throughout all of its range,
                                              potential for recolonization. Each                      Policy, we summarize herein the bases                 we now examine whether it is necessary
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                                              population’s isolation from other                       for our interpretation, and also refer the            to determine its status throughout a
                                              populations means that once a                           public to the SPR Policy itself for a                 significant portion of its range.
                                              population is extirpated, it is likely to               more-detailed explanation of our                         We conclude that in this situation we
                                              remain extirpated. The estimated                        reasons for interpreting the phrase in                do not need to conduct an SPR analysis.
                                              current conditions of the known                         this way.                                             This conclusion is consistent with the
                                              Sonoyta mud turtle populations as                          An important factor that influences                Act because the species is currently in
                                              described in the SSA Report lead us to                  the question of whether an SPR analysis               danger of extinction throughout all of its


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                                                           Federal Register / Vol. 82, No. 181 / Wednesday, September 20, 2017 / Rules and Regulations                                        43905

                                              range due either to high-magnitude                      the absence of finding that the                       allows the Service an additional year to
                                              threats across its range, or to threats that            designation of critical habitat would                 publish a critical habitat designation (16
                                              are so high in particular areas that they               increase threats to a species, we next                U.S.C. 1533(b)(6)(C)(ii)).
                                              severely affect the species across its                  determine whether such designation of
                                                                                                                                                            Available Conservation Measures
                                              range. Therefore, the species is in                     critical habitat would not be beneficial
                                              danger of extinction throughout every                   to the species. In our proposed listing                  Conservation measures provided to
                                              portion of its range, and an analysis of                rule, we determined that there are                    species listed as endangered or
                                              whether the species is in danger of                     habitat-based threats to the Sonoyta                  threatened species under the Act
                                              extinction or likely to become so                       mud turtle identified under Factor A.                 include recognition, recovery actions,
                                              throughout any significant portion of its               Therefore, we find that the designation               requirements for Federal protection, and
                                              range would be redundant and                            of critical habitat would be beneficial to            prohibitions against certain practices.
                                              unnecessary. We accordingly conclude                    Sonoyta mud turtle through the                        Recognition through listing results in
                                              that we do not need to conduct further                  provisions of section 7 of the Act.                   public awareness, and conservation by
                                              analysis of whether the Sonoyta mud                     Because we have determined that the                   Federal, State, Tribal, and local
                                              turtle is in danger of extinction or likely             designation of critical habitat will not              agencies, private organizations, and
                                              to become so in the foreseeable future                  likely increase the degree of threat to the           individuals. The Act encourages
                                              throughout a significant portion of its                 subspecies and would be beneficial, we                cooperation with the States and requires
                                              range.                                                  find that designation of critical habitat             that recovery actions be carried out for
                                                Therefore, on the basis of the best                   is prudent for the Sonoyta mud turtle.                all listed species. The protection
                                              available scientific and commercial                                                                           required by Federal agencies and the
                                                                                                      Critical Habitat Determinability                      prohibitions against certain activities
                                              information, we are adding Sonoyta
                                              mud turtle to the List of Endangered and                   Having determined that designation is              are discussed, in part, below.
                                              Threatened Wildlife as an endangered                    prudent, under section 4(a)(3) of the                    The primary purpose of the Act is the
                                              species in accordance with sections 3(6)                Act, we must find whether critical                    conservation of endangered and
                                              and 4(a)(1) of the Act. We find that a                  habitat for the Sonoyta mud turtle is                 threatened species and the ecosystems
                                              threatened species status is not                        determinable. Our regulations at 50 CFR               upon which they depend. The ultimate
                                              appropriate for Sonoyta mud turtle                      424.12(a)(2) state that critical habitat is           goal of such conservation efforts is the
                                              because of the immediacy of threats                     not determinable when one or both of                  recovery of these listed species, so that
                                              facing the species with only five known                 the following situations exist:                       they no longer need the protective
                                              populations, at least one of which is                      (i) Information sufficient to perform              measures of the Act. Subsection 4(f) of
                                              declining in abundance.                                 required analysis of the impacts of the               the Act requires the Service to develop
                                                                                                      designation is lacking, or                            and implement recovery plans for the
                                              Critical Habitat Determination                             (ii) The biological needs of the species           conservation of endangered and
                                                 Section 4(a)(3) of the Act, as                       are not sufficiently well known to                    threatened species. The recovery
                                              amended, and implementing regulations                   identify any area that meets the                      planning process involves the
                                              (50 CFR 424.12), require that, to the                   definition of ‘‘critical habitat.’’                   identification of actions that are
                                              maximum extent prudent and                                 As required by section 4(b)(2) of the              necessary to halt or reverse the species’
                                              determinable, the Secretary shall                       Act, we use the best scientific data                  decline by addressing the threats to its
                                              designate critical habitat at the time the              available to designate critical habitat               survival and recovery. The goal of this
                                              species is determined to be an                          after taking into consideration the                   process is to restore listed species to a
                                              endangered or threatened species. Our                   economic impact, national security                    point where they are secure, self-
                                              regulations (50 CFR 424.12(a)(1)) state                 impact, and any other relevant impact of              sustaining, and functioning components
                                              that the designation of critical habitat is             specifying any particular area as critical            of their ecosystems.
                                              not prudent when one or both of the                     habitat. In accordance with the Act and                  Recovery planning includes the
                                              following situations exist:                             our implementing regulations at 50 CFR                development of a recovery outline
                                                 (1) The species is threatened by taking              424.12(b), we review available                        shortly after a species is listed and
                                              or other human activity, and                            information pertaining to the habitat                 preparation of a draft and final recovery
                                              identification of critical habitat can be               requirements of the species and identify              plan. The recovery outline guides the
                                              expected to increase the degree of threat               specific areas within the geographical                immediate implementation of urgent
                                              to the species, or                                      area occupied by the species at the time              recovery actions and describes the
                                                 (2) Such designation of critical habitat             of listing and any specific areas outside             process to be used to develop a recovery
                                              would not be beneficial to the species.                 the geographical area occupied by the                 plan. Revisions of the plan may be done
                                              In determining whether a designation                    species to be considered for designation              to address continuing or new threats to
                                              would not be beneficial, the factors the                as critical habitat. A careful assessment             the species, as new substantive
                                              Service may consider include but are                    of the economic impacts that may occur                information becomes available. The
                                              not limited to: Whether the present or                  due to a critical habitat designation is              recovery plan identifies site-specific
                                              threatened destruction, modification, or                still ongoing, and we are in the process              management actions that set a trigger for
                                              curtailment of a species’ habitat or range              of working with Customs and Border                    review of the five factors that control
                                              is not a threat to the species, or whether              Protection and the National Park Service              whether a species remains endangered
                                              any areas meet the definition of ‘‘critical             in acquiring the necessary information                or may be downlisted or delisted, and
                                              habitat.’’                                              needed to perform that assessment. The                methods for monitoring recovery
                                                                                                      information sufficient to perform a                   progress. Recovery plans also establish
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                                              Prudency of Critical Habitat                            required analysis of the impacts of the               a framework for agencies to coordinate
                                                There is currently no imminent threat                 designation is lacking. Accordingly, we               their recovery efforts and provide
                                              of take attributed to collection or                     find that critical habitat for this                   estimates of the cost of implementing
                                              vandalism identified under Factor B for                 subspecies, in accordance with section                recovery tasks. Recovery teams
                                              this subspecies, and identification and                 4(a)(3)(A) of the Act, to be not                      (composed of species experts, Federal
                                              mapping of critical habitat is not                      determinable at this time. When critical              and State agencies, nongovernmental
                                              expected to initiate any such threat. In                habitat is not determinable, the Act                  organizations, and stakeholders) are


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                                              43906        Federal Register / Vol. 82, No. 181 / Wednesday, September 20, 2017 / Rules and Regulations

                                              often established to develop recovery                   responsible Federal agency must enter                 likely that site-specific conservation
                                              plans. When completed, the recovery                     into consultation with the Service.                   measures may be needed for activities
                                              outline, draft recovery plan, and the                      Federal agency actions within the                  that may directly or indirectly affect the
                                              final recovery plan will be available on                subspecies’ habitat that may require                  species. Based on the best available
                                              our Web site (http://www.fws.gov/                       conference or consultation or both as                 information, the following actions are
                                              endangered) or from our Arizona                         described in the preceding paragraph                  likely to result in a violation of section
                                              Ecological Services Field Office (see FOR               include management and any other                      9; this list is not comprehensive:
                                              FURTHER INFORMATION CONTACT).                           landscape-altering activities on Federal                 (1) Unauthorized handling or
                                                 Implementation of recovery actions                   lands administered by NPS (Organ Pipe                 collecting of the Sonoyta mud turtle.
                                              generally requires the participation of a               Cactus National Monument) and U.S.                       (2) Destruction/alteration of Sonoyta
                                              broad range of partners, including other                Customs and Border Protection.                        mud turtle habitat by discharge of fill
                                              Federal agencies, States, Tribes,                          The Act and its implementing                       material, draining, ditching, tiling, pond
                                              nongovernmental organizations,                          regulations set forth a series of general             construction, stream channelization or
                                              businesses, and private landowners.                     prohibitions and exceptions that apply                diversion, removal or destruction of
                                              Examples of recovery actions include                    to endangered wildlife. The prohibitions              emergent aquatic vegetation; or
                                              habitat restoration (e.g., restoration of               of section 9(a)(1) of the Act, codified at            diversion or alteration of surface or
                                              native vegetation), research, captive                   50 CFR 17.21, make it illegal for any                 ground water flow into or out of the
                                              propagation and reintroduction, and                     person subject to the jurisdiction of the             wetland (i.e., due to roads,
                                              outreach and education. The recovery of                 United States to take (which includes                 impoundments, discharge pipes, storm
                                              many listed species cannot be                           harass, harm, pursue, hunt, shoot,                    water detention basins, etc.) or in any
                                              accomplished solely on Federal lands                    wound, kill, trap, capture, or collect; or            body of water in which the Sonoyta
                                              because their range may occur primarily                 to attempt any of these) endangered                   mud turtle is known to occur.
                                              or solely on non-Federal lands. To                      wildlife within the United States or on                  (3) Direct or indirect destruction of
                                              achieve recovery of these species                       the high seas. In addition, it is unlawful            riparian habitat.
                                              requires cooperative conservation efforts               to import; export; deliver, receive, carry,              (4) Introduction of nonnative species
                                              on private, State, and Tribal lands.                    transport, or ship in interstate or foreign           that compete with or prey upon the
                                                 Following publication of this final                  commerce in the course of commercial                  Sonoyta mud turtle, such as the
                                              listing rule, funding for recovery actions              activity; or sell or offer for sale in                introduction of nonnative fish and
                                              will be available from a variety of                     interstate or foreign commerce any                    crayfish species.
                                              sources, including Federal budgets,                     listed species. It is also illegal to                    (5) Release of biological control agents
                                              State programs, and cost share grants for               possess, sell, deliver, carry, transport, or          that attack any life stage of this
                                              non-Federal landowners, the academic                    ship any such wildlife that has been                  subspecies.
                                              community, and nongovernmental                          taken illegally. Certain exceptions apply                (6) Discharge of chemicals or fill
                                              organizations. In addition, pursuant to                 to employees of the Service, the                      material into any waters in which the
                                              section 6 of the Act, the State of Arizona              National Marine Fisheries Service, other              Sonoyta mud turtle is known to occur.
                                              will be eligible for Federal funds to                   Federal land management agencies, and                    Questions regarding whether specific
                                              implement management actions that                       State conservation agencies.                          activities would constitute a violation of
                                              promote the protection or recovery of                      We may issue permits to carry out
                                                                                                                                                            section 9 of the Act should be directed
                                              the Sonoyta mud turtle. Information on                  otherwise prohibited activities
                                                                                                                                                            to the Arizona Ecological Services Field
                                              our grant programs that are available to                involving endangered wildlife under
                                                                                                                                                            Office (see FOR FURTHER INFORMATION
                                              aid species recovery can be found at:                   certain circumstances. Regulations
                                                                                                                                                            CONTACT).
                                              http://www.fws.gov/grants.                              governing permits are codified at 50
                                                 Please let us know if you are                        CFR 17.22. With regard to endangered                  Required Determinations
                                              interested in participating in recovery                 wildlife, a permit may be issued for the
                                              efforts for the Sonoyta mud turtle.                     following purposes: for scientific                    National Environmental Policy Act (42
                                              Additionally, we invite you to submit                   purposes, to enhance the propagation or               U.S.C. 4321 et seq.)
                                              any new information on this subspecies                  survival of the species, and for                         We have determined that
                                              whenever it becomes available and any                   incidental take in connection with                    environmental assessments and
                                              information you may have for recovery                   otherwise lawful activities. There are                environmental impact statements, as
                                              planning purposes (see FOR FURTHER                      also certain statutory exemptions from                defined under the authority of the
                                              INFORMATION CONTACT).                                   the prohibitions, which are set forth at              National Environmental Policy Act
                                                 Section 7(a) of the Act requires                     sections 9 and 10 of the Act.                         (NEPA; 42 U.S.C. 4321 et seq.), need not
                                              Federal agencies to evaluate their                         It is our policy, as published in the              be prepared in connection with listing
                                              actions with respect to any species that                Federal Register on July 1, 1994 (59 FR               a species as an endangered or
                                              is listed as an endangered or threatened                34272), to identify to the maximum                    threatened species under the
                                              species and with respect to its critical                extent practicable at the time a species              Endangered Species Act. We published
                                              habitat, if any is designated. Regulations              is listed, those activities that would or             a notice outlining our reasons for this
                                              implementing this interagency                           would not constitute a violation of                   determination in the Federal Register
                                              cooperation provision of the Act are                    section 9 of the Act. The intent of this              on October 25, 1983 (48 FR 49244).
                                              codified at 50 CFR part 402. Section                    policy is to increase public awareness of
                                              7(a)(2) of the Act requires Federal                     the effect of a final listing on proposed             Government-to-Government
                                              agencies to ensure that activities they                 and ongoing activities within the range               Relationship With Tribes
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                                              authorize, fund, or carry out are not                   of a listed species. At this time, we are               In accordance with the President’s
                                              likely to jeopardize the continued                      unable to identify specific activities that           memorandum of April 29, 1994
                                              existence of any endangered or                          would not be considered to result in a                (Government-to-Government Relations
                                              threatened species or destroy or                        violation of section 9 of the Act because             with Native American Tribal
                                              adversely modify its critical habitat. If a             the Sonoyta mud turtle sites where the                Governments; 59 FR 22951), Executive
                                              Federal action may affect a listed                      species currently occurs are subject to a             Order 13175 (Consultation and
                                              species or its critical habitat, the                    variety of potential activities, and it is            Coordination With Indian Tribal


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                                                             Federal Register / Vol. 82, No. 181 / Wednesday, September 20, 2017 / Rules and Regulations                                                                   43907

                                              Governments), and the Department of                        impacts to the tribes, and how tribal                          Authors
                                              the Interior’s manual at 512 DM 2, we                      information may be used in our                                   The primary authors of this final rule
                                              readily acknowledge our responsibility                     assessment. In addition, we requested                          are the staff members of the Arizona
                                              to communicate meaningfully with                           any information they have regarding the                        Ecological Services Field Office.
                                              recognized Federal Tribes on a                             subspecies. On August 17, 2016, we
                                              government-to-government basis. In                         invited comments from the five tribes,                         List of Subjects in 50 CFR Part 17
                                              accordance with Secretarial Order 3206                     and on September 19, 2016, we                                    Endangered and threatened species,
                                              of June 5, 1997 (American Indian Tribal                    submitted notification to tribal leaders                       Exports, Imports, Reporting and
                                              Rights, Federal-Tribal Trust                               of the proposed listing publication. To                        recordkeeping requirements,
                                              Responsibilities, and the Endangered                       date, we have not received a response                          Transportation.
                                              Species Act), we readily acknowledge                       from these any of these tribes. Upon
                                              our responsibilities to work directly                                                                                     Regulation Promulgation
                                                                                                         publication of this final rule, we will
                                              with tribes in developing programs for                                                                                      Accordingly, we amend part 17,
                                                                                                         send notification letters to these tribes
                                              healthy ecosystems, to acknowledge that                                                                                   subchapter B of chapter I, title 50 of the
                                                                                                         and again extend an invitation to meet
                                              tribal lands are not subject to the same                                                                                  Code of Federal Regulations, as follows:
                                              controls as Federal public lands, to                       and discuss.
                                              remain sensitive to Indian culture, and                    References Cited                                               PART 17—ENDANGERED AND
                                              to make information available to tribes.                                                                                  THREATENED WILDLIFE AND PLANTS
                                                 Based on cultural claims maps and                         A complete list of references cited in
                                              reservation boundaries we have on file,                    this rulemaking is available in the SSA                        ■ 1. The authority citation for part 17
                                              the distribution of the Sonoyta mud                        Report (U.S. Fish and Wildlife Service                         continues to read as follows:
                                              turtle overlaps areas that may be of                       2017. Species status assessment report                           Authority: 16 U.S.C. 1361–1407; 1531–
                                              interest to the following tribes: Tohono                   for the Sonoyta mud turtle (Kinosternon                        1544; 4201–4245, unless otherwise noted.
                                              O’odham Nation, Quechan Tribe, Hopi                        sonoriense longifemorale), Version 2.0.                        ■  2. In § 17.11(h), add an entry for
                                              Tribe, Colorado River Indian Tribes, and                   Albuquerque, NM) that is available on                          ‘‘Turtle, Sonoyta mud’’ to the List of
                                              Cocopah Indian Tribe. On November 20,                      the Internet at http://                                        Endangered and Threatened Wildlife in
                                              2015, we notified these tribes via letter                  www.regulations.gov at Docket Number                           alphabetical order under REPTILES to
                                              of our intent to conduct a status                          FWS–R2–ES–2016–0103, at https://                               read as set forth below:
                                              assessment for the purpose of                              www.fws.gov/southwest/es/arizona/,
                                              determining whether the subspecies                                                                                        § 17.11 Endangered and threatened
                                                                                                         and upon request from the Arizona                              wildlife.
                                              warrants protection under the Act. In                      Ecological Services Field Office (see FOR
                                              our letter, we offered to meet with the                    FURTHER INFORMATION CONTACT).
                                                                                                                                                                        *       *    *                *     *
                                              tribe to discuss the process, potential                                                                                       (h) * * *

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


                                                          *                       *                         *                        *                         *                                *                      *
                                                         REPTILES

                                                        *                        *                         *                       *                          *                                 *                     *
                                              Turtle, Sonoyta mud ..........     Kinosternon .......................   Wherever found ................   E ........................................   82 FR [insert Federal
                                                                                 sonoriense longifemorale ..                                                                                            Register page where
                                                                                                                                                                                                        the document begins], 9/
                                                                                                                                                                                                        20/2017.

                                                         *                        *                         *                        *                         *                                *                      *



                                              *      *       *       *      *                              Dated: September 7, 2017.
                                                                                                         James W. Kurth,
                                                                                                         Acting Director, U.S. Fish and Wildlife
                                                                                                         Service.
                                                                                                         [FR Doc. 2017–20072 Filed 9–19–17; 8:45 am]
                                                                                                         BILLING CODE 4333–15–P
sradovich on DSKBBY8HB2PROD with RULES




                                         VerDate Sep<11>2014     17:10 Sep 19, 2017   Jkt 241001   PO 00000     Frm 00081    Fmt 4700    Sfmt 9990   E:\FR\FM\20SER1.SGM           20SER1



Document Created: 2018-10-24 14:21:53
Document Modified: 2018-10-24 14:21:53
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionRules and Regulations
ActionFinal rule.
DatesThis rule is effective October 20, 2017.
ContactSteve Spangle, Field Supervisor, U.S. Fish and Wildlife Service, Arizona Ecological Services Field Office, 9828 North 31st Ave #C3, Phoenix, AZ 85051-2517; telephone 602-242- 0210. Persons who use a telecommunications device for the deaf (TDD) may call the Federal Relay Service at 800-877-8339.
FR Citation82 FR 43897 
RIN Number1018-AZ02
CFR AssociatedEndangered and Threatened Species; Exports; Imports; Reporting and Recordkeeping Requirements and Transportation

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