82_FR_45739 82 FR 45551 - Endangered and Threatened Wildlife and Plants; Withdrawal of the Proposed Rule to List Kenk's Amphipod

82 FR 45551 - Endangered and Threatened Wildlife and Plants; Withdrawal of the Proposed Rule to List Kenk's Amphipod

DEPARTMENT OF THE INTERIOR
Fish and Wildlife Service

Federal Register Volume 82, Issue 188 (September 29, 2017)

Page Range45551-45574
FR Document2017-21052

We, the U.S. Fish and Wildlife Service (Service), withdraw the proposed rule to list the Kenk's amphipod (Stygobromus kenki), an invertebrate from the District of Columbia, Maryland, and Virginia as an endangered species under the Endangered Species Act (Act) as amended. This withdrawal is based on our conclusion that the threats to the species as identified in the proposed rule are not as significant as we previously determined and the proposed listing is not warranted. We base this conclusion on our analysis of new information concerning the results of new surveys, current and future threats, and conservation efforts. We find the best scientific and commercial data available indicate that the Kenk's amphipod does not meet the statutory definitions of an endangered or threatened species. Therefore, we are withdrawing our proposed rule to list the Kenk's amphipod as an endangered species.

Federal Register, Volume 82 Issue 188 (Friday, September 29, 2017)
[Federal Register Volume 82, Number 188 (Friday, September 29, 2017)]
[Proposed Rules]
[Pages 45551-45574]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2017-21052]


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DEPARTMENT OF THE INTERIOR

Fish and Wildlife Service

50 CFR Part 17

[Docket No. FWS-R5-ES-2016-0030; 4500030113]
RIN 1018-BB50


Endangered and Threatened Wildlife and Plants; Withdrawal of the 
Proposed Rule to List Kenk's Amphipod

AGENCY: Fish and Wildlife Service, Interior.

ACTION: Proposed rule; withdrawal.

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SUMMARY: We, the U.S. Fish and Wildlife Service (Service), withdraw the 
proposed rule to list the Kenk's amphipod (Stygobromus kenki), an 
invertebrate from the District of Columbia, Maryland, and Virginia as 
an endangered species under the Endangered Species Act (Act) as 
amended. This withdrawal is based on our conclusion that the threats to 
the species as identified in the proposed rule are not as significant 
as we previously determined and the proposed listing is not warranted. 
We base this conclusion on our analysis of new information concerning 
the results of new surveys, current and future threats, and 
conservation efforts. We find the best scientific and commercial data 
available indicate that the Kenk's amphipod does not meet the statutory 
definitions of an endangered or threatened species. Therefore, we are 
withdrawing our proposed rule to list the Kenk's amphipod as an 
endangered species.

DATES: The proposed rule that published on September 30, 2016 (81 FR 
67270), is withdrawn on September 29, 2017.

ADDRESSES: The withdrawal of our proposed rule and supplementary 
documents are available on the Internet at http://www.regulations.gov 
at Docket No. FWS-R5-ES-2016-0030, and at https://www.fws.gov/chesapeakebay/. Comments and materials we received, as well as 
supporting documentation we used in the preparation of this withdrawal, 
are available for public inspection by appointment, during normal 
business hours at: U.S. Fish and Wildlife Service, Chesapeake Bay Field 
Office, 177 Admiral Cochrane Drive, Annapolis, MD 21401, by telephone 
410-573-4577 or by facsimile 410-269-0832.

FOR FURTHER INFORMATION CONTACT: Genevieve LaRouche, Field Supervisor, 
U.S. Fish and Wildlife Service, Chesapeake Bay Field Office, 177 
Admiral Cochrane Drive, Annapolis, MD 21401, by telephone 410-573-4577 
or by facsimile 410-269-0832. Persons who use a telecommunications 
device for the deaf (TDD) may call the Federal Relay Service at 800-
877-8339.

SUPPLEMENTARY INFORMATION:

Executive Summary

    Why we need to publish this document. Under the Endangered Species 
Act (Act), if a species is determined to be an endangered or threatened 
species throughout all or a significant portion of its range, we are 
required to promptly publish a proposal in the Federal Register and 
make a determination on our proposal within 1 year. On September 30, 
2016, we issued a proposed rule to add the Kenk's amphipod as an 
endangered species to the List of Endangered and Threatened Wildlife in 
title 50 of the Code of Federal Regulations (50 CFR 17.11(h)). Our 
proposal was based on threats due to poor water quality, erosion, and 
sedimentation resulting from urban runoff at the Maryland and the 
District of Columbia locations and the effects of small population size 
and climate change at all known locations (81 FR 67270). This document 
withdraws our proposed rule to list the Kenk's amphipod as an 
endangered species under the Act because we have now determined that 
the threats to the species are not as significant as we previously 
determined and additional populations have been discovered in Virginia 
with threats that will be reduced or eliminated through conservation 
measures; therefore, listing is not warranted.
    The basis for our action. Under section 4(a)(1) of the Act, we can 
determine that a species is an endangered or threatened species based 
on any of five factors: (A) The present or threatened destruction, 
modification, or curtailment of its habitat or range; (B) 
Overutilization for commercial, recreational, scientific, or 
educational purposes; (C) Disease or predation; (D) The inadequacy of 
existing regulatory mechanisms; or (E) Other natural or manmade factors 
affecting its continued existence. We have determined that the threats 
to the Kenk's amphipod are not as significant and the species is more 
widely distributed than we previously determined and that listing is 
not warranted. Therefore, this document withdraws our proposed rule to 
list the Kenk's amphipod as an endangered species under the Act.
    Peer review and public comment. We sought comments from five 
independent specialists to ensure that our

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designation is based on scientifically sound data, assumptions, and 
analyses. We invited these peer reviewers to comment on our listing 
proposal and received comments from all five. We also considered all 
comments and information received during the comment period.

Background

Previous Federal Actions

    Please refer to the proposed listing rule for the Kenk's amphipod 
(81 FR 67270; September 30, 2016) for a detailed description of 
previous Federal actions concerning this species.
    On June 7, 2017, the Department of Defense, U.S. Army Garrison, 
Fort A.P. Hill, finalized their revised Integrated Natural Resources 
Management Plan (INRMP) to include conservation measures for the Kenk's 
amphipod (Fort A.P. Hill 2017, pp. 5, 8, 8-56, 9-1- 9-4, 9-31-9-34; 
Andersen 2017a, pers. comm.; Andersen 2017b pers. comm.).

Species Description

    Please refer to the proposed listing rule for the Kenk's amphipod 
(81 FR 67270; September 30, 2016) for a detailed summary of species' 
information; however, we note key pieces of updated information below.
    The Kenk's amphipod (Stygobromus kenki) is a moderately small 
subterranean crustacean, growing to a maximum length of approximately 
0.22 inches (in) (5.5 millimeters (mm)), that can co-occur with other 
amphipods, such as the Potomac ground water amphipod (S. tenuis 
potomacus), Hay's spring amphipod (S. hayi), Tidewater amphipod (S. 
indentatus), and Rappahannock spring amphipod (S. foliatus). 
Subterranean species like the Kenk's amphipod may live for 4 to 6 
years, or even longer (Foltz and Jepson 2009, p. 2; Culver 2016, pers. 
comm.).
    Accurate identification of the Kenk's amphipod can occur only when 
a specimen is removed from the seepage spring site (hereafter referred 
interchangeably as seepage spring, seep, spring, or site depending upon 
the reference), and preserved in alcohol or other fixing agent for 
identification by a species expert who removes legs and other 
appendages from the specimen for microscopic examination. This 
identification method is the best scientific method available. Because 
the laboratory identification results in mortality, and the species co-
occurs in at least one site with the federally listed Hay's spring 
amphipod, the Service has been judicious in limiting the frequency and 
number of specimens removed from known sites.

Habitat

    Amphipods of the genus Stygobromus occur in ground water and ground 
water-related habitats (e.g., caves, seeps, small springs, wells, 
interstices, and, rarely, deep ground water lakes). The Kenk's amphipod 
is found in wooded areas where ground water emerges to form seepage 
springs (Holsinger 1978, p. 39). More specifically, Culver and Pipan 
(2014, pp. 22-23) refer to this habitat as the hypotelminorheic. 
Hypotelminorheic is described as habitats: (1) With a perched aquifer 
fed by subsurface water that creates a persistent wet spot; (2) 
underlain by a clay or other impermeable layer typically 5 to 50 
centimeters (cm) (2 to 20 in) below the surface; and (3) rich in 
organic matter compared with other aquatic subterranean habitats. The 
water supplying the springs infiltrates to the ground water from 
precipitation and runoff into the catchment (e.g., recharge or 
drainage) areas. The water exits these habitats at seepage springs. The 
shading, hydrology, and organic matter found in these woodlands are 
considered important factors in maintaining suitable habitat (i.e., for 
feeding, breeding, and sheltering) for the species.
    Springs known to currently support the Kenk's amphipod are found in 
forested areas with moderate to steep slopes, adjacent to streams, and 
overlying the Wissahickon geologic formation in the Piedmont of 
Maryland and the District of Columbia and in the Calvert formation just 
above the Nanjemoy formation in the upper Coastal Plain of Virginia. 
The Kenk's amphipod has been found in the dead leaves or fine sediment 
submerged in the waters of its seepage spring outflows (Holsinger 1978, 
p. 130). The species will move between the surface and subterranean 
portions of the spring habitat, but it is unknown when or how often 
that movement occurs (Kavanaugh 2009, p. 3).
    Our previous understanding of seepage springs drainage areas was 
that these springs typically drain an area of less than 10,000 square 
meters (2.5 acres (ac); 1 hectare (ha)). The Service contracted with 
the Maryland Geological Survey to delineate the recharge areas of the 
six Kenk's amphipod's seepage spring sites in Maryland and the District 
of Columbia (Burnt Mill Spring #6, East Spring, Kennedy Street Spring, 
Sherrill Drive Spring, Coquelin Run Spring, and Holsinger Spring) 
(Staley 2016, pp. 1-46; Staley 2017, pers. comm.). In addition, the 
Maryland Geological Survey conducted electrical resistivity surveying 
to determine elevations of bedrock or clay that may be perching the 
water table, and to detect elevation of the water table of three of the 
Washington metropolitan area seepage springs (Burnt Mill Spring #6, 
East Spring, and Kennedy Street Spring) (Staley 2016, pp. 1-46). The 
surface watershed area of the springs ranged from the largest area of 
22,055 square meters (m\2\) (237,402 square feet (ft\2\) (Holsinger 
Spring) to the smallest of 2,345 m\2\ (25,241 ft\2\) (East Spring) 
(Staley 2016, pp. 1-46; Staley 2017, pers. comm.).
    However, these watershed boundary calculations do not accurately 
reflect the extent and magnitude of the subsurface ground water flow to 
the springs, since fracture zones in the bedrock underlying the 
saturated zones may extend a spring's ground water source beyond the 
surface watershed boundaries. The saturated zones supplying water to 
these springs appear to extend to a depth of 10 meters (m) (32.8 ft) or 
more at locations near each of these springs (Staley 2016, pp. 1-46); 
they are underlain by bedrock or dense saprolite (material derived from 
weathered bedrock). This finding suggests that at some locations the 
ground water source for these seepage springs may not be as shallow as 
described by Culver and Chestnut (2006, p. 2), and could be influenced 
by a larger area than the surface catchment area. This finding may also 
mean that the Kenk's amphipod could be present at times in deeper 
subsurface water or in fractured portions of bedrock.

Distribution and Relative Abundance

Current Known Range and Distribution
    The Kenk's amphipod has been documented from a total of 13 seepage 
spring sites: East Spring, Holsinger Spring, Sherrill Drive Spring and 
Kennedy Street Spring in Rock Creek Park, managed by the National Park 
Service (NPS), in the District of Columbia; Coquelin Run Spring 
(privately owned) and Burnt Mill Spring #6 (county owned) in Montgomery 
County, MD; Upper Mill #2, Mill #4, Mill #5, Mill Creek #56, Mill Creek 
#58, and Mount Creek #2 on the U.S. Army Garrison's Fort A.P. Hill, in 
Caroline County, VA; and Voorhees Nature Preserve (owned by The Nature 
Conservancy (TNC)) in Westmoreland County, VA (see figure 1). While we 
focus our analysis on the Kenk's amphipod's known sites, we consider it 
likely that additional springs supporting the species could be found in 
Virginia because a survey of only a small portion of the potential 
suitable habitat outside of Fort A.P. Hill resulted in the

[[Page 45553]]

discovery of the Voorhees Nature Preserve site. Surveyors had access to 
only publicly owned lands; potential suitable habitat also occurs on 
private land. In Virginia, 77 springs inside Fort A.P. Hill and 22 
springs outside of Fort A.P. Hill in 3 counties (Caroline, King George, 
and Westmoreland) were surveyed. Two new sites were found on Fort A.P. 
Hill in 2017 (Mill Creek #56 and #58) with more intensive surveys. In 
Maryland, no new Kenk's amphipod sites were located during more 
widespread surveys of suitable habitat on publicly owned lands (129 
springs in 5 counties (Anne Arundel, Prince George's, Charles, Calvert, 
and St. Mary's) in 2017.
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Relative Abundance
    There are no reliable total population numbers for Kenk's amphipod 
sites due to sampling difficulties (e.g., flow conditions) and the lack 
of information on the portion of the population that may remain in the 
springs' ground water supply (Feller 2005, p. 10). However, because 
surveying in the Washington metropolitan area has been conducted using 
systematic and consistent methodology over many years, often by the 
same individuals, the numbers of Kenk's amphipod individuals observed 
and the number of conducted surveys required to find the species are 
considered to be the best available data and provide a reliable 
indication of the species' relative abundance.
    The species is typically found in small numbers and then only when 
ground water levels are high and springs are flowing freely, conditions 
that cause the Kenk's amphipod to be transported to the surface. These 
conditions typically occur during the spring season, except during 
especially dry years. Given the small size of the shallow ground water 
aquifers supporting the sites occupied by this species, and the known 
characteristics of subterranean invertebrates, it is probable that each 
of the Kenk's amphipod populations has always been small (Hutchins and 
Culver 2008, pp. 3-6).
    Although specimens were not collected and identified to the species 
level, Stygobromus sp., including some in the right size range for the 
Kenk's amphipod, were observed during site reconnaissance visits 
between 2004 and 2012 in several of the known Kenk's amphipod 
Washington metropolitan area spring habitats (Yeaman 2012, pers. 
comm.). In addition, visual inspections during this same time period 
indicated that most of the sites continued to appear to be suitable 
habitat, leading us to conclude that the Kenk's amphipod was extant at 
least at Burnt Mill Spring #6, Kennedy Street Spring, and East Spring 
(Feller 2015, pers. comm.). However, actual identifications of 
specimens collected during surveys conducted in 2015 and 2016 (Feller 
2016b, pers. comm.) did not result in Kenk's amphipod being found (see 
below).
    Prior to 2015, all Kenk's amphipod specimens were discovered on the 
first or second survey conducted at all known sites. In 2015 and 2016, 
the Kenk's amphipod was confirmed at only one of the Washington 
metropolitan area spring sites, Coquelin Run Spring, despite all of the 
sites being sampled multiple times during these 2 years (see table 1 
below) (Feller 2016b, pers. comm.; Feller 2016c, pers. comm.). 
Additionally, an environmental DNA (eDNA) study was conducted in 2016 
(Niemiller et al. 2016, pp. 1-7) for several amphipod species, 
including the Kenk's amphipod, to determine potential presence of the 
species in springs in the Rock Creek watershed.
    Individual Kenk's amphipods were collected from Fort A.P. Hill for 
DNA sequencing since no individuals could be found in the Washington 
metropolitan area at the time (spring/summer 2016) comparative samples 
were required for the study (Niemiller et al. 2016, p. 2). Water tested 
in the Washington metropolitan area did not detect the Kenk's amphipod 
eDNA (Niemiller et al. 2016, p. 6). However, we cannot conclude that 
Kenk's amphipods were absent at those sites. The abundance of the 
Kenk's amphipod may not be high enough in the springs to amplify DNA in 
the water samples, or the DNA from the Fort A.P. Hill animals may be 
different enough from the Washington metropolitan area animals to not 
be detected in the Rock Creek water samples. Therefore, it is unclear 
without additional survey effort whether the species may be extirpated 
at Burnt Mill Spring #6, Kennedy Street Spring, and East Spring, 
although the best available data show a decrease in observed 
individuals at these sites (see table 1).
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Summary of Comments and Recommendations

    In the proposed rule published on September 30, 2016 (81 FR 67270), 
we requested that all interested parties submit written comments on the 
proposal by November 29, 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. A 
newspaper notice inviting general public comment was published in USA 
Today on October 5, 2016. We did not receive any requests for a public 
hearing.
    During the 60-day public comment period (September 30, 2016, to 
November 29, 2016), we received public comments from 10 individuals or 
organizations. Of these, seven were from individuals, including five 
peer reviewers, one was from a Federal agency, and two were from 
nongovernmental organizations (NGOs). All the commenters were generally 
supportive of the proposed listing, but only 8 of the 10 provided 
substantive information. All substantive information provided during 
the comment period is summarized below and has either been incorporated 
directly into this final determination or is addressed in the response 
to comments below.

Comments From Peer Reviewers

    (1) Comment: Two peer reviewers agree with us that few if any 
studies exist that specifically examine critical thresholds for flow, 
water permanence, nutrient or contaminant loading, or the tolerance of 
close relatives of the Kenk's amphipod to pollutants and toxicants. One 
of the reviewers suggests that additional studies conducted on the 
basic biology and population size of the Kenk's amphipod would be 
helpful, noting that the more common and widespread Potomac ground 
water amphipod could be used as a surrogate species.
    Our Response: The Act requires that the Service make listing 
determinations based solely on the best scientific and commercial data 
available. When we published the proposed rule on September 30, 2016 
(81 FR 67270), we relied on the best quantitative and qualitative data 
available at that time to assess the Kenk's amphipod's status.
    (2) Comment: One peer reviewer states that the proposed listing 
underestimates the potential effect due to urbanization stress for the 
Washington metropolitan area populations, given the species' isolated 
populations. More specifically, this reviewer indicates that our 
analysis contained insufficient discussion of increased conductivity 
(salinity) and that the risk from potential sewage leakage may have 
been underestimated, in part because we did not consider that, in 
addition to increasing conductivity and nutrient loading, sewage leaks 
include ``pharmaceuticals, personal care products, and home-use 
chemicals that even at very low levels can disrupt endocrine and immune 
systems.'' Another peer reviewer provided additional references on 
several studies in the Rock Creek watershed showing the occurrence of 
pesticides, organic wastewater compounds, and metals in surface water 
and bed sediment that may be related to the degradation of habitat 
(Anderson et al. 2002; Miller et al. 2006; Koterba et al. 2010; Phelan 
and Miller 2010).
    Our Response: See the Factor A section below addressing Water 
Quality/Quantity Degradation Due to Chronic Pollution of Urban/Suburban 
Runoff for added discussion regarding the effects of conductivity and 
the presence of pharmaceuticals, personal care products, and home-use 
chemicals from sewer leaks. Additional references on several studies in 
the Rock Creek watershed showing the occurrence of pesticides, organic 
wastewater compounds, and metals in surface water and bed sediment that 
may be related to the degradation of habitat were also added to the 
final determination.
    (3) Comment: One peer reviewer states that existing regulatory 
mechanisms are inadequate to address issues related to Factor A and 
that this is largely because many of the recharge areas for the seepage 
springs in the Washington metropolitan area extend outside the 
jurisdiction of Federal agencies.
    Our Response: Many of these seepage springs have recharge areas 
extending into private lands where Federal agencies have little 
jurisdiction. While the existing regulatory mechanisms do not fully 
ameliorate the stressors affecting the species' sites in the Washington 
metropolitan area, we have concluded that those stressors do not rise 
to the level of the species being warranted for listing as an 
endangered or threatened species (See the Summary of Factor A and 
Kenk's Amphipod Determination of Status Throughout All of Its Range 
sections below).
    (4) Comment: One peer reviewer states that the proposed rule 
underestimates the potential threat of warming of the shallow ground 
water habitats supporting this amphipod ``because the impacts of 
pollutants on Kenk's amphipod may likely be compounded by even a slight 
increase in water temperature due to a potential increase of uptake of 
pollutants in concert with increased metabolic activities.''
    Our Response: We have included additional language in the final 
determination indicating the effects of increased water temperature on 
the uptake and metabolism of pollutants--see Factor E, Effects of 
Climate Change.
    (5) Comment: Two peer reviewers comment on the threat of small 
population dynamics and indicate that the proposed rule was missing a 
discussion about metapopulation structure. One reviewer states that the 
assumption of small population size and genetic isolation among Kenk's 
amphipod populations is untested and that some analyses of DNA sequence 
information will shed light on the species' metapopulation structure 
and the potential for migration of individuals among sites. The second 
reviewer states that many animal and plant species exist in low 
population numbers, but possess adequate levels of genetic diversity to 
maintain their populations. This reviewer also states that because the 
species' ability to move between sites is considered low or perhaps 
nonexistent in the opinion of species experts, as discussed in the 
proposed rule, the Kenk's amphipod may represent isolated populations 
with little potential for either recolonization or colonization of 
suitable habitat.
    Our Response: While we agree that the assumption of small 
population size and genetic isolation among Kenk's amphipod populations 
is untested, the best available data indicate that the effect of small 
population dynamics may be contributing to the species' viability, 
particularly in the Washington metropolitan area. Additionally, it is 
difficult to study the DNA sequences of Kenk's amphipods at any sites 
other than Fort A.P. Hill sites, given the paucity of individuals 
collected and the preservation method used to store the collected 
individuals.

Comments From the Public

    (6) Comment: One commenter considers the discussion of stressors 
incomplete because it does not include the ``mounting circumstantial 
evidence that seep-inhabiting Stygobromus are susceptible to changes in 
the forest canopy and understory.'' This commenter also suggests that 
the species' very shallow ground water sites are in some ways more 
connected to the forest floor than to base-level streams.
    Our Response: We have added an assessment of potential activities 
that could change the forest canopy and understory in Factor A under 
Other

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Habitat Considerations. This issue was not mentioned in the proposed 
rule because it had not been identified as occurring at any of the 
known Kenk's amphipod sites.
    (7) Comment: One commenter, familiar with the management of Fort 
A.P. Hill, provided additional information about the identity of two 
springs, the level of stressors/threats to the Kenk's amphipod at the 
installation, and how the species would be addressed under the Sikes 
Act.
    Our Response: We have revised the final determination, as 
appropriate, to reflect these comments. The Service appreciates the 
cooperation of the Army and looks forward to working with them to 
protect this species and its habitat on Fort A.P. Hill.
    (8) Comment: One commenter indicates that a number of projects pose 
threats to the species such that the species warrants listing and that 
reinitiation of conferencing under section 7(a)(4) of the Act is 
appropriate. This commenter provides multiple documents supporting 
their position; however, only one document was new information--the 
final report on the Stygobromus eDNA study.
    Our Response: Section 7 consultations under the Act are outside the 
scope of this final listing determination. However, to the extent that 
it is relevant here, we note that we completed the appropriate level of 
consultation on the projects and concluded that there would be no 
effect to the Kenk's amphipod or its habitat. All of the commenter's 
supporting information, with the exception of their proposed rule 
comment letter and the new eDNA report referenced above, were included 
in our earlier consultations. Our subsequent review of the eDNA report, 
as part of the analysis for this final listing determination, finds 
that the report provides no evidence to support the commenter's 
position because no Kenk's amphipod DNA was detected in any of the 
action areas related to the consultations.
    (9) Comment: One commenter states that susceptibility of Kenk's 
amphipod sites to destruction by hikers on social trails near the seeps 
should be more fully discussed. The commenter also indicated that the 
NPS has taken no affirmative, proactive steps to divert hikers and 
other recreational traffic away from these seeps.
    Our Response: There is no evidence that the occasional use of 
social trails has had any effect on the Kenk's amphipod or caused any 
disturbance to the seep habitat. While the NPS has not found a 
practical way to close most social trails, they have taken steps to 
prevent designated trails from being built in areas that could affect 
the Hay's Spring or Kenk's amphipods.
    (10) Comment: One commenter raises concerns with the Service's and 
NPS's compliance with section 7 of the Act and with NPS's 
implementation of Rock Creek Enabling Legislation.
    Our Response: The Service and NPS have met our respective section 7 
regulatory obligations for the Hay's Spring and Kenk's amphipods (see 
the Water Quality/Quantity Degradation Due to Chronic Pollution of 
Urban/Suburban Runoff section of the proposed rule (81 FR 67270, 
September 30, 2016) and the Candidate Notices of Review (75 FR 69222, 
November 10, 2010; 76 FR 66370, October 26, 2011; 77 FR 69994, November 
21, 2012; 78 FR 70104, November 22, 2013; 79 FR 72450, December 5, 
2014; 80 FR 80584, December 24, 2015).
    (11) Comment: One commenter indicates that the proposed rule should 
more fully discuss agencies' failure to clean up water pollution in the 
Rock Creek watershed, specifically citing NPS's use of pesticides and 
the District of Columbia government's and NPS's use of road salt in the 
watershed.
    Our Response: We analyzed the use of pesticides in Rock Creek Park 
and determined that dimilin, which can be toxic to crustaceans, is not 
being used in the park. Other pesticides that may be toxic to amphipods 
are used on the Rock Creek Park Golf Course, but because the golf 
course is not within the recharge areas for the seepage springs known 
to support the Kenk's amphipod, this activity is not considered a 
stressor for the species. The NPS has limited or discontinued the use 
of road salts at some locations, including Sherrill Drive, Ross Drive, 
Morrow Drive, and Ridge Road, where this practice might be a problem 
for the Hay's Spring or Kenk's amphipods (Bartolomeo 2017, pers. 
comm.). The use of road salts may affect one or more locations and we 
have added additional discussion on this topic in the final listing 
determination (see Factor A, Water Quality/Quantity Degradation Due to 
Chronic Pollution of Urban/Suburban Runoff).
    (12) Comment: One commenter questioned the rationale behind being 
able to collect up to 10 specimens for scientific collection.
    Our Response: The majority of amphipods collected at sites are the 
more common species, S. tenuis. However, the Service has allowed larger 
numbers to be collected during 2016 surveys in the Washington 
metropolitan area because none of the specimens of appropriate size 
collected in the 2015 surveys have been identified to be the Kenk's 
amphipod. These protocols are followed to minimize effects to the 
species. Because the occurrence of subterranean invertebrates at spring 
emergence sites likely represents only a portion of the actual 
underground population, the Service has considered the collecting 
procedures (Feller 1997, p. 2) to be nondetrimental to the populations.

Summary of Changes From the Proposed Rule

    Based upon our review of the public comments, comments from other 
Federal and State agencies, peer review comments, and new relevant 
information that has become available since the publication of the 
proposal, we have reevaluated our proposed listing rule and made 
changes as appropriate. This document differs from the proposal in the 
following ways:
    (1) Based on our analyses of the potential threats to the Kenk's 
amphipod and additional survey data obtained in 2017, we have 
determined that the species no longer meets the definition of a 
threatened or an endangered species. This document withdraws our 
proposed rule as published on September 30, 2016 (81 FR 67270).
    (2) We have added a discussion of Ongoing and Future Conservation 
Efforts below. Fort A.P. Hill's INRMP (Fort A.P. Hill 2017, entire) is 
discussed in this section.
    (3) We have incorporated: (a) A more detailed impervious cover 
analysis using the Watershed Boundary Dataset (U.S. Geological Survey 
(USGS) 2014a, entire) and the 2011 National Land Cover Dataset (USGS 
2014b, entire); (b) reference to an eDNA study conducted in 2016 
(Niemiller et al. 2016, pp. 1-7); (c) reference to a hydrogeology 
electrical resistivity study conducted in 2016 that improves our 
understanding of the surface catchment area and the subsurface area 
surrounding the Kenk's amphipod sites (Staley 2016, pp. 1-46); (d) 
water quality sampling results conducted in 2016 and 2017 by the 
Service; and (e) results from suitable habitat surveys conducted in 
2017.

Ongoing and Future Conservation Efforts

    Below we review conservation efforts for the Kenk's amphipod, 
including those in Fort A.P. Hill's recently revised INRMP. In our 
proposed rule, we described the conservation efforts that are already 
occurring or were planned to occur in the Washington metropolitan area; 
and there are no changes to this information based on peer review and 
public comments. We have also

[[Page 45559]]

completed an analysis of the newly initiated conservation efforts at 
Fort A.P. Hill pursuant to our Policy for Evaluation of Conservation 
Efforts When Making Listing Decisions (PECE) (68 FR 15100, March 28, 
2003).
    Based on information provided in our proposed rule, Fort A.P. Hill 
revised its existing INRMP in 2017 to include the Kenk's amphipod and 
established conservation measures (i.e., expanded buffer areas) to 
address the identified threats (Fort A.P. Hill 2017, p. 9-32). The 
INRMP includes the most recent Kenk's amphipod survey information and 
establishes conservation areas that will be managed with limited 
surface disturbance and avoidance buffers (Fort A.P. Hill 2017, pp. 9-
32 to 9-34), as further described below. In addition, Fort A.P. Hill 
has agreed to include expanded buffer areas around any future new 
locations of the species. The INRMP will be revised as part of the next 
annual review process to reflect that continued implementation of 
buffers would be subject to mission requirements (Andersen 2017b, pers. 
comm.). The INRMP is comprehensively updated every 5 years, with review 
and minor amendments occurring annually. More significant updates will 
occur if and when new biological information becomes available or if 
Fort A.P. Hill's mission requirements change. The expanded buffer areas 
for the Kenk's amphipod designated in the INRMP are designed to 
maintain the species' redundancy, resiliency, and representation on 
Fort A.P. Hill, thus significantly contributing to the species' 
viability (see table 3 and the Cumulative Effects section below).
    Fort A.P. Hill consists of 76,000 acres (30,756 ha) of land with 
65,000 acres (26,304 ha) of forest (Fort A.P. Hill 2017, p. 2-1). The 
mission of the base is to ensure soldiers are fully prepared to fight 
and win the Nation's wars (Fort A.P. Hill 2017, p. 12-2). Currently, 98 
percent of the base is undeveloped operational training lands. Training 
occurs year round for both active and reserve troops of the different 
branches of the military (Fort A.P. Hill 2017, pp. 2-2 to 2-3).
    Management buffers are established around Kenk's amphipod seeps to 
ensure the integrity of surficial habitats and water quality from 
potential impacts associated with land disturbance activities. Buffers 
are site specific and are determined based on the size of the seep 
area, surrounding terrain, hydrology, and contiguity of surrounding 
habitats. The buffer areas for each seep generally exceed 200 ft (0.06 
kilometers (km)) all around, ranging in size from 1 to 6 acres (0.40 to 
2.43 ha) (average buffer area is approximately 2.3 acres (0.93 ha)). 
These buffers are also complemented by protections afforded to each 
site by adjacent wetlands and the undulating terrain of the surrounding 
landscape that provide additional habitat protections from disturbance 
activities. Within the buffers, land-disturbing activities (e.g., 
construction, land management (including pesticide application)) and 
ground-water-disturbing activities (e.g., drilling wells) are 
prohibited unless Fort A.P. Hill coordinates with the Service to 
determine ways to minimize impacts to the Kenk's amphipod (Fort A.P. 
Hill 2017, pp. 9-32 to 9-33).
    All mounted military training maneuvers (i.e., those using tracked 
and wheeled vehicles) are restricted to established roads and 
designated open areas throughout the installation, and all tactical and 
nontactical vehicles must also use established stream crossings. 
Dismounted military maneuvers (i.e., those on foot) occur throughout 
the installation, including the training areas where Kenk's amphipod 
seeps occur. Kenk's amphipod seeps occur in the most undeveloped 
portion of the installation surrounded by an abundance of natural 
habitats characterized by rolling and often steep terrain. The seeps 
themselves where the Kenk's amphipod has been found represent an 
exceptionally small fraction (0.00005 percent) of the training lands 
and are typically less often used for military training than other 
areas due to their isolated nature. Soldiers are precluded from 
bivouacking (i.e., camping) or digging within the buffer areas. Maps 
denoting the location of Kenk's amphipod buffer areas are provided to 
Range Operations for the scheduling and coordination of training 
activities in these areas. No military training operations occur in 
Kenk's amphipod seep areas or buffers that use petroleum operations 
(e.g., transport, storage, and handling) or chemical training (Fort 
A.P. Hill 2017, p. 9-33).
    Dirt and gravel trails are the primary transportation routes 
throughout the training areas where Kenk's amphipod seeps can be found. 
Tactical and nontactical vehicle traffic on these trails is 
intermittent and is typically of low duration and intensity. The trails 
do not get chemically treated in the winter months nor are these trails 
designated for or used as transportation routes for industrial 
hazardous materials (i.e., tanker trucks). Routine recurring 
maintenance activities regularly conducted on installation trails 
include tree limbing, surface grading, application of surface material 
and surface and ditch stabilization. These types of maintenance 
activities occur as needed on these already established trails within 
the buffers to ensure safe access to military lands. Stabilization 
activities are the only type of maintenance activity that requires the 
application of erosion and sediment control procedures. Where 
stabilization of trails is required within Kenk's amphipod buffers, 
stabilization efforts shall be in compliance with Virginia Erosion and 
Sediment Control procedures (VDEQ 1992). Of the six known Kenk's 
amphipod sites, only two have trails within them, and these trails 
constitute only 1.8 mi (2.89 km) (0.3 percent of total trail miles), 
half of which is closed to through traffic. Trail maintenance 
activities are anticipated to occur on trails within Kenk's amphipod 
buffers less than once every 5 years. Large-scale trail improvements 
(e.g., culvert installation/replacement, trail widening) within Kenk's 
amphipod buffers would require discussion with the Service to minimize 
impacts to the species and its habitat (Fort A.P. Hill 2017, pp. 9-32 
to-9-33).
    At Fort A.P. Hill, forest management activities, including timber 
harvest and controlled burns, occur throughout much of the facility, 
including areas along Mill Creek and Mount Creek supporting Kenk's 
amphipod sites. No land-disturbance activities such as forest 
management or vegetation/habitat management will be conducted within 
established buffers without discussion with the Service. The seeps also 
occur in the non-live-fire portion of the base, meaning that wildfires 
are significantly less of a threat to the species or its habitat 
because no live rounds are used in those areas that can serve as 
ignition sources (Applegate 2016, pers. comm.). Additionally, when 
prescribed burns are used in areas adjacent to the seeps, Fort A.P. 
Hill will keep fire out of the buffers to the extent practicable. If a 
fire entered a buffer, Fort A.P. Hill would document any impacts to the 
buffers and the seeps (Andersen 2017c, pers. comm.).
    Recreational activities are allowed within Kenk's amphipod buffer 
areas because installation regulations provide sufficient protections 
to ensure the conservation of the species. Hunting is the only 
recreational activity authorized in areas where three of the known 
Kenk's amphipod sites occur. However, strict hunting regulations 
severely limit the numbers of hunters allowed in an area at any given 
time and restrict the timing and duration for hunting. Consequently, 
Fort A.P. Hill is only available for hunting less than 16 percent of 
the year. The Kenk's amphipod sites are unlikely to

[[Page 45560]]

experience adverse effects from hunting given: The limited availability 
of the Fort A.P. Hill landscape to hunting by the public in general; 
regulations prohibiting hunters from camping, digging, or using any 
motorized transportation (e.g., all-terrain vehicles, utility-terrain 
vehicles); that the Kenk's amphipod buffers and seep areas represent an 
exceptionally small amount (0.014 percent and 0.00005 percent) of the 
huntable areas of Fort A.P. Hill, respectively; and seeps and streams 
are typically avoided by hunters due to the difficulty in traversing 
them and the adjacent slopes. Fort A.P. Hill has offered public hunting 
opportunities for decades, and there has not been any evidence of 
adverse impacts observed at any stream, seep, or wetland to date, 
including the known Kenk's amphipod sites (Fort A.P. Hill 2017, p. 9-
34).
    Fort A.P. Hill has agreed to continued commitment to the 
conservation measures (buffers) identified in the 2017 INRMP regardless 
of the Kenk's amphipod Federal listing status, pending any currently 
unknown change in mission requirements (Andersen 2017a, pers. comm.). 
However, should the species not warrant listing under the Act, some 
monitoring efforts for the species could be reduced (Andersen 2017a, 
pers. comm.; Andersen 2017b pers. comm.).
    Based on past and current primary uses of the base (forest 
management, recreational use, and military maneuvers), the acreage of 
the base, the limited area occupied by the species, including the 
buffers, and the habitat characteristics (mature forest on steep or 
rolling topography, and often adjacent to wetland areas), and the 
location of the seep sites (e.g., on isolated areas of the base), the 
Service concludes that there is a low risk of sites being adversely 
affected even if mission requirements changed.
    The INRMP would result in the protection of 6 out of the 13 (46 
percent) known Kenk's amphipod locations.

PECE Analysis

    The purpose of PECE is to ensure consistent and adequate evaluation 
of recently formalized conservation efforts when making listing 
decisions. The policy provides guidance on how to evaluate conservation 
efforts that have not yet been implemented or have not yet demonstrated 
effectiveness. The evaluation focuses on the certainty that the 
conservation efforts will be implemented and the certainty that the 
conservation efforts will be effective. The policy presents nine 
criteria for evaluating the certainty of implementation and six 
criteria for evaluating the certainty of effectiveness for conservation 
efforts. The certainty of implementation and the effectiveness of a 
formalized conservation effort may also depend on species-specific, 
habitat-specific, location-specific, and effort-specific factors. These 
criteria are not considered comprehensive evaluation criteria; we 
consider all appropriate factors in evaluating formalized conservation 
efforts. The specific circumstances will also determine the amount of 
information necessary to satisfy these criteria.
    To consider that a formalized conservation effort contributes to 
forming a basis for not listing a species, or listing a species as 
threatened rather than endangered, we must find that the conservation 
effort is sufficiently certain to be (1) implemented, and (2) 
effective, so as to have contributed to the elimination or adequate 
reduction of one or more threats to the species identified through the 
section 4(a)(1) analysis. The elimination or adequate reduction of 
section 4(a)(1) threats may lead to a determination that the species 
does not meet the definition of threatened or endangered, or is 
threatened rather than endangered. An agreement or plan may contain 
numerous conservation efforts, not all of which are sufficiently 
certain to be implemented and effective. Those conservation efforts 
that are not sufficiently certain to be implemented and effective 
cannot contribute to a determination that listing is unnecessary, or a 
determination to list as threatened rather than endangered. Regardless 
of the adoption of a conservation agreement or plan, however, if the 
best available scientific and commercial data indicate that the species 
meets the definition of an ``endangered species'' or a ``threatened 
species'' on the day of the listing decision, then we must proceed with 
appropriate rulemaking activity under section 4 of the Act. Further, it 
is important to note that a conservation plan is not required to have 
absolute certainty of implementation and effectiveness in order to 
contribute to a listing determination. Rather, we need to be certain 
that the conservation efforts will be implemented and effective such 
that the threats to the species are reduced or eliminated.
    Using the criteria in PECE (68 FR 15100, March 28, 2003), we 
evaluated the certainty of implementation (for those measures not 
already implemented) and effectiveness of conservation measures in the 
2017 Fort A.P. Hill INRMP pertaining to the Kenk's amphipod. We 
determined that the measures will be effective at eliminating or 
reducing threats to the species because they protect currently 
occupied, and any future occupied, seeps and their catchment areas from 
removal of forest canopy and the effects of poor water quality, 
erosion, and sedimentation, by instituting on-the-ground protections to 
better manage and regulate disturbance in the species' occupied 
habitat. For example, two of the sites are in an area where timber 
harvest and prescribed burns were scheduled to occur within the next 5 
years, but will not be subjected to those management actions, pending 
any currently unknown change in mission requirements, due to the 
expanded buffer areas implemented around the Kenk's amphipod sites (see 
below).
    We have a high degree of certainty that the measures will be 
implemented because Fort A.P. Hill has a track record of being good 
environmental stewards for the past 76 years since the base was 
established, and, more specifically, a track record of implementing 
conservation measures for federally listed species and species of 
concern since 1997 through their INRMPs. For example, Fort A.P. Hill 
has effectively implemented conservation measures specified in their 
INRMP for the Rappahannock spring amphipod (Stygobromus foliatus), a 
Department of Defense species at risk, including surveying its 
population and implementing avoidance buffers from ground-disturbing 
activities on the installation. In addition, during the spring of 2017, 
Fort A.P. Hill allowed access to its facility for amphipod surveys in 
potential suitable habitat.
    New conservation measures are prescribed by the 2017 INRMP for the 
Kenk's amphipod and are already being implemented, including expanded 
buffer areas. The 2017 INRMP has sufficient monitoring and reporting 
requirements to ensure that the conservation measures we deem necessary 
are implemented as planned, and are effective at removing threats to 
the Kenk's amphipod and its habitat. As specified above, the INRMP may 
be modified to reflect changes in mission requirements. Despite this 
provision, we believe that the site conditions at Fort A.P. Hill will 
continue to be adequate to conserve the Kenk's amphipod, and Fort A.P. 
Hill will discuss with the Service any changes in mission requirements 
that would affect the Kenk's amphipod and its habitat.
    Collaboration between the Service, Fort A.P. Hill, and Virginia 
Department of Game & Inland Fisheries previously occurred during 
development of the INRMP and continues to occur via discussions 
pertaining to

[[Page 45561]]

implementation throughout the year that are documented through 
electronic mail correspondence and telephone calls (Hoskin 2017, pers. 
comm.). This ongoing coordination and collaboration ensures that the 
conservation measures identified in the INRMP for all Federal and State 
listed species and species of concern are implemented. Based on Fort 
A.P. Hill's implementation of previous conservation efforts as 
specified in its INRMP, we have a high level of certainty that the 
conservation measures in the 2017 INRMP will be implemented and 
effective, and thus they can be considered as part of the basis for our 
final listing determination for the Kenk's amphipod. Our detailed PECE 
analysis is available for review at http://www.regulations.gov and 
https://www.fws.gov/chesapeakebay/.

Summary of Biological Status and Threats

    Please refer to the proposed listing rule for the Kenk's amphipod 
(81 FR 67270; September 30, 2016) for a detailed description of the 
factors affecting the species, which are summarized and updated as 
appropriate below.

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

Water Quality/Quantity Degradation Due to Chronic Pollution of Urban/
Suburban Runoff

    Habitat modification, in the form of degraded water quality and 
quantity, is one of the primary drivers of Kenk's amphipod viability. 
While the species' specific tolerances to parameters affecting water 
quality and quantity is not yet known, we do know that the Kenk's 
amphipod is at increased risk to parameters that negatively affect 
water quality and quantity because these freshwater amphipods spend 
their entire life cycle in water and are, therefore, continually 
exposed to changes in the aquatic habitat. Water quality degradation of 
ground water at spring sites located in the Washington metropolitan 
area has been previously cited as a top concern in several studies and 
reports (Feller 1997, pp. 12-13; Culver and Sereg 2004, p. 13; Feller 
2005, p. 9; Hutchins and Culver 2008, p. 6; Kavanaugh 2009, p. 60; 
Culver et al. 2012, p. 37; Culver and Pipan 2014, p. 219).
    The amount of forested buffer surrounding the seep influences the 
species' vulnerability and exposure to negative effects, and the 
smaller the buffer, the greater the risk of exposure. Buffer distance 
is important because the buffer helps filter sediment and other 
contaminants from the surface water entering the catchment areas and, 
therefore, the ground water that supports the Kenk's amphipod. The 
Washington metropolitan area amphipod sites have narrow riparian 
buffers (94 ft to 1,000 ft) (29 m to 305 m) separating them from the 
surrounding urban landscape. This urban land is characterized by 
impervious surface cover, which includes paved roads, sidewalks, 
parking lots, and buildings (Sexton et al. 2013, p. 42).
    An impervious cover analysis was conducted by the Service within 
the watersheds occupied by the Kenk's amphipod.
    We calculated the overall average value (percentage) for each 
watershed identified. We also identified three categories of impervious 
cover: (1) 0 percent impervious cover, (2) 1 to 15 percent impervious 
cover, and (3) greater than (>) 15 percent impervious cover. For each 
watershed, we then calculated the percentage of area that fell into 
each of these three categories. These percentages are presented in 
Table 2.

                                                           Table 2--Impervious Cover Estimates
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                                                          Categories of impervious cover (IC) percentage      Average
                                                                             Number of   ------------------------------------------------   impervious
 Amphipod species (total number of sites)             Watershed           amphipod sites                                                    cover (IC)
                                                                                               0% IC         1-15% IC         >15% IC       percentage
--------------------------------------------------------------------------------------------------------------------------------------------------------
Stygobromus kenki (12)....................  Lower Rock Creek............               5              17              24              59              83
                                            Northwest Branch............               1              28              27              45              72
                                            Mount Creek.................               1              92               6               2               8
                                            Mill Creek..................               3              93               5               2               7
--------------------------------------------------------------------------------------------------------------------------------------------------------
* Vorhees Nature Preserve was not evaluated.

    The four watersheds within the Kenk's amphipod's range have overall 
impervious cover estimates ranging from approximately 7 percent (Mill 
Creek in Virginia) to 83 percent (Lower Rock Creek in the District of 
Columbia and Montgomery County, MD). Although the data for this level 
of the impervious cover analysis were derived using the finest scale 
hydrologic units available in the National Land Cover dataset, they do 
not reference the exact location of the Kenk's amphipod spring sites in 
relation to the location of impervious cover within the watersheds 
because the spring sites and their catchment areas are at a smaller 
scale. Additionally, because the data are from 2011, there could be 
more impervious cover present than indicated in our analysis. However, 
by looking at aerial photographs from 1988 and 2014 of the areas 
surrounding the spring sites in the Washington metropolitan area, there 
has been little change in the amount of development; therefore, we 
determined that the estimates of impervious cover derived from the 2011 
dataset are sufficiently accurate for our analysis.
    To provide a general indication of how much impervious cover may be 
influencing surface water quality at individual sites, we created maps 
with the individual sites included within the impervious cover data 
layers (see Supplemental Document--Maps of Impervious cover in relation 
to spring sites in the Washington metropolitan areas and Impervious 
cover in relation to spring sites in Virginia).
    Urban impervious surfaces can result in increased surface water 
flow after storm events due to decreased opportunity for immediate or 
proximal infiltration. The surface flow waters have higher 
temperatures, higher sediment loads, and higher levels of heavy metals 
(zinc, cadmium), nitrogen, phosphorus, and fecal coliform bacteria 
(Walsh et al. 2005, pp. 706-723). In addition to affecting water 
quality, urban impervious surfaces can affect water quantity; decreased 
infiltration can result in depletion of ground water reserves and 
ultimately cause springs to dry up over time (Frazer 2005, p. 3).
    When the average impervious cover is between 10 and 15 percent 
within a watershed, sharp declines in aquatic habitat quality and 
aquatic insect

[[Page 45562]]

diversity are likely to occur, while the number of pollution-tolerant 
species increase (Schueler 1994, pp. 100-102; Boward et al. 1999, p. 
45; Center for Watershed Protection 2003, pp. 101-102 (synthesis of 30 
studies)). More recently, declines of 110 of 238 macroinvertebrate taxa 
were found in streams receiving runoff water from areas that contained 
between 0.5 to 2 percent of impervious cover (King et al. 2011, pp. 
1659-1675). These results were consistent among the three physiographic 
regions evaluated (Mountain, Piedmont, and Coastal Plain); the Piedmont 
region includes the Washington metropolitan area amphipod sites. 
Further, higher gradient, smaller catchments such as those supporting 
sites occupied by the Kenk's amphipod required less impervious cover 
than lower gradient, larger catchments to elicit a macroinvertebrate 
community response (i.e., the macroinvertebrate taxa from steeper 
sloped, smaller catchment areas showed a decline in response to 
relatively small amounts of impervious cover) (King et al. 2011, pp. 
1659-1676). This finding is relevant, given that the results of our 
impervious cover analysis indicate that Kenk's amphipod sites are 
located within areas containing 7 to 83 percent impervious cover (see 
table 2).
    The hypotelminorheic zone, the main habitat required by the Kenk's 
amphipod, may be more vulnerable to the effects of urban runoff than 
streams with respect to pollutants, erosion, and sedimentation because 
of the small size and shallow nature of the habitat. In addition, the 
aforementioned narrow buffer zones around the hypotelminorheic sites 
increase the habitat's and species' exposure to urban runoff.
    Poor water quality parameters have been documented by the USGS 
through chemical analyses of ground water, surface water, and sediments 
in the Rock Creek watershed (Anderson et al., 2002, pp. 1-99; Miller et 
al. 2006, pp. 1-48; Koterba et al. 2010, pp. 1-102; Phelan and Miller 
2010, pp. 1-80). For example, five pesticides (carbaryl, chlorpyrifos, 
diazinon, dieldrin, and malathion) were detected in Rock Creek Park 
water samples at concentrations that exceed aquatic life water quality 
criteria (Anderson et al. 2002, p. 44). Furthermore, Rock Creek 
sediments contained polycyclic aromatic hydrocarbons (PAHs), 
polychlorinated biphenyls (PCBs), organochlorine pesticides, and toxic 
metals at concentrations that approached and exceeded guidelines for 
the protection of aquatic life (Miller et al. 2006, p. 21). In a 2008 
study at five stream locations in Rock Creek Park, pharmaceuticals, 
pesticides, fragrances, flame retardants, detergents, and sterols were 
detected and attributed to low-level sources of wastewater entering the 
streams (Phelan and Miller 2010, pp. 37, 40-41).
    In the Washington metropolitan area, water quality degradation from 
urban runoff is the greatest concern for the Kenk's amphipod at the 
Sherrill Drive Spring location (Culver and Sereg 2004, p. 69). Sherrill 
Drive Spring is close (approximately 115 ft (35 m)) to the edge of Rock 
Creek Park where there is an abrupt change from forested habitat to an 
urban landscape along 16th Street Northwest, which parallels the park 
boundary. A significant amount of impervious cover routes runoff into 
the catchment area surrounding the Sherrill Drive Spring.
    While there have been no laboratory studies conducted to evaluate 
the effects and tolerance of the Kenk's amphipod or Stygobromus tenuis 
to chemical, nutrient, pesticide, or metal pollution, we know from 
published studies that amphipods may be one of the most vulnerable 
groups of organisms to chemical pollution due to their high sensitivity 
to toxicants and contaminant accumulation (Borgmann et al. 1989, p. 
756; Brumec-Turc 1989, p. 40). Sediment samples surrounding the springs 
were collected in September 2001 at East Spring and Sherrill Drive 
Spring to analyze metal and organic contaminants.
    Toxic metals were found in the sediment samples. Values were 
similar for the two sites, although East Spring had the highest values 
for all toxic metals, with the exception of zinc (Culver and Sereg 
2004, p. 65). However, because it was the springs' sediments instead of 
water samples that were analyzed, it is difficult to know whether the 
value of the metals measured in the sediments exceed aquatic life 
standards in water or any published values for freshwater amphipod 
species. Furthermore, water samples taken from the springs in Rock 
Creek Park and at Burnt Mill Spring #6 in June 2016 did not detect 
toxic metals (Pinkney 2017b, pers. comm.). Sources of trace metals in 
an urban environment may include vehicles, streets, parking lots, 
snowpacks, and rooftops (Center for Watershed Protection 2003, p. 73). 
However, although the Washington metropolitan area spring sites are 
exposed to these sources, there is no quantitative evidence that toxic 
metals are affecting the springs or the Kenk's amphipod.
    Water samples collected from 2000 to 2003 found nitrate levels as 
high as 30.8 milligrams per liter (mg/L) at Sherrill Drive Spring 
(Culver and Sereg 2004, p. 109). In 2016, nitrate concentrations at 
Sherrill Drive Spring were 3.9 mg/L and 4.2 mg/L at Burnt Mill Spring 
#6 (Pinkney 2017, pers. comm.). Statistical analysis of Maryland 
Biological Stream Survey (MBSS) data indicated that detrimental effects 
were present in fish and benthic communities at critical nitrate-N 
threshold values of 0.83 mg/L and 0.86 mg/L, respectively (Morgan et 
al. 2007, pp. 160-161). These threshold values are significantly lower 
than the values reported at Sherrill Drive Spring and Burnt Mills 
Spring #6.
    We do not know how typical the Sherrill Drive Spring or Burnt Mill 
Spring #6 nitrate concentrations are and if chronic exposure is 
occurring, but we know that Stygobromus specimens have not been 
detected at Sherrill Drive Spring since 2001 or at Burnt Mill Spring #6 
since 2005 (see table 1). We also do not know the potential source of 
the nitrate since it could come from runoff containing fertilizers or 
animal waste or from sanitary sewer leaks. However, a sanitary sewer 
line runs adjacent to the Sherrill Drive Spring, and this sewer line 
has leaked in the past (Feller 1997, p. 37; Yeaman, 2014, pers. comm.).
    Other high levels of nutrients were also evident in the June 2016 
sampling conducted by the Service's Chesapeake Bay Field Office 
(Pinkney 2017b, pers. comm.). The EPA (2000) ecoregional proposed 
criterion for stream total nitrogen of 0.69 mg/L was exceeded at the 
following seepage spring locations: Kennedy Street Spring (1.9 mg/L), 
Sherrill Drive Spring (6.5 mg/L), East Spring (9.7 mg/L), Holsinger 
Spring (20.9 mg/L), and Burnt Mill Spring #6 (24.2 mg/L). The EPA 
stream total phosphorus criterion of 0.036 mg/L was exceeded at all 
five seepage springs with a maximum concentration of 1.3 mg/L at 
Kennedy Street Spring. The MBSS thresholds were 1.3 mg/L total nitrogen 
and 0.043 mg/L total phosphorus for benthic communities (no thresholds 
were determined for fish communities) (Morgan et al. 2007, pp. 160-
161).
    Chloride levels as high as 227 mg/L were detected at Sherrill Drive 
Spring. The EPA chronic ambient water quality criterion for chloride is 
230 mg/L (EPA 2016, entire). Although we do not know the exact source 
of the elevated chloride levels at Sherrill Drive Spring, one potential 
source could be road salt. The Washington metropolitan area receives, 
on average based on 69 years of data taken at Washington National 
Airport, approximately 19.5 inches of snow annually (Southeast Regional 
Climate Center 2017, entire; Current Results 2017, entire). The 
District of Columbia Department of Public Works uses road

[[Page 45563]]

salt and other salt products to pre- and post-treat road surfaces 
before and after ice and snowfall events (District of Columbia 
Department of Public Works 2017, entire). However, the NPS has 
discontinued the use of road salts at some locations within Rock Creek 
Park (Bartolomeo 2017, pers. comm.). The widespread use of salt to 
deice roadways has led to regionally elevated chloride concentrations 
equivalent to 25 percent of the chloride concentration in seawater 
during winter. The concentrations can remain high throughout the summer 
even in less urbanized watersheds due to long-term (e.g., decades) 
accumulation of chloride in ground water (Kaushal et al. 2005, pp. 
13518-13519). This phenomenon was documented by the Service's June 2016 
detection of a chloride concentration of 227 mg/L at Sherrill Drive 
Spring (Pinkney 2017a, pers. comm.). Analyses of MBSS data on fish and 
benthic communities yielded critical chloride values of 17 mg/L for 
fish and 50 mg/L, respectively, as thresholds above which there would 
be detrimental effects on biotic communities (Morgan et al. 2007; pp. 
160-161). Thus, the concentrations measured in June 2016 (Pinkney 
2017a, pers. comm.) at Kennedy Street Spring (56.3 mg/L), Holsinger 
Spring (70.7 mg/L), Burnt Mill Spring #6 (115 mg/L), and Sherrill Drive 
Spring (237 mg/L) all exceed thresholds for benthic communities. 
Furthermore, chloride concentrations in ground water may move slower 
(e.g., dilute slower) than in surface waters and thus the effects from 
winter road salt application may be more persistent in the surrounding 
environment (Findlay and Kelly 2011, p. 66).
    At Coquelin Run Spring, ground water pollution from yard chemicals 
and road runoff (e.g., road salts, oil) could be a concern for the 
Kenk's amphipod's long-term viability. The USGS research on water 
quality degradation in other urban areas indicates that chemicals enter 
waterways and ground water primarily through runoff from rain events, 
and these chemicals have commonly been detected in streams and shallow 
ground water (USGS 1998, entire; USGS 1999a, pp. 1-3; USGS 1999b, p. 1; 
USGS 2001, p. 2). Although no water samples have been taken at the 
Coquelin Run Spring site, it is separated from backyards in this 
neighborhood by a narrow, wooded riparian strip (less than 100 ft) (30 
m) that slopes steeply down to the site. Therefore, the Coquelin Run 
Spring may be at increased risk of exposure to chemical pollutants from 
the surrounding urban development.
    The other four Washington metropolitan area sites (Burnt Mill 
Spring #6, Holsinger Spring, East Spring, and Kennedy Spring) have 
wider buffers than Sherrill Drive Spring and Coquelin Run Spring, with 
buffer distances ranging from approximately 272 ft (83 m) to 1,000 ft 
(305 m). East Spring and Kennedy Spring had much lower conductivity and 
nitrate levels than Sherrill Drive Spring in the 2000, 2001, and 2003 
sampling (Culver and Sereg 2004, pp. 55-58), but were still above 
criteria suggested by Morgan et al. (2007, p. 161). Surveys conducted 
in 2015 and 2016 did not re-confirm the Kenk's amphipod at any of these 
sites but consistently found Stygobromus tenuis at all the sites in 
higher numbers (e.g., greater than 40 observed at Burnt Mill Spring #6 
during 1 sampling event). Urban runoff can decrease biotic richness and 
favor more pollution-tolerant species in urban streams (Center for 
Watershed Protection 2003, pp. 101-102). If S. tenuis has a higher 
tolerance than the Kenk's amphipod to poor water quality parameters, 
the change in species' composition discussed in the proposed rule's (81 
FR 67270; September 30, 2016) Relative Abundance section and Factor E--
Changes in Species Composition could indicate that urban runoff is 
negatively affecting the Kenk's amphipod populations at these spring 
sites.
    The NPS manages the surrounding habitat at the four seepage spring 
sites supporting the Kenk's amphipod in Rock Creek Park. While the NPS 
uses its regulatory authority to manage water quality concerns for the 
species within Rock Creek Park, the agency has little influence over 
the protection of or effects to any seep recharge areas occurring 
outside park boundaries, and over maintenance or repair of city-owned 
infrastructure such as storm water and sewer systems located near the 
spring sites. See the proposed rule (81 FR 67270; September 30, 2016) 
for a list of laws and policies influencing NPS management.
    In Virginia, poor water quality is not likely affecting the species 
at the Fort A.P. Hill and Voorhees Nature Park because the sites are 
located in watersheds that are primarily forested with little 
impervious surface (see table 2).
    Summary of Water Quality--In total, poor water quality is believed 
to be a contributing stressor at all six of the Washington metropolitan 
area sites (i.e., 46 percent of the total known sites). Water quality 
in this area is expected to worsen due to significant runoff events 
from anticipated increases in both winter and spring precipitation and 
the frequency of high-intensity storms. (See Factor A--Excessive Storm 
Water Flows and Factor E--Effects of Climate Change sections for more 
details.) However, we find that poor water quality is not impacting the 
Virginia spring sites because the sites are located in forested areas 
with low levels of impervious cover, and we do not anticipate those 
conditions to change into the future. In addition, the measures in Fort 
A.P Hill's INRMP and the location of one site on conservation land 
provides protections to the species.

Excessive Storm Water Flows

    Runoff from impervious surfaces after heavy rain events can result 
in flooding (Frazer 2005, p. 4; NBC News 2016, entire). Flash flooding 
can also result in erosion and sedimentation (Center for Watershed 
Protection 2003, pp. 30-33), which, if it occurs in the catchment area, 
can subsequently degrade a spring site's value as habitat for the 
Kenk's amphipod.
    In the Washington metropolitan area, excessive storm water flows 
are causing significant habitat degradation at two sites--Sherrill 
Drive Spring and Coquelin Run Spring. A washout at Sherrill Drive 
Spring from 16th Street was observed in 2016 making it difficult to 
find a seep to survey (Feller 2016f, pers. comm.). Coquelin Run Spring 
is severely degraded by runoff from the surrounding Chevy Chase Lake 
Subdivision, where severe erosion was first observed at this site in 
2006 (Feller 2016h, pers. comm.). Subsequent surveys of the site found 
evidence of plastic underground pipe and sheeting, which may have been 
an attempt to address water flow and erosion at the site, in close 
proximity to the original seep and further erosion of the site (Feller 
2016a, pers. comm.; Feller 2016e, pers. comm.). A small flow was 
observed in May 2016 but was located several feet above the original 
seep documented in 2006. It is unknown what affect the pipe or plastic 
may have on the long-term hydrology of the site.
    Erosion from storm water flows has also been observed at the other 
three springs in Rock Creek Park, but not to the extent that it has 
been observed at Sherrill Drive and Coquelin Run Springs. It is unknown 
how much chronic or acute erosion and sedimentation causes a site to 
become unsuitable for the Kenk's amphipod; however, Culver and Sereg 
(2004, p. 69) found that sediment transported by storm runoff results 
in the degradation of ground water animals' habitat by clogging the 
interstices of gravels in the

[[Page 45564]]

spring seep, thereby preventing the species from using those 
interstitial spaces for shelter. It is uncertain to what extent the 
Kenk's amphipod uses those interstitial spaces, but if they do, then it 
is plausible that this type of sedimentation would cause the habitat to 
become unsuitable for the species.
    At the Virginia sites, Mill Creek #2 experiences sheet flow into 
the seep area off of a lateral slope during rainfall events due to the 
degree of slopes and close proximity to a stormwater culvert outlet 
(Applegate 2016, pers. comm.). However, erosion and sediment control 
repairs to the culvert and the surface of the associated unimproved 
trail conducted prior to the proposed rule has dramatically improved 
current conditions. Consequently, sheetflow is not considered a threat 
to the conservation of the Kenk's amphipod at this location (Applegate 
2017, pers. comm.). Sheet flow is not considered to be a problem at 
Voorhees Nature Preserve (Hobson 2017a, pers. comm.).
    Summary of Excessive Storm Water Flows--Excessive storm water flows 
are a contributing stressor at 38 percent (5 of 13) of the species' 
sites (Sherrill Drive Spring, Coquelin Run Spring, East Spring, Kennedy 
Street Spring, and Holsinger Spring).

Sewer Line Breaks and Spills

    The same riparian areas that contain the habitats of the Kenk's 
amphipod are among the principal areas where sewer lines are located in 
the Washington metropolitan area (Feller 2005, p. 2). Most of these 
sewer lines are old (most installed between 1900 and 1930 in the 
District of Columbia and between 1941 and 1971 in Montgomery County, 
MD) and subject to periodic breakage and leakage (Shaver 2011, entire; 
Kiely 2013, entire). While there have been no laboratory or field 
studies evaluating the effect of sewage leaks or spills on the Kenk's 
amphipod or the Stygobromus tenuis, adverse effects of sewage 
contamination on amphipods and other invertebrates have been documented 
(Simon and Buikema 1997, entire; de laOssa-Carretero et al. 2012, p. 
137).
    Releases of large volumes of sewage (up to 2 million gallons (gal)) 
from sanitary sewer leaks have occurred in the District of Columbia and 
Montgomery County, MD. Coquelin Run Spring, Burnt Mill Spring #6, and 
Sherrill Drive Spring are most vulnerable to sewage spills because they 
are located downhill from several sewer lines (see table 2 in the 
proposed rule (81 FR 67270; September 30, 2016) for details). The 
Washington Suburban Sanitary Commission (WSSC) has documented numerous 
large (more than 1,000 gallons) and small (more than 100 gallons) leaks 
in both the Rock Creek and Northwest Brach drainages (WSSC 2015). The 
District of Columbia does not have such detailed records, but half the 
District of Columbia's 1,800 mi (2,896 km) of sewer lines are at least 
84 years old and faulty pipes result in two dozen sewer spills every 
year (Olivio 2015). The frequency of spills is likely to increase in 
the future as the sewer lines continue to age.
    At the Virginia sites, we have no information indicating sewer 
pipelines may affect the species.
    Summary of Sewer Line Spills--In total, sewer line breaks and 
spills are a potential concern at 23 percent (3 of 13) of the species' 
sites.

Water Pipe Breaks

    Bursting of large-diameter water pipes can cause significant 
erosion of surrounding areas as a result of the large volume of fast-
moving water that exits the pipe at the break point. Bursting water 
pipes and the resulting erosion has been documented within the 
Washington metropolitan area, including areas near but not directly at 
a specific Kenk's amphipod seep site (Dudley et al. 2013, entire). The 
exposure risk of bursting water pipes at locations that could affect 
Kenk's amphipod sites is increasing given the age of the water pipe 
infrastructure (see table 2 in the proposed rule (81 FR 67270; 
September 30, 2016) for more details).
    At the Virginia sites, we have no information indicating water 
pipeline breaks may affect the species.
    Summary of Water Pipe Breaks--In total, large water pipeline breaks 
have a potential to occur at 8 percent (1 of 13) of the species' sites 
(Sherrill Drive Spring), while smaller water pipeline breaks could 
occur at 23 percent (3 of 13) of the sites (Sherrill Drive Spring, 
Coquelin Run Spring, and Burnt Mills #6 Spring).

Other Habitat Considerations

    The Kenk's amphipod is likely susceptible to changes to the forest 
canopy and understory; this theory is supported by the fact that they 
can be found in leaf litter. The more common species Stygobromus tenuis 
has been found to actively exit the hypotelminorheic under appropriate 
conditions, presumably to forage (Kavanaugh 2009, p. 3), and they are 
found only in forested areas (Culver 2016, pers. comm.).
    In the Washington metropolitan area, there have been no land-
disturbance activities such as forest management or vegetation/habitat 
management activities conducted at Rock Creek Park or at the Montgomery 
County park in the vicinity of the seeps. At Rock Creek Park, the NPS 
has taken steps to prevent designated trails from being built in areas 
that could affect the Kenk's amphipod, and there are no trails in close 
vicinity to the seep found at the county park. At the privately owned 
site, an underground pipe previously installed on the hillside where 
the seep is located was observed in 2016, and, despite the steep 
topography, there is the potential for foot traffic in the seepage area 
by the landowners. The Service is unaware of any tree removal ever 
occurring at this site.
    In general, stressors to the Kenk's amphipod habitat at the 
Virginia sites are less significant than those in the Washington 
metropolitan area because land use is primarily agriculture and forest 
with little impervious surface. See the description of Fort A.P. Hill 
under the Ongoing and Future Conservation Measures section above. With 
the possible exception of the effects of climate change and the 
potential effects of small population dynamics (see Factor E below), we 
are unaware of any stressors at Voorhees Nature Preserve (Hobson 2017a, 
pers. comm.). The preserve is located 8.5 mi (13.7 km) east across the 
Rappahannock River from Fort A.P. Hill in Westmoreland County, 
Virginia. The 729-acre (295-hectare) parcel has been owned by The 
Nature Conservancy (TNC) since 1994. The goal of the preserve is to 
protect the mature coastal plain forest and freshwater tidal marsh 
(Truslow 2017a, pers. comm.).
    As of July 2017, human activity at the preserve is limited to 
maintenance of approximately 3 mi (4.8 km) of hiking trails, white-
tailed deer management through a hunt lease with a local hunt club, and 
annual monitoring to ensure the protection goals of the property are 
being met. There is light recreational use from the 3 mi (4.8 km) of 
hiking trails located on the property. The trails are open only for 
foot travel (approximately several hundred visitors a year based on 
trail logs); no ATVs or bikes are allowed on the trails (Truslow 2017b, 
pers. comm.). Dogs are also not allowed at the preserve (TNC 2017, 
entire).
    The seep where the Kenk's amphipod was found is not impacted by the 
trail because it is located approximately 30 to 40 ft (9.1 to 12.2 m) 
down slope of the trail, at the head of a ravine, and it is surrounded 
by dense vegetation, which makes access to the site difficult (Hobson 
2017a, pers. comm.). There is also no visible erosion from the trail 
(C. Hobson 2017a, pers. comm.).

[[Page 45565]]

    The TNC developed a site-management plan upon assuming ownership. 
Timber harvesting will not occur where there is mature forest, and 
uplands will be kept in a forested condition to protect the property's 
marsh from sedimentation runoff. In addition, TNC will not use 
pesticides (e.g., dimilin) to control future gypsy moth infestations 
(TNC 1994).
    In terms of the property's protection status, TNC preserves are 
considered to be permanently protected. The deed does not contain 
restrictions on TNC selling or transferring the property; however, TNC 
policy would require that the property be transferred to an entity that 
would manage for similar conservation goals (e.g., a State natural 
resource agency or Federal agency), or that it be restricted by a 
conservation easement that would ensure permanent protection of the 
property (Truslow 2017a, pers. comm.).
    The preserve is surrounded primarily by forest, and there is 
Service-owned National Wildlife Refuge land and State-owned land west 
of the site. A soil enhancement facility was proposed in 2014 at a 
parcel approximately 1 mile (1.6 km) northeast of the seep. The purpose 
of the facility would be to compost biosolids from sewage and sell the 
compost as fertilizer. If the site was approved and constructed, it 
would not impact the Kenk's amphipod because the seep is at a higher 
elevation and in a different surface catchment area than the proposed 
soil enhancement facility.
    Summary of Factor A--Habitat modification, in the form of degraded 
water quality and quantity, is one of the primary drivers affecting 
Kenk's amphipod viability at the Washington metropolitan area sites, 
despite ongoing conservation measures. Reductions in water quality 
continue to occur at those sites primarily as a result of urbanization, 
which increases the amount of impervious cover in the watersheds 
surrounding six of the Kenk's amphipod sites. Impervious cover 
increases storm water flow velocities, decreases ground water 
filtration, and increases erosion and sedimentation. Impervious cover 
can also increase the transport of contaminants and nutrients common in 
urban environments, such as metals (zinc, cadmium), nitrogen, 
phosphorus, and fecal coliform bacteria. The Washington metropolitan 
area sites have narrow riparian buffers separating them from the 
surrounding development, increasing the sites' exposure to poor water 
quality from runoff. While poor water quality has been documented at 
Sherrill Drive Spring and is likely affecting all six sites in the 
Washington metropolitan area, the seven Virginia sites are not thought 
to be affected by poor water quality because of the large forested 
buffers on Fort A.P. Hill and Voorhees Nature Preserve.
    Excessive storm water runoff from heavy rain events can result in 
flooding, which can cause erosion and sedimentation. Habitat 
degradation due to excessive storm water flows is having effects at two 
sites--Sherrill Drive Spring and Coquelin Run Spring--but has also been 
observed at the other four springs in Rock Creek Park, and may increase 
in the future. At the Virginia sites, we have no information indicating 
excessive storm water flows affect the species.
    Sewer and water line breaks and leaks are a concern at the 
Washington metropolitan area sites because most of them are located in 
the same riparian areas that contain the habitats of the Kenk's 
amphipod. While leaks and breaks of these pipelines have not yet been 
known to directly affect the species or its habitat, the pipeline 
systems are subjected to chronic leaks and breaks, the frequency of 
which is likely to increase given the age of the infrastructure, and 
thus the exposure risk of the species to this stressor will continue to 
increase. Coquelin Run Spring, Burnt Mill Spring #6, and Sherrill Drive 
Spring are most vulnerable to sewage spills and water pipe breaks due 
to the pipe's proximity to each site and the age of the pipes. At the 
Virginia sites, we have no information indicating sewer or water 
pipeline breaks will affect the species.
    Stressors to Kenk's amphipod habitat are significantly less in 
scope and severity at Fort A.P. Hill and Voorhees Nature Preserve than 
at the Washington metropolitan area habitats, due to the location of 
the sites, the current and foreseeable mission of the managing 
entities, and the conservation measures described in the INRMP and TNC 
Management Plan. The risk is low that any disturbance to the surface 
habitat on those properties would result in adverse effects to the 
species. We acknowledge that the Washington metropolitan sites face a 
number of stressors that will continue into the future. Of the six 
Washington sites, only one site has a recent record of Kenk's amphipod. 
We cannot confirm without additional consecutive negative survey 
results, but it is possible that this species is functionally extinct 
in the Washington metropolitan area given the stressors it faces and 
the lack of specimens found in recent survey results. Conversely, the 
seven Virginia sites do not face the same stressors as the Washington 
metropolitan area sites. Habitat quality at the Virginia sites is good 
and the sites all have some form of protection, either from the 
measures in the Fort A.P. Hill INRMP or the TNC nature preserve's site-
management plan.

                      Table 3--Relative Vulnerability of Kenk's Amphipod Seep Habitat Sites
----------------------------------------------------------------------------------------------------------------
                                                                                       Current biological status
             Site name                     Location            Current seep status       of the Kenk's amphipod
----------------------------------------------------------------------------------------------------------------
Sherrill Drive Spring.............  Rock Creek Park,       Approximately 50' to road,  Extirpated? Not found in
                                     Washington, DC.        documented decrease in      recent surveys. No other
                                                            water quality (chemical     Stygobromus present.
                                                            and sedimentation),         Last detected 2001 (8
                                                            within 10' of 1924 sewer    surveys since and none
                                                            pipe and 130' of 1955       found). Niemiller et al.
                                                            30'' water pipe.            (2017) eDNA study also
                                                                                        supports extirpation of
                                                                                        all Stygobromus here.
East Spring.......................  Rock Creek Park,       Approximately 300-500'      Unknown. Not found in
                                     Washington, DC.        buffer of protected         recent surveys but other
                                                            forest, within 560' of 6-   Stygobromus present.
                                                            8'' 1921 water pipe.        Last detected 2001 (7
                                                                                        surveys in 2015-2016 and
                                                                                        none found).
Kennedy Street Spring.............  Rock Creek Park,       Approximately 500' buffer   Unknown. Not found in
                                     Washington, DC.        of protected forest,        recent surveys but other
                                                            within 860' of 6-8'' 1911   Stygobromus present.
                                                            water pipe.                 Last detected 2001 (5
                                                                                        surveys since and none
                                                                                        found).

[[Page 45566]]

 
Holsinger Spring..................  Rock Creek Park,       Approximately 700-1,000'    Historical? Not
                                     Washington, DC.        buffer of protected         documented since 1967.
                                                            forest.                     One survey in 2003 and 3
                                                                                        surveys in 2015 and none
                                                                                        found; other Stygobromus
                                                                                        species present.
Burnt Mill Spring #6..............  Northwest Branch       In county park protected    Unknown. Not found in
                                     Park, Montgomery       from further development,   recent surveys but other
                                     County, MD.            within 186' of unknown      Stygobromus species
                                                            age sewer pipe and 394'     present. Last detected
                                                            of 6-8'' 1959 water pipe.   in 2005 (10 surveys
                                                                                        since and none found).
Coquelin Run Spring...............  Private land,          Erosion problems are        Present in upslope
                                     Montgomery County,     already apparent, site      portion of seep (1
                                     MD.                    has been modified with a    individual found in
                                                            plastic pipe and plastic    2016); lower section has
                                                            material, and riparian      some erosion and species
                                                            forest is very narrow.      absent in that section
                                                            Within 220' of 1952 sewer   (3 surveys conducted in
                                                            pipe and 250' of 6-8''      2016 and none found). No
                                                            1954 water pipe.            other Stygobromus
                                                                                        species were found in
                                                                                        upper or lower portion
                                                                                        of seep in 2016.
Fort A.P. Hill (6 seeps)..........  Department of          Good habitat quality,       Present and recently
                                     Defense, Caroline      sites unaffected by         discovered. One
                                     County, VA.            urbanization. Military      individual each found at
                                                            exercises, forest           Upper Mill 2, Mill 4,
                                                            management, and             and Mount 2 in 2014 but
                                                            construction activities     not identified as the
                                                            are at low risk to affect   Kenk's amphipod until
                                                            surface habitat due to      2016; 4 individuals
                                                            the revised INRMP.          found at Mill 5 in 2014.
                                                                                        In 2017, there were 6
                                                                                        individuals found at
                                                                                        Upper Mill 2, 1
                                                                                        individual at Upper Mill
                                                                                        4, and 4 individuals at
                                                                                        Mount 2. Two new sites
                                                                                        were found in 2017: Mill
                                                                                        Creek 56 (16
                                                                                        individuals) and Mill
                                                                                        Creek 59 (8 individuals
                                                                                        found).
Voorhees Nature Preserve (1 seep).  Westmoreland County,   Good habitat quality,       Recently discovered. One
                                     VA.                    owned by TNC. Permanently   individual found in
                                                            protected as a nature       2017.
                                                            preserve.
----------------------------------------------------------------------------------------------------------------

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

    In the September 30, 2016, proposed rule (81 FR 67270), we found no 
information indicating that overutilization was a factor affecting the 
Kenk's amphipod. No new information from peer review or public comments 
indicates that overutilization is a concern for the species.

Factor C. Disease or Predation

    In the September 30, 2016, proposed rule (81 FR 67270), we found no 
information indicating that disease or predation was affecting the 
Kenk's amphipod. No new information from peer review or public comments 
indicates that disease or predation is a concern for the species.

Factor D. The Inadequacy of Existing Regulatory Mechanisms

    The following existing regulatory mechanisms were specifically 
considered and discussed as they relate to the stressors, under the 
applicable Factors, affecting the Kenk's amphipod: the Clean Water 
Act's (CWA) National Pollutant Discharge Elimination System, Rock Creek 
Park Authorization Act of 1890, and National Park Service Organic Act 
of 1916 (Factor A; summarized above in this final determination, but 
discussed in full in the proposed rule (81 FR 67270; September 30, 
2016) and Nongame and Endangered Species Conservation Act (Factor B).

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

Small Population Dynamics

    The observed small size of each of the 13 Kenk's amphipod 
populations may make each one vulnerable to natural environmental 
stochasticity and human-caused habitat disturbance, including 
relatively minor impacts in their spring recharge areas. However, there 
is significant uncertainty regarding the extent to which the number of 
Kenk's amphipods observed at the seep surface accurately reflects the 
actual population at each site given the species' known ability to move 
between the surface and subsurface habitat. We are unaware of any 
reliable method to accurately estimate the actual population size of 
the Kenk's amphipod at each of its historical and current sites. In 
addition, the multiple sites (six in the Washington metropolitan area 
and seven in Virginia) provide some protection against stochastic and 
catastrophic events affecting all sites simultaneously (see the 
Cumulative Effects section below).
    An eDNA (Niemiller et al. 2016, pp. 1-7) and a hydrogeology study 
(Staley 2016, pp. 1-46) were conducted in 2016. However, neither study 
resulted in any information that helped us better understand the Kenk's 
amphipod's genetics, distribution, or potential for dispersal (e.g., 
metapopulation structure). Therefore, unless the populations are larger 
than we know or are hydrologically connected such that individuals can 
move between sites, we maintain that these small populations are 
vulnerable to the effects of small population dynamics.
    Species that are restricted in range and population size are more 
likely to suffer loss of genetic diversity due to genetic drift, 
potentially increasing their susceptibility to inbreeding depression, 
and reducing the fitness of individuals (Soule 1980, pp. 157-158; 
Hunter 2002, pp. 162-163; Allendorf and Luikart 2007, pp. 117-146). 
Small population sizes and inhibited gene flow between populations may 
increase the likelihood of local extirpation (Gilpin and Soul[eacute] 
1986, pp. 32-34). With the exceptions for the Fort A.P. Hill 
populations of Mill Creek #2 and Mill Creek #4, which are separated by 
only approximately 360 ft (110 m), and Mill Creek #56 and #59, which 
are approximately 2,640 ft (805 m) from the other two Mill Creek sites 
and 1,056 ft (322 m) apart from each other, all the other populations 
of the Kenk's amphipod are isolated from other existing populations and 
known habitats by long distances, inhospitable upland habitat, and 
terrain that create barriers to amphipod movement. The level of 
isolation and the restricted range seen in this species, based on our

[[Page 45567]]

current knowledge of known habitat, make natural repopulation of known 
habitats (e.g., the District of Columbia sites and Burnt Mill Spring #6 
where the species' presence has not been recently confirmed) virtually 
impossible without human intervention.

Effects of Climate Change

    Climate change may result in changes in the amount and timing of 
precipitation, the frequency and intensity of storms, and air 
temperatures. All of these changes could affect the Kenk's amphipod and 
its habitat. The amount and timing of precipitation influence spring 
flow, which is an important feature of the habitat of this ground water 
species. Also, the frequency and intensity of storms affects the 
frequency, duration, and intensity of runoff events, and runoff 
transport of sediment and contaminants into catchment areas of Kenk's 
amphipod sites, especially in the Washington metropolitan area, where 
there is a substantial amount of impervious cover in close proximity to 
the habitat (see Factor A summarized above and in detail in the 
proposed rule (81 FR 67270; September 30, 2016)). Below we discuss the 
best available climate predictions for the areas supporting the Kenk's 
amphipod.
    The 2014 National Climate Assessment (Melillo et al. 2014, entire) 
predicts increasing ambient temperatures, increasing winter and spring 
precipitation, increasing frequency of heavy downpours, and increasing 
summer and fall drought risk as higher temperatures lead to greater 
evaporation and earlier winter and spring snowmelt (Horton et al. 2014, 
p. 374 In Melillo et al. 2014). Without more specific information about 
how seeps are connected underground, as well as the ability of the 
amphipods to migrate within the soil column in response to drying from 
drought conditions, it is unclear to what degree the temporary drying 
of these habitats will affect the Kenk's amphipod (Carter 2016, pers. 
comm.). Alternatively, an increase in heavy downpours will likely 
result in increased runoff and resulting erosion of surface features at 
spring sites, based on previously documented events. The 2014 National 
Climate Assessment further indicates that overall warming in the 
Northeast, including Maryland and the District of Columbia, will be 
from 3 to 10 degrees Fahrenheit ([deg]F) (1.7 to 5.6 degrees Celsius 
([deg]C)) by the 2080s (Horton et al. 2014, p. 374 In Melillo et al. 
2014). The Southeast region, which includes Virginia, is projected to 
see a regional average temperature increase of 4 to 8 [deg]F (2.2 to 
4.4 [deg]C) (Carter et al. 2014, p. 399 In Melillo et al. 2014).
    Data specific to the District of Columbia from NOAA's National 
Climate Data Center (NOAA 2017, entire) shows that the average annual 
air temperature in the District of Columbia has already increased by 
approximately 2 [deg]F (1.1[deg]C) from 1960, the decade corresponding 
to the first Kenk's amphipod surveys, to 2016. This higher rate of 
change in the District of Columbia may be due to the urban heat island 
effect (Oke 1995, p. 187), which is an increase in ambient temperature 
due to heating of impervious surfaces. This activity also results in an 
increase in temperature of rainwater that falls on heat-absorbing roads 
and parking lots. A sudden thunderstorm striking a parking lot that has 
been sitting in hot sunshine can easily result in a 10 [deg]F (5.6 
[deg]C) increase in the rainfall temperature. Menke et al. (2010, pp. 
147-148) showed that these temporary increases in temperature of storm 
water can still result in a shift in the biotic community composition 
and even accelerate changes in species distributions. Based on the work 
of Menberg et al. (2014, entire), we expect these changes in air 
temperature to be reflected in the temperature of the shallow ground 
water at all sites within a few years, but at a lower magnitude.
    Increased temperature is stressful to aquatic life through several 
mechanisms. First, at higher temperatures, the metabolic rate of 
invertebrates and fish is higher and more rapid ventilation is needed 
by the animal to obtain oxygen, which is less soluble (i.e., less 
available) in warmer versus cooler water (Schiedek et al. 2007, p. 
1846). Second, the rates that cold-blooded animals metabolize certain 
chemicals into more toxic forms increase at higher temperatures. This 
characteristic can either cause sublethal effects that inhibit the 
animal's ability to feed, breed, or escape from predators, or can be 
lethal due to increased toxicity at higher temperatures. For example, 
organophosphate insecticides are metabolically transformed into the 
more toxic oxon form. This oxon form is lethal to animals because it 
inhibits the enzyme acetylcholinesterase (Hooper et al. 2013, p. 36). 
Illustrating this toxicity, laboratory experiments exposed the Gammarus 
pseudolimnaeus amphipod to the organophosphates terbufos and 
trichlorofon (Howe et al. 1994, p. 58). In one set of experiments, 
terbufos was demonstrated to be seven times more toxic at 
62[emsp14][deg]F (17[emsp14][deg]C) than at 45[emsp14][deg]F 
(7[emsp14][deg]C). And third, ammonia, derived from wastewater, 
fertilizers, and runoff from animal wastes, is more toxic to all 
aquatic life at higher temperatures because a greater fraction exists 
in the more toxic un-ionized form (EPA 2013, p. 7). Thus, the EPA 
aquatic life criteria are temperature (and pH) dependent with lower 
limits at higher temperatures for a given pH. It is important to note 
we do not have specific temperature tolerance information for the 
Kenk's amphipod; however, there are studies of other amphipod species 
that indicate these animals have a sensitivity to elevated 
temperatures, as exhibited by reduced or eliminated egg survival at 
water temperatures above 75[emsp14][deg]F (24[emsp14][deg]C) to 
79[emsp14][deg]F (26[emsp14][deg]C) (Pockl and Humpesch 1990, pp. 445-
449).
    In summary, if current climate change predictions become reality, 
by the 2080s some increase in ground water temperatures will occur at 
sites occupied by the Kenk's amphipod, yet the magnitude and 
significance of these changes is difficult to predict.

Change in Species Composition

    At most of the Washington metropolitan area sites supporting the 
Kenk's amphipod, numbers of the Potomac ground water amphipod, which is 
the most widely distributed and abundant Stygobromus species in the 
lower Potomac drainage (Kavanaugh 2009, p. 6), have increased as 
numbers of observed Kenk's amphipods have declined (Feller 2016b, pers. 
comm.; Feller 2016c, pers. comm.). The exact cause of this change is 
not known, but it may be an indication that some stressor has led to a 
competitive advantage for the Potomac ground water amphipod (Culver et 
al. 2012, p. 29). Other than at Coquelin Run Spring, there are no 
obvious physical changes at these sites indicating a cause for the 
decline. However, as described in Factor A, impaired water quality 
could favor a more common species over a rare species. Culver and Sereg 
(2004, pp. 72-73) indicated that there is a possibility that the Kenk's 
amphipod is a poor competitor with other Stygobromus species, which may 
be a factor promoting the Kenk's amphipod's natural rarity, and that in 
cave locations Stygobromus species strongly compete with each other. 
Only one site in the Washington metropolitan area was surveyed in 2017, 
Burnt Mills Spring #6. That site continues to have a large number of S. 
tenuis and no Kenk's amphipod (Feller 2016g, pers. comm.). The more 
common species S. tenuis and S. foliatus are found at the Virginia 
sites, but they are less abundant than what has been observed in the 
Washington metropolitan area sites (Hobson 2017b, pers. comm.). While 
the Kenk's amphipod may have always been

[[Page 45568]]

naturally rare, we conclude that the species may be getting rarer at 
the Washington metropolitan area sites due to the stressors discussed 
above.
    Summary of Factor E--The believed small population size at all of 
the sites makes each one of them vulnerable to natural environmental 
stochasticity and human-caused habitat disturbance, including 
relatively minor impacts in their spring recharge areas. The believed 
small size and isolation of sites also make each population vulnerable 
to demographic stochasticity, including loss of genetic variability and 
adaptive capacity.
    The best available climate data indicate that the areas supporting 
the Kenk's amphipod will see increasing ambient temperatures, 
increasing winter and spring precipitation, increasing frequency of 
heavy downpours, and increasing summer and fall drought risk as higher 
temperatures lead to greater evaporation and earlier winter and spring 
snowmelt. Droughts could result in drying up of spring sites, while the 
increase in heavy downpours could result in erosion and sedimentation 
of sites. Ambient air temperature has increased by 3[emsp14][deg]F 
(1.7[emsp14][deg]C) since 1960, and is expected to increase by 8 to 
10[emsp14][deg]F (4.4 to 5.6[emsp14][deg]C) by the 2080s. If current 
climate change predictions become a reality, by the 2080s some increase 
in ground water temperatures will occur at sites occupied by the Kenk's 
amphipod, but the magnitude and significance of these changes is 
difficult to predict.

Cumulative Effects

    Many of the factors previously discussed are cumulatively and 
synergistically affecting the Kenk's amphipod primarily in the 
Washington metropolitan area. For example, Kenk's amphipod habitat can 
be degraded by storm water runoff when there is not adequate forest 
buffer, which is likely to increase with more frequent and intense 
storms and precipitation levels in the future. Species with larger 
populations are naturally more resilient to the stressors affecting 
individuals or local occurrences, while smaller populations or 
individuals are more susceptible to demographic or stochastic events. 
Below we discuss the Kenk's amphipod's viability as expressed through 
the conservation biology principles of representation, redundancy, and 
resiliency, which illustrate how the cumulative and synergistic effects 
are affecting the species as a whole.
    Redundancy--The species has some redundancy given its known 
historical distribution of 13 sites across 4 municipal jurisdictions 
and multiple streams. Currently, the species is known to be extant at 
one of the Washington metropolitan area sites and seven of the Virginia 
sites. We assume that the Sherrill Drive Spring site is extirpated. 
Although we cannot confirm without additional consecutive negative 
survey results, given the lack of recent positive surveys and the 
existing stressors at the five other Washington metropolitan area 
sites, it is possible that these sites are functionally extinct, which 
means that the population at each site is so reduced that the site 
population is no longer viable.
    The isolation of the two Montgomery County, MD, populations from 
other Washington metropolitan area populations and their occurrence 
along different tributary streams make it unlikely that a single 
catastrophic adverse event (e.g., a spill) will eliminate more than one 
occurrence at a time. In addition, the Virginia sites on Fort A.P. Hill 
occur in two stream areas, Mill Creek and Mount Creek, making it 
unlikely that a single military training event or other catastrophic 
event will eliminate more than one occurrence at a time. In addition, 
subsequent to the species' proposal for endangered status, it was found 
in the spring of 2017 approximately 8.5 mi (13.7 km) away and across 
the Rappahannock River from the known Fort A.P. Hill sites. This 
finding, together with the discovery of two new sites on Fort A.P. 
Hill, contributes to additional redundancy for the species.
    Representation--Based on the information about historical changes 
to the landscape across the Washington metropolitan area, we conclude 
it is likely that the species' historical distribution was larger than 
the current distribution; therefore, the species may have previously 
experienced a loss in representation. Also, because we do not yet have 
sufficient information on the genetics of these populations, we cannot 
determine whether the species possesses a single genetic identity or 
has genetic variability across populations. However, the species is now 
known to occur within habitat supported by two different geological 
formations, the Wissahickon and Nanjemoy. While we conclude that the 
species' representation has likely been reduced from historical levels, 
it may not be as limited as we thought at the time of the proposed rule 
given our expanded understanding of suitable habitat and the three new 
locations found during the spring 2017 surveys on public land.
    Resiliency--Based on the relatively small number of individuals 
found at the 13 known seeps, and the variability of stressors across 
the species' range, the resiliency of each of the Kenk's amphipod's 
populations may be low to moderate. The small size of each of the 13 
habitat areas makes each population vulnerable to natural environmental 
stochasticity and human-caused habitat disturbance, including 
relatively minor effects in the spring recharge area. As a result of 
habitat fragmentation/isolation there is a lack of connectivity and 
genetic exchange between populations and, we assume, a lack of ability 
to recolonize extirpated sites. However, the larger number of Kenk's 
amphipods found at two of the newly discovered sites, together with the 
expectation that seven of the sites will be adequately protected from 
habitat quality stressors, leads us to believe that the resiliency of 
the Kenk's amphipod at a majority of its sites is higher than we 
thought at the time of the proposed listing rule.

Determination

    Section 4 of the Act (16 U.S.C. 1533), and its implementing 
regulations at 50 CFR part 424, set forth the procedures for 
determining whether a species is an endangered species or threatened 
species and should be included on the Federal Lists of Endangered and 
Threatened Wildlife and Plants (listed). 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 throughout all or a 
significant portion of its range within the foreseeable future.'' The 
phrase ``significant portion of its range'' (SPR) is not defined by the 
Act, and, since the Service's policy interpreting the phrase was 
vacated by the court in Center for Biological Diversity v. Jewell, No. 
14-cv-02506-RM (D. Ariz. Mar. 29, 2017), we currently do not have a 
binding interpretation that addresses: (1) The outcome of a 
determination that a species is either in danger of extinction or 
likely to become so in the foreseeable future throughout a significant 
portion of its range; or (2) what qualifies a portion of a range as 
``significant.'' 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 following interpretation 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.
    Two district court decisions have evaluated whether the outcomes of 
the Service's determinations that a species is in danger of extinction 
or likely to

[[Page 45569]]

become so in the foreseeable future in a significant portion of its 
range were reasonable. Defenders of Wildlife v. Salazar, 729 F. Supp. 
2d 1207 (D. Mont. 2010) (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 (D. Ariz. Sept. 30, 2010). Both courts found that, 
once the Service determines that a ``species''--which can include a 
species, subspecies, or Distinct Population Segment of a vertebrate 
species (DPS) under section 3(16) of the Act--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, 729 F. Supp. 2d at 1222 (delisting the Northern Rocky 
Mountain DPS of gray wolf except in the Wyoming portion of its range 
(74 FR 15123 (Apr. 2, 2009)) was unreasonable because the Act 
unambiguously prohibits listing or protecting part of a DPS); WildEarth 
Guardians, 2010 U.S. Dist. LEXIS 105253, at 15-16 (the Service's 
finding that listing the Gunnison's prairie dog in the ``montane 
portion'' of its range was warranted (73 FR 6660 (Feb. 5, 2008)) was 
unreasonable because the Service ``cannot determine that anything other 
than a species, as defined by the Act, is an endangered or threatened 
species''). The issue has not been addressed by a Federal Court of 
Appeals.
    For the purposes of this rule, we interpret the SPR phrase in the 
Act's definitions of ``endangered species'' and ``threatened species'' 
to provide an independent basis for listing a species in its entirety; 
thus there are two situations (or factual bases) under which a species 
would qualify for listing: A species may be in danger of extinction or 
likely to become so in the foreseeable future throughout all of its 
range; or a species may be in danger of extinction or likely to become 
so throughout a significant portion of its range. If a species is in 
danger of extinction throughout an SPR, it, the species, is an 
``endangered species.'' The same analysis applies to ``threatened 
species.'' Therefore, the consequence of finding that a species is in 
danger of extinction or likely to become so throughout a significant 
portion of its range is that the entire species will be listed as an 
endangered species or threatened species, respectively, and the Act's 
protections will be applied to all individuals of the species wherever 
found.
    Although there are potentially many ways to determine whether a 
portion of a species' range is ``significant,'' we conclude, for the 
purposes of this rule, that the significance of the portion of the 
range should be determined based on its biological contribution to the 
conservation of the species. For this reason, we describe the threshold 
for ``significant'' in terms of an increase in the risk of extinction 
for the species. We conclude that such a biologically based definition 
of ``significant'' best conforms to the purposes of the Act, is 
consistent with judicial interpretations, and best ensures species' 
conservation.
    For the purposes of this rule, we determine if a portion's 
biological contribution is so important that the portion qualifies as 
``significant'' by asking whether, without that portion, the species in 
the remainder of its range warrants listing (i.e., is in danger of 
extinction or likely to become so in the foreseeable future). 
Conversely, we would not consider the portion of the range at issue to 
be ``significant'' if the species would not warrant listing in the 
remainder of its range even if the population in that portion of the 
range in question became extirpated (extinct locally).
    We interpret the term ``range'' to be the general geographical area 
within which the species is currently found, including those areas used 
throughout all or part of the species' life cycle, even if not used on 
a regular basis. We consider the ``current'' range of the species to be 
the range occupied by the species at the time the Service makes a 
determination under section 4 of the Act. The phrase ``is in danger'' 
in the definition of ``endangered species'' denotes a present-tense 
condition of being at risk of a current or future undesired event. 
Hence, to say a species ``is in danger'' in an area where it no longer 
exists--i.e., in its historical range where it has been extirpated--is 
inconsistent with common usage. Thus, ``range'' must mean ``current 
range,'' not ``historical range.'' A corollary of this logic is that 
lost historical range cannot constitute a significant portion of a 
species' range where a species is in danger of extinction or likely to 
become so within the foreseeable future (i.e., it cannot be currently 
in danger of extinction in a portion of its range where it is already 
extirpated). While we conclude that a species cannot be in danger of 
extinction in its lost historical range, taking into account the 
effects of loss of historical range on a species is an important 
component of determining a species' current and future status.
    In implementing these independent bases for listing a species, as 
discussed above, we list any species in its entirety either because it 
is in danger of extinction now or likely to become so in the 
foreseeable future throughout all of its range or because it is in 
danger of extinction or likely to become so in the foreseeable future 
throughout a significant portion of its range. With regard to the text 
of the Act, we note that Congress placed the ``all'' language before 
the SPR phrase in the definitions of ``endangered species'' and 
``threatened species.'' This placement suggests that Congress intended 
that an analysis based on consideration of the entire range should 
receive primary focus. Thus, the first step in our assessment of the 
status of a species is to determine its status throughout all of its 
range. Depending on the status throughout all of its range, we will 
subsequently examine whether it is necessary to determine its status 
throughout a significant portion of its range.
    Under section 4(a)(1) of the Act, we determine whether a species is 
an endangered species or threatened species because of any of the 
following: (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. These five factors apply whether we are analyzing 
the species' status throughout all of its range or throughout a 
significant portion of its range.

Kenk's Amphipod Determination of Status Throughout All of Its Range

    Our review of the best available information indicates that the 
Kenk's amphipod is known to be extant at one of the Washington 
metropolitan area sites and seven of the Virginia sites. We assume that 
the Sherrill Drive Spring site is extirpated. Although we cannot 
confirm without additional consecutive negative survey results, given 
the lack of recent positive surveys and the existing stressors at the 
other Washington metropolitan area sites, it is possible that these 
sites are functionally extinct. Three of the Virginia sites were 
recently discovered during the 2017 surveys of suitable habitat on 
publicly owned lands. While there appears to be evidence of extirpation 
at one site (Sherrill Drive Spring) and decline of the species at four 
Washington metropolitan area sites (East Spring,

[[Page 45570]]

Kennedy Spring, Holsinger Spring, and Burnt Mill Spring #6), and one 
individual was collected at Coquelin Run Spring, the number of Kenk's 
amphipods found during the 2017 surveys was slightly higher at two of 
the previously known Fort A.P. Hill sites (Mount Creek #2 and Upper 
Mill Creek #2), the same at one previously known Fort A.P. Hill site 
(Mill Creek #4), and higher at two new sites on Fort A.P. Hill (Mill 
Creek #56 and Mill Creek #59); one of the previously known Fort A.P. 
Hill sites was not surveyed (Mill Creek #5) due to lack of spring flow. 
In addition, the species was newly discovered at the Voorhees Nature 
Preserve. It is possible that the species could be found at additional 
locations in Virginia based on the amount of yet-to-be-surveyed 
suitable habitat.
    The habitat loss and degradation (Factor A) from poor water quality 
parameters associated with urban runoff affecting the Kenk's amphipod 
at the six Washington metropolitan area sites, despite existing 
regulatory mechanisms (Factor D), are likely to be exacerbated in the 
future by the increasing risk of exposure to breaks and leaks from the 
aging sewer and water pipe infrastructure (Factor A), as well as the 
predicted more frequent and intense rainfall events, resulting in sheet 
flow events, due to the effects of climate change (Factor E). However, 
poor water quality associated with urban runoff is not affecting the 
species at the seven sites in Virginia. Interspecific competition 
(Factor E) from larger amphipod species may also be affecting the 
Kenk's amphipod at some of the Washington metropolitan area sites, but 
the available information is inconclusive, and those larger amphipod 
species, while found at some of the Virginia sites, have not been found 
in large numbers (Hobson 2017b, pers. comm.). Overutilization (Factor 
B), disease (Factor C), and predation (Factor C) are not known to be 
factors affecting the Kenk's amphipod at any site. It is possible that 
the effects of small population dynamics (Factor E) may be having an 
effect at some, if not all, of the species' locations, but there is 
some uncertainty associated with that hypothesis given the species' 
known ability to move back and forth between the ground water and 
surface areas of the seeps and given the survey data indicating the 
species can reappear, sometimes in higher numbers of individuals, after 
several years of absence. It is also possible that increasing air 
temperatures as a result of climate change (Factor E) will cause ground 
water temperatures to eventually increase, that the ground water will 
become too warm by the end of the century for the Kenk's amphipod to 
successfully reproduce, and that higher ground water temperatures will 
increase the species' exposure, and sublethal and lethal response, to 
contaminants. However, there is some uncertainty associated with that 
hypothesis given the long timeframes (e.g., more than 50 years) 
associated with the climate modelling and the unknown water temperature 
tolerance of the Kenk's amphipod.
    Although there are some stressors that are expected to continue to 
result in the degradation and loss of some habitat sites for the Kenk's 
amphipod, the risk of the species significantly declining across its 
range in the near term is very low given that it has persisted, albeit 
at decreased levels, despite historical levels of habitat loss in the 
Washington metropolitan area. Factors in favor include the species' 
presence in relatively higher numbers at the Virginia sites. 
Furthermore, the existing stressors are not likely to cause species-
level effects in the near term. The documented persistence of the 
species at one location in the Washington metropolitan area and seven 
locations in Virginia provides redundancy, resiliency, and 
representation to sustain the species beyond the near term. Therefore, 
we conclude that the risk of extinction of the Kenk's amphipod in the 
near term is sufficiently low that it does not meet the definition of 
an endangered species under the Act.
    The Act defines a threatened species as ``any species which is 
likely to become an endangered species within the foreseeable future 
throughout all or a significant portion of its range.'' A key statutory 
difference between an endangered species and a threatened species is 
the timing of when the relevant threats would begin acting upon a 
species such that it is in danger of extinction now (endangered 
species) or likely to become so in the foreseeable future (threatened 
species).
    The foreseeable future refers to the extent to which we can 
reasonably rely on predictions about the future in making 
determinations about the future conservation status of the species 
(U.S. Department of the Interior, Solicitor's Memorandum, M-37021, 
January 16, 2009). We must look not only at the foreseeability of 
threats, but also at the foreseeability of the impact of the threats on 
the species (U.S. Department of the Interior's Solicitor's Memorandum, 
M-37021, January 16, 2009).
    In considering the foreseeable future as it relates to the status 
of the Kenk's amphipod, we considered the extent to which we could 
reliably predict the species' risk of extinction over time. Our ability 
to make reliable predictions into the future for the Kenk's amphipod is 
informed by the species' survey data; the potential effects to the 
species from ongoing and predicted stressors, as well as the 
uncertainty surrounding the species' response to those stressors; and 
ongoing and future conservation measures to address the known 
stressors. The future timeframe for this analysis is 30 years, which is 
a reasonably long time to consider as the foreseeable future given the 
Kenk's amphipod's life history and the temporal scale associated with 
the patterns of survey data and the past and current stressors outlined 
in the best available data. The timeframe for foreseeable future is 
based, in part, on projecting forward. A similar timeframe encompassed 
by the historical survey results shows decades in which the species was 
present, absent, and then present again at some seep sites. This 
timeframe also captures our best professional judgment of the projected 
potential range of future conditions related to the effects of climate 
change (i.e., the period in which the species' response to the 
potential effects of climate change are reliably predictable) and 
cumulative effects.
    Since the analysis of potential effects from climate change was an 
important consideration in our analysis, it was necessary to consider a 
long enough timeframe to adequately evaluate those potential effects. 
However, we did not extend our risk assessment forecasting used in the 
listing determination process out as far as the existing climate change 
models (e.g., models that forecast effects over 80 years) discussed in 
the proposed listing rule (81 FR 67270) due to (1) the increased 
uncertainty in the model results (i.e., the confidence intervals 
associated with temperature and precipitation projections); (2) the 
higher level of uncertainty of how the species may respond to any 
potential changes in its habitat that may result from changes in 
temperature and precipitation patterns; and (3) uncertainty associated 
with how society will respond to the predicted change in climate (e.g., 
take actions that will mediate or accelerate global emissions) that far 
into the future. As an example of biological uncertainty, there are 
significant questions regarding the extent to which the number of 
Kenk's amphipods observed at the seep surface accurately reflects the 
actual population at each site given the species' known

[[Page 45571]]

ability to move between the surface and subsurface habitat.
    These uncertainties are additive and undermine the Service's 
confidence in making a risk assessment projection beyond 30 years. 
Therefore, as further described below, a projection of the threats and 
the effects to the species of 30 years represents the timeframe over 
which the Service considers a reliable prediction to be possible.
    As we concluded above, the stressors likely to have the greatest 
influence on the Kenk's amphipod's viability over time include: Changes 
in habitat quality and quantity resulting from urbanization in the 
Washington metropolitan areas and the potential for the effects of 
small population dynamics and increased ground water temperatures due 
to climate change at all sites. Given the risk factors affecting the 
species currently and/or potentially in the future, we determined the 
following:
     The best available information indicates that the risk is 
low that changes in habitat quality resulting from changes in 
temperature will result in aggregate or species-level effects in the 
foreseeable future.
     There is significant uncertainty regarding the timeframe 
in which the predicted climate-induced changes to air temperature will 
manifest in ground water (i.e., whether those changes will occur within 
the foreseeable future).
     There is significant uncertainty regarding the extent to 
which the number of Kenk's amphipods observed at the seep surface 
accurately reflects the actual population at each site given the 
species' known ability to move between the surface and subsurface 
habitat. The best available data indicate that the risk of the dynamics 
of small population size affecting the species is low because even if 
the species may exist in low numbers at most or all of the 13 known 
sites, it is very unlikely that all of the sites would be exposed to 
catastrophic or stochastic events at the same time. Therefore, the 
species is not likely to be extirpated at most or all of the sites 
within the foreseeable future.
    Taking into account the effects of the most likely stressors and 
the potential for cumulative effects to the species, our projections 
for foreseeable future conditions are that the risk is low that the 
Kenk's amphipod will not continue to be distributed across multiple 
seep sites within the species' current range. These multiple areas will 
help the Kenk's amphipod withstand catastrophic events; meaning the 
risk is low that a significant weather or other event will cause 
extirpation of the species at most or all sites. Also, we project that 
the risk is low that the species will not continue to be present in 
multiple areas, especially in Virginia, in adequate abundance to 
withstand stochastic events. For example, the risk is low that a 
training or hunting event at Fort A.P. Hill causing damage to a seep 
site will cause extirpation of the species at that site.
    Based on our analysis of the species' redundancy, resiliency, and 
representation, and our consideration of the species' future stressors 
and conservation measures to address those stressors, we conclude that 
the Kenk's amphipod is likely to remain at a sufficiently low risk of 
extinction such that it is not likely to become in danger of extinction 
in the foreseeable future and thus does not meet the definition of a 
threatened species under the Act.

Determination of Status Throughout a Significant Portion of Its Range

    Consistent with our interpretation that there are two independent 
bases for listing species as described above, after examining the 
species' status throughout all of its range, we now examine whether it 
is necessary to determine its status throughout a significant portion 
of its range. We must give operational effect to both the ``throughout 
all'' of its range language and the SPR phrase in the definitions of 
``endangered species'' and ``threatened species.'' The Act, however, 
does not specify the relationship between the two bases for listing. As 
discussed above, to give operational effect to the ``throughout all'' 
language that is referenced first in the definition, consideration of 
the species' status throughout the entire range should receive primary 
focus and we should undertake that analysis first. In order to give 
operational effect to the SPR language, the Service should undertake an 
SPR analysis if the species is neither in danger of extinction nor 
likely to become so in the foreseeable future throughout all of its 
range, to determine if the species should nonetheless be listed because 
of its status in an SPR. Thus, we conclude that to give operational 
effect to both the ``throughout all'' language and the SPR phrase, the 
Service should conduct an SPR analysis if (and only if) a species does 
not warrant listing according to the ``throughout all'' language.
    Because we determined that the Kenk's amphipod is not in danger of 
extinction or likely to become so in the foreseeable future throughout 
all of its range, we will consider whether there are any significant 
portions of its range in which the Kenk's amphipod is in danger of 
extinction or likely to become so.
    Although there are potentially many ways to determine whether a 
portion of a species' range is ``significant,'' we conclude, as noted 
above, for the purposes of this rule, that the significance of the 
portion of the range should be determined based on its biological 
contribution to the conservation of the species. For this reason, we 
describe the threshold for ``significant'' in terms of an increase in 
the risk of extinction for the species. We conclude that such a 
biologically based definition of ``significant'' best conforms to the 
purposes of the Act, is consistent with judicial interpretations, and 
best ensures species' conservation.
    We evaluate biological significance based on the principles of 
conservation biology using the concepts of redundancy, resiliency, and 
representation because decreases in the redundancy, resiliency, and 
representation of a species lead to increases in the risk of extinction 
for the species. Redundancy (having multiple resilient populations 
considering genetic and environmental diversity) may be needed to 
provide a margin of safety for the species to withstand catastrophic 
events. Resiliency describes the characteristics of a species that 
allow it to recover from stochastic events or periodic disturbance. 
Representation (the range of variation found in a species) ensures that 
the species' ability to adapt to changing environments is conserved. 
Redundancy, resiliency, and representation are not independent of each 
other, and some characteristics of a species or area may contribute to 
all three. For example, distribution across a wide variety of habitats 
is an indicator of representation, but it may also indicate a broad 
geographic distribution contributing to redundancy (decreasing the 
chance that any one event affects the entire species), and the 
likelihood that some habitat types are less susceptible to certain 
threats, contributing to resiliency (the ability of the species to 
recover from disturbance). None of these concepts is intended to be 
mutually exclusive, and a portion of a species' range may be determined 
to be ``significant'' due to its contributions under any one of these 
concepts.
    For the purposes of this rule, we determine if a portion's 
biological contribution is so important that the portion qualifies as 
``significant'' by asking whether, without that portion, the 
representation, redundancy, or resiliency of the species would be so 
impaired that the species would be in danger of extinction or likely to 
become

[[Page 45572]]

so in the foreseeable future (i.e., would be an ``endangered species'' 
or a ``threatened species''). Conversely, we would not consider the 
portion of the range at issue to be ``significant'' if there is 
sufficient resiliency, redundancy, and representation elsewhere in the 
species' range that the species would not be in danger of extinction or 
likely to become so throughout its range even if the population in that 
portion of the range in question became extirpated (extinct locally).
    We recognize that this definition of ``significant'' establishes a 
threshold that is relatively high. Given that the outcome of finding a 
species to be in danger of extinction or likely to become so in an SPR 
would be to list the species and apply protections of the Act to all 
individuals of the species wherever found, it is important to use a 
threshold for ``significant'' that is robust. It would not be 
meaningful or appropriate to establish a very low threshold whereby a 
portion of the range can be considered ``significant'' even if only a 
negligible increase in extinction risk would result from its loss. 
Because nearly any portion of a species' range can be said to 
contribute some increment to a species' viability, use of such a low 
threshold would require us to impose restrictions and expend 
conservation resources disproportionately to conservation benefit: 
Listing would be rangewide, even if only a portion of the range with 
minor conservation importance to the species is imperiled. On the other 
hand, it would be inappropriate to establish a threshold for 
``significant'' that is too high. This would be the case if the 
standard were, for example, that a portion of the range can be 
considered ``significant'' only if threats in that portion result in 
the entire species' being currently in danger of extinction or likely 
to become so. Such a high bar would not give the SPR phrase independent 
meaning, as the Ninth Circuit held in Defenders of Wildlife v. Norton, 
258 F.3d 1136 (9th Cir. 2001).
    The definition of ``significant'' used in this rule carefully 
balances these concerns. By setting a relatively high threshold, we 
minimize the degree to which restrictions would be imposed or resources 
expended that do not contribute substantially to species conservation. 
But we have not set the threshold so high that the phrase ``throughout 
a significant portion of its range'' loses independent meaning. 
Specifically, we have not set the threshold as high as it was under the 
interpretation presented by the Service in the Defenders litigation. 
Under that interpretation, the portion of the range would have to be so 
important that the species' current level of imperilment in the portion 
results in the species currently being in danger of extinction or 
likely to become so throughout all of its range.
    Under the definition of ``significant'' used in this rule, the 
portion of the range need not rise to such an exceptionally high level 
of biological significance. (We recognize that, if the portion rises to 
the higher level of biological significance and the species is in 
danger of extinction or likely to become so in the foreseeable future 
in that portion, then the species would already be in danger of 
extinction or likely to become so in the foreseeable future throughout 
all of its range. We would accordingly list the species as threatened 
or endangered throughout all of its range by virtue of the species' 
rangewide status so we would not need to rely on the SPR language for 
such a listing.) Rather, under this interpretation we ask whether the 
species would be in danger of extinction or likely to become so 
everywhere without that portion, i.e., if the species were 
hypothetically completely extirpated from that portion. In other words, 
the portion of the range need not be so important that its current 
status in that portion of its range--being merely in danger of 
extinction, or likely to become so in the foreseeable future--is 
sufficient to cause the species to be in danger of extinction or likely 
to become so in the foreseeable future throughout all of its range. 
Instead, we evaluate whether the complete extirpation (in a 
hypothetical future) of the species in that portion would at that point 
cause the species throughout its remaining range to be in danger of 
extinction or likely to become so in the foreseeable future.
    We are aware that the court in Center for Biological Diversity v. 
Jewell found that this definition of ``significant'' does not give 
sufficient independent meaning to the SPR phrase. However, that 
decision was based on two misunderstandings about the interpretation of 
``significant.'' First, the court's decision was based on its finding 
that, as with the interpretation that the court rejected in Defenders, 
the definition of ``significant'' does not allow for an independent 
basis for listing. However, this definition of ``significant'' is not 
the same as the definition applied in Defenders, which looked at the 
current status within the portion and asked what the current effect on 
the entire range of the species is. By contrast, this definition of 
``significant'' looks at a future hypothetical loss of all members 
within the portion and asks what the effect on the remainder of the 
species would be; the current status of the species in that portion is 
relevant only for determining the listing status if the portion has 
been determined to be significant. This definition of ``significant'' 
establishes a lower threshold than requiring that the species' current 
status in that portion of its range is already causing the species to 
be in danger of extinction throughout all of its range or likely to 
become so in the foreseeable future. In other words, this definition of 
``significant'' captures circumstances that would not be captured by 
the definition used in Defenders, or by analyzing whether a species is 
in danger of extinction or likely to become so throughout all of its 
range: A species that is not currently likely to become an endangered 
species in the foreseeable future, but would be if a particular 
important portion of its range is completely lost, can nonetheless be 
listed now if the species in that portion is threatened or endangered 
(as opposed to only after the portion is in fact lost, as would be the 
case if the SPR language did not exist).
    The second misunderstanding was the court's characterization of the 
listing determination for the African coelacanth as an indication that 
the Service and National Marine Fisheries Service (NMFS) have had 
difficulty accurately applying this definition of ``significant.'' 
However, in that listing determination, the conclusion was that the 
species was not in danger of extinction throughout all of its range or 
likely to become so in the foreseeable future but it did warrant 
listing because of its status in a significant portion of its range. 
The only reason for not listing the entire species was that the 
population in that portion of the range met the definition of a DPS, 
and therefore the agency listed the DPS instead of the entire species. 
The population in an SPR is not automatically a DPS so, contrary to the 
court's reasoning, the definition of ``significant'' can be applied and 
result in listing a species that would not otherwise be listed. (We 
also note another instance, in addition to the one cited in this case, 
in which this definition has been effectively applied. In the proposed 
rule to list the giant manta ray as a threatened species (82 FR 3694; 
January 12, 2017), NMFS found that the giant manta ray was not 
currently in danger of extinction or likely to become so in the 
foreseeable future throughout all of its range because the Atlantic 
populations were not experiencing the same risks as the Pacific 
populations. However, they did find that the Pacific populations 
constituted an SPR, because, without that portion, the smaller and more

[[Page 45573]]

sparsely distributed populations in the Atlantic would become 
vulnerable to demographic risks and would be likely to become in danger 
of extinction in the foreseeable future. Accordingly, the giant manta 
ray is proposed to be listed as a threatened species.) In light of 
these flaws, we are currently seeking reconsideration of the district 
court's decision.
    To undertake this analysis, we first identify any portions of the 
species' range that warrant further consideration. The range of a 
species can theoretically be divided into portions in an infinite 
number of ways. To identify only those portions that warrant further 
consideration, we determine whether there is substantial information 
indicating that there are any portions of the species' range: (1) That 
may be ``significant,'' and (2) where the species may be in danger of 
extinction or likely to become so in the foreseeable future. We 
emphasize that answering these questions in the affirmative is not a 
determination that the species is in danger of extinction or likely to 
become so in the foreseeable future throughout a significant portion of 
its range--rather, it is a step in determining whether a more-detailed 
analysis of the issue is required.
    In practice, one key part of identifying portions for further 
analysis may be whether the threats or effects of threats are 
geographically concentrated in some way. If a species is not in danger 
of extinction or likely to become so in the foreseeable future 
throughout all of its range and the threats to the species are 
essentially uniform throughout its range, then the species is not 
likely to be in danger of extinction or likely to become so in the 
foreseeable future in any portion of its range. Moreover, if any 
concentration of threats applies only to portions of the species' range 
that are not ``significant,'' such portions will not warrant further 
consideration.
    If we identify any portions (1) that may be significant and (2) 
where the species may be in danger of extinction or likely to become so 
in the foreseeable future, we engage in a more-detailed analysis to 
determine whether these standards are indeed met. The identification of 
an SPR does not create a presumption, prejudgment, or other 
determination as to whether the species is in danger of extinction or 
likely to become so in the foreseeable future in that identified SPR. 
We must go through a separate analysis to determine whether the species 
is in danger of extinction or likely to become so in the SPR. To make 
that determination, we will use the same standards and methodology that 
we use to determine if a species is in danger of extinction or likely 
to become so in the foreseeable future throughout all of its range.
    Once we have identified portions of the species' range for further 
analysis, we conduct a detailed analysis of the significance of the 
portion and the status of the species in that portion. Depending on the 
biology of the species, its range, and the threats it faces, it might 
be more efficient for us to address the significance question first or 
the status question first. If we address significance first and 
determine that a portion of the range is not ``significant,'' we do not 
need to determine whether the species is in danger of extinction or 
likely to become so in the foreseeable future there; if we address the 
status of the species in portions of its range first and determine that 
the species is not in danger of extinction or likely to become so in a 
portion of its range, we do not need to determine if that portion is 
``significant.''

Kenk's Amphipod Determination of Significant Portion of Its Range

    Applying the process described above, to identify whether any 
portions warrant further consideration, we determine whether there is 
substantial information indicating that (1) particular portions may be 
significant and (2) the species may be in danger of extinction in those 
portions or likely to become so within the foreseeable future.
    To identify portions where the species may be in danger of 
extinction or likely to become so in the foreseeable future, we 
consider whether there is substantial information to indicate that any 
threats or effects of threats are geographically concentrated in any 
portion of the species' range.
    We evaluated the current range of the Kenk's amphipod to determine 
if there are any apparent geographic concentrations of potential 
threats to the species. The risk factors that occur throughout the 
Kenk's amphipod's range include the potential for the effects of small 
population dynamics and the potential for increased ground water 
temperature resulting from the effects of climate change. Habitat loss 
and degradation from poor water quality parameters associated with 
urban runoff, however, is occurring both currently and in the 
foreseeable future solely at the six Washington metropolitan area 
sites. Thus, this one area of the species' range is subject to a type 
of habitat loss and degradation that is not affecting the species 
uniformly throughout its range. We identify the Washington metropolitan 
area sites as a portion where the species may be in danger of 
extinction or likely to become so in the foreseeable future. We next 
consider whether this portion may be significant. We can accomplish 
this by considering the biological or conservation importance of the 
portion.
    While the six Washington metropolitan area sites represent 46 
percent of the Kenk's amphipod's known populations and represent a 
diversity of sites because they occur on one of the two known 
geological formations, the risk is low that, should the species become 
extirpated in all of those locations, that loss would be sufficient to 
cause the remainder of the species to be in danger of extinction or 
likely to become so within the foreseeable future, given the Kenk's 
amphipod would still be present in 54 percent of its range (e.g., the 
seven Virginia sites). The Virginia sites are protected against the 
effects of poor water quality parameters.
    We have identified the Washington metropolitan area sites as a 
portion where the species may be in danger of extinction or likely to 
become so in the foreseeable future. However, there is not substantial 
information to indicate that this portion is significant. Therefore, 
this portion does not warrant further consideration to determine 
whether the species may be in danger of extinction or likely to become 
so in the foreseeable future in a significant portion of its range.
    To identify portions that may be significant, we consider whether 
there is substantial information to indicate that there are any natural 
divisions within the range or other areas that might be of biological 
or conservation importance. We identified the Virginia sites (spring 
seeps on Fort A.P. Hill and the Voorhees Nature Preserve) as a portion 
that may be significant. These sites are separated from the Washington 
metropolitan area sites by 60 mi (97 km). The spring sites in these 
areas occur in the Calvert geologic formation, whereas the Washington 
metropolitan area sites occur in the Wissahickon geologic formation. 
Given the separation between the Washington metropolitan sites and the 
Virginia sites and the inability of the Kenk's amphipod to travel long 
distances, we conclude that there is no genetic exchange between these 
two areas. Therefore, we find that there is substantial information 
that there are natural divisions between the Virginia and Washington 
metropolitan sites and that the Virginia site may be significant. We 
did not find substantial evidence that the Washington metropolitan 
sites are a significant portion because, without that portion, there is 
no reasonable likelihood that the remainder of the species (i.e., those 
at the Virginia

[[Page 45574]]

sites) would be in danger of extinction or likely to become so in the 
foreseeable future, due to the paucity of threats affecting the 
Virginia sites.
    We have identified the Virginia sites as a portion that may be 
significant. We next consider whether the species may be in danger of 
extinction or likely to become so in the foreseeable future in this 
portion. We can accomplish this task by considering whether there is 
substantial information indicating that there are any threats to or 
effects of threats on the species that are concentrated in that 
portion. The Virginia sites are not affected by the same threats we 
identified for the Washington metropolitan area sites (e.g., water 
quality impacts and habitat degradation), because the Virginia sites 
occur in areas where land use is primarily agriculture and forest with 
little impervious surface and spring sites are surrounded by large 
forest buffers that would filter out any potential effects of runoff 
from the agricultural areas. We do not find there is substantial 
information indicating there is a concentration of threats in the 
Virginia portion.
    We have identified that the Virginia portion may be significant. 
However, there is not substantial information to indicate that the 
species may be in danger of extinction or likely to become so in the 
foreseeable future in this portion. Therefore, this portion does not 
warrant further consideration to determine whether the species may be 
in danger of extinction or likely to become so in the foreseeable 
future in a significant portion of its range.
    Our review of the best available scientific and commercial 
information indicates that the Kenk's amphipod is not in danger of 
extinction (endangered) or likely to become endangered within the 
foreseeable future (threatened) throughout all or a significant portion 
of its range. Therefore, we find that listing the Kenk's amphipod as an 
endangered or threatened species under the Act is not warranted at this 
time.
    We request that you submit any new information concerning the 
status of, or threats to, the Kenk's amphipod to our Chesapeake Bay 
Field Office (see ADDRESSES) whenever it becomes available. New 
information will help us monitor the Kenk's amphipod and encourage its 
conservation. If an emergency situation develops for the Kenk's 
amphipod, we will act to provide immediate protection.

References Cited

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

Authors

    The primary authors of this proposed rule are the staff members of 
the Chesapeake Bay Field Office and the Northeast Regional Office.

    Dated: September 7, 2017.
James W. Kurth,
Acting Director, U.S. Fish and Wildlife Service.
[FR Doc. 2017-21052 Filed 9-28-17; 8:45 am]
 BILLING CODE 4333-15-P



                                                                            Federal Register / Vol. 82, No. 188 / Friday, September 29, 2017 / Proposed Rules                                          45551

                                                      cloud, or other file sharing system). For               DEPARTMENT OF THE INTERIOR                            Chesapeake Bay Field Office, 177
                                                      additional submission methods, the full                                                                       Admiral Cochrane Drive, Annapolis,
                                                      EPA public comment policy,                              Fish and Wildlife Service                             MD 21401, by telephone 410–573–4577
                                                      information about CBI or multimedia                                                                           or by facsimile 410–269–0832. Persons
                                                      submissions, and general guidance on                    50 CFR Part 17                                        who use a telecommunications device
                                                      making effective comments, please visit                 [Docket No. FWS–R5–ES–2016–0030;                      for the deaf (TDD) may call the Federal
                                                      https://www2.epa.gov/dockets/                           4500030113]                                           Relay Service at 800–877–8339.
                                                      commenting-epa-dockets.                                                                                       SUPPLEMENTARY INFORMATION:
                                                                                                              RIN 1018–BB50
                                                      FOR FURTHER INFORMATION CONTACT:                                                                              Executive Summary
                                                      Heather Hamilton, Air Planning and                      Endangered and Threatened Wildlife                       Why we need to publish this
                                                      Development Branch, U.S.                                and Plants; Withdrawal of the                         document. Under the Endangered
                                                      Environmental Protection Agency,                        Proposed Rule to List Kenk’s                          Species Act (Act), if a species is
                                                      Region 7, 11201 Renner Boulevard,                       Amphipod                                              determined to be an endangered or
                                                      Lenexa, KS 66219 at (913) 551–7039, or                  AGENCY:   Fish and Wildlife Service,                  threatened species throughout all or a
                                                      by email at hamilton.heather@epa.gov.                   Interior.                                             significant portion of its range, we are
                                                                                                              ACTION: Proposed rule; withdrawal.                    required to promptly publish a proposal
                                                      SUPPLEMENTARY INFORMATION:      This
                                                                                                                                                                    in the Federal Register and make a
                                                      document proposes to take direct final
                                                                                                              SUMMARY:   We, the U.S. Fish and                      determination on our proposal within 1
                                                      action on Iowa’s infrastructure SIP                                                                           year. On September 30, 2016, we issued
                                                                                                              Wildlife Service (Service), withdraw the
                                                      submissions for the 2010 SO2 NAAQS.                     proposed rule to list the Kenk’s                      a proposed rule to add the Kenk’s
                                                      We have published a direct final rule                   amphipod (Stygobromus kenki), an                      amphipod as an endangered species to
                                                      approving the State’s SIP revision (s) in               invertebrate from the District of                     the List of Endangered and Threatened
                                                      the ‘‘Rules and Regulations’’ section of                Columbia, Maryland, and Virginia as an                Wildlife in title 50 of the Code of
                                                      this issue of the Federal Register,                     endangered species under the                          Federal Regulations (50 CFR 17.11(h)).
                                                      because we view this as a                               Endangered Species Act (Act) as                       Our proposal was based on threats due
                                                      noncontroversial action and anticipate                  amended. This withdrawal is based on                  to poor water quality, erosion, and
                                                      no relevant adverse comment. We have                    our conclusion that the threats to the                sedimentation resulting from urban
                                                      explained our reasons for this action in                species as identified in the proposed                 runoff at the Maryland and the District
                                                      the preamble to the direct final rule. A                rule are not as significant as we                     of Columbia locations and the effects of
                                                      detailed Technical Support Document                     previously determined and the                         small population size and climate
                                                      (TSD) is included in this rulemaking                    proposed listing is not warranted. We                 change at all known locations (81 FR
                                                      docket to address the following: A                      base this conclusion on our analysis of               67270). This document withdraws our
                                                      description of Clean Air Act section                    new information concerning the results                proposed rule to list the Kenk’s
                                                      110(a)(1) and (2) infrastructure SIPs; the              of new surveys, current and future                    amphipod as an endangered species
                                                      applicable elements under sections                      threats, and conservation efforts. We                 under the Act because we have now
                                                      110(a)(1) and (2); EPA’s approach to the                find the best scientific and commercial               determined that the threats to the
                                                      review of infrastructure SIP                            data available indicate that the Kenk’s               species are not as significant as we
                                                      submissions, and EPA’s evaluation of                    amphipod does not meet the statutory                  previously determined and additional
                                                      how Iowa addressed the relevant                         definitions of an endangered or                       populations have been discovered in
                                                      elements of sections 110(a)(1) and (2). If              threatened species. Therefore, we are                 Virginia with threats that will be
                                                      we receive no adverse comment, we will                  withdrawing our proposed rule to list                 reduced or eliminated through
                                                      not take further action on this proposed                the Kenk’s amphipod as an endangered                  conservation measures; therefore, listing
                                                      rule. If we receive adverse comment, we                 species.                                              is not warranted.
                                                      will withdraw the direct final rule and                                                                          The basis for our action. Under
                                                                                                              DATES: The proposed rule that
                                                      it will not take effect. We would address                                                                     section 4(a)(1) of the Act, we can
                                                                                                              published on September 30, 2016 (81 FR
                                                      all public comments in any subsequent                                                                         determine that a species is an
                                                                                                              67270), is withdrawn on September 29,
                                                      final rule based on this proposed rule.                                                                       endangered or threatened species based
                                                                                                              2017.
                                                      We do not intend to institute a second                                                                        on any of five factors: (A) The present
                                                                                                              ADDRESSES: The withdrawal of our                      or threatened destruction, modification,
                                                      comment period on this action. Any                      proposed rule and supplementary
                                                      parties interested in commenting must                                                                         or curtailment of its habitat or range; (B)
                                                                                                              documents are available on the Internet               Overutilization for commercial,
                                                      do so at this time. For further                         at http://www.regulations.gov at Docket
                                                      information, please see the information                                                                       recreational, scientific, or educational
                                                                                                              No. FWS–R5–ES–2016–0030, and at                       purposes; (C) Disease or predation; (D)
                                                      provided in the ADDRESSES section of                    https://www.fws.gov/chesapeakebay/.                   The inadequacy of existing regulatory
                                                      this document.                                          Comments and materials we received, as                mechanisms; or (E) Other natural or
                                                      List of Subjects in 40 CFR Part 52                      well as supporting documentation we                   manmade factors affecting its continued
                                                                                                              used in the preparation of this                       existence. We have determined that the
                                                        Environmental protection, Air                         withdrawal, are available for public                  threats to the Kenk’s amphipod are not
                                                      pollution control, Incorporation by                     inspection by appointment, during                     as significant and the species is more
asabaliauskas on DSKBBXCHB2PROD with PROPOSALS




                                                      reference, Intergovernmental relations,                 normal business hours at: U.S. Fish and               widely distributed than we previously
                                                      Sulfur dioxide, Reporting and                           Wildlife Service, Chesapeake Bay Field                determined and that listing is not
                                                      recordkeeping requirements.                             Office, 177 Admiral Cochrane Drive,                   warranted. Therefore, this document
                                                                                                              Annapolis, MD 21401, by telephone                     withdraws our proposed rule to list the
                                                        Dated: September 20, 2017.
                                                                                                              410–573–4577 or by facsimile 410–269–                 Kenk’s amphipod as an endangered
                                                      Cathy Stepp,                                            0832.                                                 species under the Act.
                                                      Acting Regional Administrator, Region 7.                FOR FURTHER INFORMATION CONTACT:                         Peer review and public comment. We
                                                      [FR Doc. 2017–20965 Filed 9–28–17; 8:45 am]             Genevieve LaRouche, Field Supervisor,                 sought comments from five independent
                                                      BILLING CODE 6560–50–P                                  U.S. Fish and Wildlife Service,                       specialists to ensure that our


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                                                      45552                 Federal Register / Vol. 82, No. 188 / Friday, September 29, 2017 / Proposed Rules

                                                      designation is based on scientifically                  Habitat                                               bedrock or clay that may be perching
                                                      sound data, assumptions, and analyses.                    Amphipods of the genus Stygobromus                  the water table, and to detect elevation
                                                      We invited these peer reviewers to                      occur in ground water and ground                      of the water table of three of the
                                                      comment on our listing proposal and                     water-related habitats (e.g., caves, seeps,           Washington metropolitan area seepage
                                                      received comments from all five. We                     small springs, wells, interstices, and,               springs (Burnt Mill Spring #6, East
                                                      also considered all comments and                        rarely, deep ground water lakes). The                 Spring, and Kennedy Street Spring)
                                                      information received during the                         Kenk’s amphipod is found in wooded                    (Staley 2016, pp. 1–46). The surface
                                                      comment period.                                         areas where ground water emerges to                   watershed area of the springs ranged
                                                                                                              form seepage springs (Holsinger 1978, p.              from the largest area of 22,055 square
                                                      Background
                                                                                                              39). More specifically, Culver and Pipan              meters (m2) (237,402 square feet (ft2)
                                                      Previous Federal Actions                                (2014, pp. 22–23) refer to this habitat as            (Holsinger Spring) to the smallest of
                                                        Please refer to the proposed listing                  the hypotelminorheic.                                 2,345 m2 (25,241 ft2) (East Spring)
                                                      rule for the Kenk’s amphipod (81 FR                     Hypotelminorheic is described as                      (Staley 2016, pp. 1–46; Staley 2017,
                                                      67270; September 30, 2016) for a                        habitats: (1) With a perched aquifer fed              pers. comm.).
                                                                                                              by subsurface water that creates a                       However, these watershed boundary
                                                      detailed description of previous Federal
                                                                                                              persistent wet spot; (2) underlain by a               calculations do not accurately reflect the
                                                      actions concerning this species.
                                                        On June 7, 2017, the Department of                    clay or other impermeable layer                       extent and magnitude of the subsurface
                                                      Defense, U.S. Army Garrison, Fort A.P.                  typically 5 to 50 centimeters (cm) (2 to              ground water flow to the springs, since
                                                      Hill, finalized their revised Integrated                20 in) below the surface; and (3) rich in             fracture zones in the bedrock underlying
                                                      Natural Resources Management Plan                       organic matter compared with other                    the saturated zones may extend a
                                                      (INRMP) to include conservation                         aquatic subterranean habitats. The water              spring’s ground water source beyond the
                                                      measures for the Kenk’s amphipod (Fort                  supplying the springs infiltrates to the              surface watershed boundaries. The
                                                      A.P. Hill 2017, pp. 5, 8, 8–56, 9–1–                    ground water from precipitation and                   saturated zones supplying water to these
                                                      9–4, 9–31–9–34; Andersen 2017a, pers.                   runoff into the catchment (e.g., recharge             springs appear to extend to a depth of
                                                      comm.; Andersen 2017b pers. comm.).                     or drainage) areas. The water exits these             10 meters (m) (32.8 ft) or more at
                                                                                                              habitats at seepage springs. The shading,             locations near each of these springs
                                                      Species Description                                                                                           (Staley 2016, pp. 1–46); they are
                                                                                                              hydrology, and organic matter found in
                                                         Please refer to the proposed listing                 these woodlands are considered                        underlain by bedrock or dense saprolite
                                                      rule for the Kenk’s amphipod (81 FR                     important factors in maintaining                      (material derived from weathered
                                                      67270; September 30, 2016) for a                        suitable habitat (i.e., for feeding,                  bedrock). This finding suggests that at
                                                      detailed summary of species’                            breeding, and sheltering) for the species.            some locations the ground water source
                                                      information; however, we note key                         Springs known to currently support                  for these seepage springs may not be as
                                                      pieces of updated information below.                    the Kenk’s amphipod are found in                      shallow as described by Culver and
                                                         The Kenk’s amphipod (Stygobromus                     forested areas with moderate to steep                 Chestnut (2006, p. 2), and could be
                                                      kenki) is a moderately small                            slopes, adjacent to streams, and                      influenced by a larger area than the
                                                      subterranean crustacean, growing to a                   overlying the Wissahickon geologic                    surface catchment area. This finding
                                                      maximum length of approximately 0.22                    formation in the Piedmont of Maryland                 may also mean that the Kenk’s
                                                      inches (in) (5.5 millimeters (mm)), that                and the District of Columbia and in the               amphipod could be present at times in
                                                      can co-occur with other amphipods,                      Calvert formation just above the                      deeper subsurface water or in fractured
                                                      such as the Potomac ground water                        Nanjemoy formation in the upper                       portions of bedrock.
                                                      amphipod (S. tenuis potomacus), Hay’s                   Coastal Plain of Virginia. The Kenk’s                 Distribution and Relative Abundance
                                                      spring amphipod (S. hayi), Tidewater                    amphipod has been found in the dead
                                                      amphipod (S. indentatus), and                           leaves or fine sediment submerged in                  Current Known Range and Distribution
                                                      Rappahannock spring amphipod (S.                        the waters of its seepage spring outflows                The Kenk’s amphipod has been
                                                      foliatus). Subterranean species like the                (Holsinger 1978, p. 130). The species                 documented from a total of 13 seepage
                                                      Kenk’s amphipod may live for 4 to 6                     will move between the surface and                     spring sites: East Spring, Holsinger
                                                      years, or even longer (Foltz and Jepson                 subterranean portions of the spring                   Spring, Sherrill Drive Spring and
                                                      2009, p. 2; Culver 2016, pers. comm.).                  habitat, but it is unknown when or how                Kennedy Street Spring in Rock Creek
                                                         Accurate identification of the Kenk’s                often that movement occurs (Kavanaugh                 Park, managed by the National Park
                                                      amphipod can occur only when a                          2009, p. 3).                                          Service (NPS), in the District of
                                                      specimen is removed from the seepage                      Our previous understanding of                       Columbia; Coquelin Run Spring
                                                      spring site (hereafter referred                         seepage springs drainage areas was that               (privately owned) and Burnt Mill Spring
                                                      interchangeably as seepage spring, seep,                these springs typically drain an area of              #6 (county owned) in Montgomery
                                                      spring, or site depending upon the                      less than 10,000 square meters (2.5 acres             County, MD; Upper Mill #2, Mill #4,
                                                      reference), and preserved in alcohol or                 (ac); 1 hectare (ha)). The Service                    Mill #5, Mill Creek #56, Mill Creek #58,
                                                      other fixing agent for identification by a              contracted with the Maryland                          and Mount Creek #2 on the U.S. Army
                                                      species expert who removes legs and                     Geological Survey to delineate the                    Garrison’s Fort A.P. Hill, in Caroline
                                                      other appendages from the specimen for                  recharge areas of the six Kenk’s                      County, VA; and Voorhees Nature
                                                      microscopic examination. This                           amphipod’s seepage spring sites in                    Preserve (owned by The Nature
asabaliauskas on DSKBBXCHB2PROD with PROPOSALS




                                                      identification method is the best                       Maryland and the District of Columbia                 Conservancy (TNC)) in Westmoreland
                                                      scientific method available. Because the                (Burnt Mill Spring #6, East Spring,                   County, VA (see figure 1). While we
                                                      laboratory identification results in                    Kennedy Street Spring, Sherrill Drive                 focus our analysis on the Kenk’s
                                                      mortality, and the species co-occurs in                 Spring, Coquelin Run Spring, and                      amphipod’s known sites, we consider it
                                                      at least one site with the federally listed             Holsinger Spring) (Staley 2016, pp. 1–                likely that additional springs supporting
                                                      Hay’s spring amphipod, the Service has                  46; Staley 2017, pers. comm.). In                     the species could be found in Virginia
                                                      been judicious in limiting the frequency                addition, the Maryland Geological                     because a survey of only a small portion
                                                      and number of specimens removed from                    Survey conducted electrical resistivity               of the potential suitable habitat outside
                                                      known sites.                                            surveying to determine elevations of                  of Fort A.P. Hill resulted in the


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                                                                            Federal Register / Vol. 82, No. 188 / Friday, September 29, 2017 / Proposed Rules                                       45553

                                                      discovery of the Voorhees Nature                        George, and Westmoreland) were                        on publicly owned lands (129 springs in
                                                      Preserve site. Surveyors had access to                  surveyed. Two new sites were found on                 5 counties (Anne Arundel, Prince
                                                      only publicly owned lands; potential                    Fort A.P. Hill in 2017 (Mill Creek #56                George’s, Charles, Calvert, and St.
                                                      suitable habitat also occurs on private                 and #58) with more intensive surveys.                 Mary’s) in 2017.
                                                      land. In Virginia, 77 springs inside Fort               In Maryland, no new Kenk’s amphipod                   BILLING CODE 4333–15–P
                                                      A.P. Hill and 22 springs outside of Fort                sites were located during more
                                                      A.P. Hill in 3 counties (Caroline, King                 widespread surveys of suitable habitat
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                                                      45554                 Federal Register / Vol. 82, No. 188 / Friday, September 29, 2017 / Proposed Rules


                                                                                                                                Montgomery County




                                                                                                                                                                                               N
                                                                                                                                       0           5         10                   20
                                                                                                                                                                                       Miles   A
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                                                                Figure 1. Distribution of the 13 known Kenk' s amphipod seep sites in 2017. Due to
                                                                scale, some sites are obscured by the symbols of others.

                                                      BILLING CODE 4333–15–C
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                                                                            Federal Register / Vol. 82, No. 188 / Friday, September 29, 2017 / Proposed Rules                                        45555

                                                      Relative Abundance                                        Although specimens were not                         (Niemiller et al. 2016, pp. 1–7) for
                                                        There are no reliable total population                collected and identified to the species               several amphipod species, including the
                                                      numbers for Kenk’s amphipod sites due                   level, Stygobromus sp., including some                Kenk’s amphipod, to determine
                                                      to sampling difficulties (e.g., flow                    in the right size range for the Kenk’s                potential presence of the species in
                                                      conditions) and the lack of information                 amphipod, were observed during site                   springs in the Rock Creek watershed.
                                                      on the portion of the population that                   reconnaissance visits between 2004 and
                                                                                                                                                                       Individual Kenk’s amphipods were
                                                      may remain in the springs’ ground water                 2012 in several of the known Kenk’s
                                                                                                                                                                    collected from Fort A.P. Hill for DNA
                                                      supply (Feller 2005, p. 10). However,                   amphipod Washington metropolitan
                                                                                                              area spring habitats (Yeaman 2012, pers.              sequencing since no individuals could
                                                      because surveying in the Washington                                                                           be found in the Washington
                                                      metropolitan area has been conducted                    comm.). In addition, visual inspections
                                                                                                              during this same time period indicated                metropolitan area at the time (spring/
                                                      using systematic and consistent                                                                               summer 2016) comparative samples
                                                      methodology over many years, often by                   that most of the sites continued to
                                                                                                              appear to be suitable habitat, leading us             were required for the study (Niemiller et
                                                      the same individuals, the numbers of
                                                      Kenk’s amphipod individuals observed                    to conclude that the Kenk’s amphipod                  al. 2016, p. 2). Water tested in the
                                                      and the number of conducted surveys                     was extant at least at Burnt Mill Spring              Washington metropolitan area did not
                                                      required to find the species are                        #6, Kennedy Street Spring, and East                   detect the Kenk’s amphipod eDNA
                                                      considered to be the best available data                Spring (Feller 2015, pers. comm.).                    (Niemiller et al. 2016, p. 6). However,
                                                      and provide a reliable indication of the                However, actual identifications of                    we cannot conclude that Kenk’s
                                                      species’ relative abundance.                            specimens collected during surveys                    amphipods were absent at those sites.
                                                        The species is typically found in                     conducted in 2015 and 2016 (Feller                    The abundance of the Kenk’s amphipod
                                                      small numbers and then only when                        2016b, pers. comm.) did not result in                 may not be high enough in the springs
                                                      ground water levels are high and springs                Kenk’s amphipod being found (see                      to amplify DNA in the water samples, or
                                                      are flowing freely, conditions that cause               below).                                               the DNA from the Fort A.P. Hill animals
                                                      the Kenk’s amphipod to be transported                     Prior to 2015, all Kenk’s amphipod                  may be different enough from the
                                                      to the surface. These conditions                        specimens were discovered on the first                Washington metropolitan area animals
                                                      typically occur during the spring                       or second survey conducted at all                     to not be detected in the Rock Creek
                                                      season, except during especially dry                    known sites. In 2015 and 2016, the                    water samples. Therefore, it is unclear
                                                      years. Given the small size of the                      Kenk’s amphipod was confirmed at only                 without additional survey effort
                                                      shallow ground water aquifers                           one of the Washington metropolitan                    whether the species may be extirpated
                                                      supporting the sites occupied by this                   area spring sites, Coquelin Run Spring,               at Burnt Mill Spring #6, Kennedy Street
                                                      species, and the known characteristics                  despite all of the sites being sampled                Spring, and East Spring, although the
                                                      of subterranean invertebrates, it is                    multiple times during these 2 years (see
                                                                                                                                                                    best available data show a decrease in
                                                      probable that each of the Kenk’s                        table 1 below) (Feller 2016b, pers.
                                                                                                                                                                    observed individuals at these sites (see
                                                      amphipod populations has always been                    comm.; Feller 2016c, pers. comm.).
                                                      small (Hutchins and Culver 2008,                        Additionally, an environmental DNA                    table 1).
                                                                                                                                                                    BILLING CODE 4333–15–P
                                                      pp. 3–6).                                               (eDNA) study was conducted in 2016
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                                                                                                                                                                                                                                      45556
                                               Table 1. S                  Its for the Kenk'               hi nod
                                                                                      1960s                        1990s                               2000 to2006                                           Current
18:02 Sep 28, 2017




                                                 Site N arne (owner)
                                                                           1966       1967       1968       1994           1995   2000       2001        2003     2004      2005      2006     2014      2015      2016      2017




                                                                                                                                                                                                                                      Federal Register / Vol. 82, No. 188 / Friday, September 29, 2017 / Proposed Rules
                                                                           1 of 1     5 of 5     1 of 1    0 of2*      0 of 1*    0 of 1    2 of3                                                        0 of3     0 of4
                                                  East Spring (NPS)                                                                                      N/A       N/A      N/A       N/A       N/A                           N/A
                                                                            (3)     (3 to 21)     (1)                                      (1 and 2)
                                                                                      1 of 1                                                                                                             0 of3
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                                                Holsinger Spring (NPS)      N/A                   N/A       N/A            N/A    N/A        N/A        0 of 1     N/A      N/A       N/A       N/A                N/A        N/A
                                                                                       (24)
                                                 Sherrill Drive Spring                                     0 of 1      1 of2      0 of I     1 of2      0 of 1                                           0 of3     0 of4
                                                                            N/A        N/A        N/A                                                              N/A      N/A       N/A       N/A                           N/A
                                                         (NPS)                                                             (3)                (1)
PO 00000




                                                Kennedy Street Spring                                                                        1 of2      0 of 1                                                     0 of4
                                                                            N/A        N/A        N/A       N/A            N/A    N/A                              N/A      N/A       N/A       N/A       N/A                 N/A
                                                      (NPS)                                                                                   (1)
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                                                 Coquelin Run Spring                                                                                              1 of 1    1 of 1                                 1 of4
                                                                            N/A        N/A        N/A       N/A            N/A    N/A        N/A         N/A                          N/A       N/A       N/A                 N/A
                                                      (Private)                                                                                                    (2)       (2)                                    (1)
                                                 Burnt Mill Spring #6                                                                                                       1 of 1   0 of 1              0 of3     0 of6     0 of2
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                                                                            N/A        N/A        N/A       N/A            N/A    N/A        N/A         N/A       N/A                          N/A
                                                    (County Park)                                                                                                            (5)
                                                 Upper Mill Creek #2                                                                                                                           1 of 4                        1 of 1
                                                                            N/A        N/A        N/A       N/A            N/A    N/A        N/A         N/A       N/A      N/A       N/A                 N/A      N/A
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                                                       (DoD)                                                                                                                                     (1)                           (6)
                                                                                                                                                                                               1 of6                         1 of 1
                                                 Mill Creek #4 (DoD)        N/A        N/A        N/A       N/A            N/A    N/A        N/A         N/A       N/A      N/A       N/A                 N/A      N/A
                                                                                                                                                                                                 (1)                           (1)
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                                                                                                                                                                                               2 of7
                                                 Mill Creek #5 (DoD)        N/A        N/A        N/A       N/A            N/A    N/A        N/A         N/A       N/A      N/A       N/A                 N/A      N/A        N/A
                                                                                                                                                                                                 (4)
                                                                                                                                                                                                                             1 of 1
                                                Mill Creek #56 (DoD)        N/A        N/A        N/A       N/A            N/A    N/A        N/A         N/A       N/A      N/A       N/A       N/A       N/A      N/A
                                                                                                                                                                                                                              (16)
                                                                                                                                                                                                                             1 of 1
                                                Mill Creek #59 (DoD)        N/A        N/A        N/A       N/A            N/A    N/A        N/A         N/A       N/A      N/A       N/A       N/A       N/A      N/A
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                                                                                                                                                                                                                               (8)
                                                                                                                                                                                               2 of6                         1 of 1
                                                Mount Creek #2 (DoD)        N/A        N/A        N/A       N/A            N/A    N/A        N/A         N/A       N/A      N/A       N/A                 N/A      N/A
                                                                                                                                                                                                 (1)                           (4)

                                                   Voorhees Nature                                                                                                                                                           1 of 1
                                                                            N/A        N/A        N/A       N/A            N/A    N/A        N/A         N/A       N/A      N/A       N/A       N/A       N/A      N/A
                                                   Preserve (TNC)                                                                                                                                                              (1)
                                               *Individuals in the size range of the Kenk's amphipod were observed but not collected for verification (Feller 1997). The first pair of numbers (e.g., "1 of2") indicates the number
                                               of site visits where the species was detected compared to the total number of site visits that year. The numbers in parenthesis"()" are the total number of Kenk's amp hi pods
                                               collected. TheN/A indicates no surveys were conducted at the site in that year.




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                                                                            Federal Register / Vol. 82, No. 188 / Friday, September 29, 2017 / Proposed Rules                                         45557

                                                      Summary of Comments and                                 contained insufficient discussion of                  in water temperature due to a potential
                                                      Recommendations                                         increased conductivity (salinity) and                 increase of uptake of pollutants in
                                                        In the proposed rule published on                     that the risk from potential sewage                   concert with increased metabolic
                                                      September 30, 2016 (81 FR 67270), we                    leakage may have been underestimated,                 activities.’’
                                                                                                              in part because we did not consider                      Our Response: We have included
                                                      requested that all interested parties
                                                                                                              that, in addition to increasing                       additional language in the final
                                                      submit written comments on the
                                                                                                              conductivity and nutrient loading,                    determination indicating the effects of
                                                      proposal by November 29, 2016. We
                                                                                                              sewage leaks include ‘‘pharmaceuticals,               increased water temperature on the
                                                      also contacted appropriate Federal and
                                                                                                              personal care products, and home-use                  uptake and metabolism of pollutants—
                                                      State agencies, scientific experts and
                                                                                                              chemicals that even at very low levels                see Factor E, Effects of Climate Change.
                                                      organizations, and other interested                                                                              (5) Comment: Two peer reviewers
                                                                                                              can disrupt endocrine and immune
                                                      parties and invited them to comment on                                                                        comment on the threat of small
                                                                                                              systems.’’ Another peer reviewer
                                                      the proposal. A newspaper notice                                                                              population dynamics and indicate that
                                                                                                              provided additional references on
                                                      inviting general public comment was                                                                           the proposed rule was missing a
                                                                                                              several studies in the Rock Creek
                                                      published in USA Today on October 5,                                                                          discussion about metapopulation
                                                                                                              watershed showing the occurrence of
                                                      2016. We did not receive any requests                                                                         structure. One reviewer states that the
                                                                                                              pesticides, organic wastewater
                                                      for a public hearing.                                                                                         assumption of small population size and
                                                                                                              compounds, and metals in surface water
                                                        During the 60-day public comment                                                                            genetic isolation among Kenk’s
                                                                                                              and bed sediment that may be related to
                                                      period (September 30, 2016, to                                                                                amphipod populations is untested and
                                                                                                              the degradation of habitat (Anderson et
                                                      November 29, 2016), we received public                  al. 2002; Miller et al. 2006; Koterba et              that some analyses of DNA sequence
                                                      comments from 10 individuals or                         al. 2010; Phelan and Miller 2010).                    information will shed light on the
                                                      organizations. Of these, seven were from                   Our Response: See the Factor A                     species’ metapopulation structure and
                                                      individuals, including five peer                        section below addressing Water Quality/               the potential for migration of
                                                      reviewers, one was from a Federal                       Quantity Degradation Due to Chronic                   individuals among sites. The second
                                                      agency, and two were from                               Pollution of Urban/Suburban Runoff for                reviewer states that many animal and
                                                      nongovernmental organizations (NGOs).                   added discussion regarding the effects                plant species exist in low population
                                                      All the commenters were generally                       of conductivity and the presence of                   numbers, but possess adequate levels of
                                                      supportive of the proposed listing, but                 pharmaceuticals, personal care                        genetic diversity to maintain their
                                                      only 8 of the 10 provided substantive                   products, and home-use chemicals from                 populations. This reviewer also states
                                                      information. All substantive information                sewer leaks. Additional references on                 that because the species’ ability to move
                                                      provided during the comment period is                   several studies in the Rock Creek                     between sites is considered low or
                                                      summarized below and has either been                    watershed showing the occurrence of                   perhaps nonexistent in the opinion of
                                                      incorporated directly into this final                   pesticides, organic wastewater                        species experts, as discussed in the
                                                      determination or is addressed in the                    compounds, and metals in surface water                proposed rule, the Kenk’s amphipod
                                                      response to comments below.                             and bed sediment that may be related to               may represent isolated populations with
                                                      Comments From Peer Reviewers                            the degradation of habitat were also                  little potential for either recolonization
                                                                                                              added to the final determination.                     or colonization of suitable habitat.
                                                        (1) Comment: Two peer reviewers                          (3) Comment: One peer reviewer                        Our Response: While we agree that
                                                      agree with us that few if any studies                   states that existing regulatory                       the assumption of small population size
                                                      exist that specifically examine critical                mechanisms are inadequate to address                  and genetic isolation among Kenk’s
                                                      thresholds for flow, water permanence,                  issues related to Factor A and that this              amphipod populations is untested, the
                                                      nutrient or contaminant loading, or the                 is largely because many of the recharge               best available data indicate that the
                                                      tolerance of close relatives of the Kenk’s              areas for the seepage springs in the                  effect of small population dynamics
                                                      amphipod to pollutants and toxicants.                   Washington metropolitan area extend                   may be contributing to the species’
                                                      One of the reviewers suggests that                      outside the jurisdiction of Federal                   viability, particularly in the Washington
                                                      additional studies conducted on the                     agencies.                                             metropolitan area. Additionally, it is
                                                      basic biology and population size of the                   Our Response: Many of these seepage                difficult to study the DNA sequences of
                                                      Kenk’s amphipod would be helpful,                       springs have recharge areas extending                 Kenk’s amphipods at any sites other
                                                      noting that the more common and                         into private lands where Federal                      than Fort A.P. Hill sites, given the
                                                      widespread Potomac ground water                         agencies have little jurisdiction. While              paucity of individuals collected and the
                                                      amphipod could be used as a surrogate                   the existing regulatory mechanisms do                 preservation method used to store the
                                                      species.                                                not fully ameliorate the stressors                    collected individuals.
                                                        Our Response: The Act requires that                   affecting the species’ sites in the
                                                      the Service make listing determinations                 Washington metropolitan area, we have                 Comments From the Public
                                                      based solely on the best scientific and                 concluded that those stressors do not                   (6) Comment: One commenter
                                                      commercial data available. When we                      rise to the level of the species being                considers the discussion of stressors
                                                      published the proposed rule on                          warranted for listing as an endangered                incomplete because it does not include
                                                      September 30, 2016 (81 FR 67270), we                    or threatened species (See the Summary                the ‘‘mounting circumstantial evidence
                                                      relied on the best quantitative and                     of Factor A and Kenk’s Amphipod                       that seep-inhabiting Stygobromus are
                                                      qualitative data available at that time to              Determination of Status Throughout All                susceptible to changes in the forest
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                                                      assess the Kenk’s amphipod’s status.                    of Its Range sections below).                         canopy and understory.’’ This
                                                        (2) Comment: One peer reviewer                           (4) Comment: One peer reviewer                     commenter also suggests that the
                                                      states that the proposed listing                        states that the proposed rule                         species’ very shallow ground water sites
                                                      underestimates the potential effect due                 underestimates the potential threat of                are in some ways more connected to the
                                                      to urbanization stress for the                          warming of the shallow ground water                   forest floor than to base-level streams.
                                                      Washington metropolitan area                            habitats supporting this amphipod                       Our Response: We have added an
                                                      populations, given the species’ isolated                ‘‘because the impacts of pollutants on                assessment of potential activities that
                                                      populations. More specifically, this                    Kenk’s amphipod may likely be                         could change the forest canopy and
                                                      reviewer indicates that our analysis                    compounded by even a slight increase                  understory in Factor A under Other


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                                                      45558                 Federal Register / Vol. 82, No. 188 / Friday, September 29, 2017 / Proposed Rules

                                                      Habitat Considerations. This issue was                  prevent designated trails from being                  Kenk’s amphipod. These protocols are
                                                      not mentioned in the proposed rule                      built in areas that could affect the Hay’s            followed to minimize effects to the
                                                      because it had not been identified as                   Spring or Kenk’s amphipods.                           species. Because the occurrence of
                                                      occurring at any of the known Kenk’s                      (10) Comment: One commenter raises                  subterranean invertebrates at spring
                                                      amphipod sites.                                         concerns with the Service’s and NPS’s                 emergence sites likely represents only a
                                                         (7) Comment: One commenter,                          compliance with section 7 of the Act                  portion of the actual underground
                                                      familiar with the management of Fort                    and with NPS’s implementation of Rock                 population, the Service has considered
                                                      A.P. Hill, provided additional                          Creek Enabling Legislation.                           the collecting procedures (Feller 1997,
                                                      information about the identity of two                     Our Response: The Service and NPS                   p. 2) to be nondetrimental to the
                                                      springs, the level of stressors/threats to              have met our respective section 7                     populations.
                                                      the Kenk’s amphipod at the installation,                regulatory obligations for the Hay’s
                                                      and how the species would be                            Spring and Kenk’s amphipods (see the                  Summary of Changes From the
                                                      addressed under the Sikes Act.                          Water Quality/Quantity Degradation                    Proposed Rule
                                                         Our Response: We have revised the                    Due to Chronic Pollution of Urban/                       Based upon our review of the public
                                                      final determination, as appropriate, to                 Suburban Runoff section of the                        comments, comments from other
                                                      reflect these comments. The Service                     proposed rule (81 FR 67270, September                 Federal and State agencies, peer review
                                                      appreciates the cooperation of the Army                 30, 2016) and the Candidate Notices of                comments, and new relevant
                                                      and looks forward to working with them                  Review (75 FR 69222, November 10,                     information that has become available
                                                      to protect this species and its habitat on              2010; 76 FR 66370, October 26, 2011; 77               since the publication of the proposal,
                                                      Fort A.P. Hill.                                         FR 69994, November 21, 2012; 78 FR                    we have reevaluated our proposed
                                                         (8) Comment: One commenter                           70104, November 22, 2013; 79 FR                       listing rule and made changes as
                                                      indicates that a number of projects pose                72450, December 5, 2014; 80 FR 80584,                 appropriate. This document differs from
                                                      threats to the species such that the                    December 24, 2015).                                   the proposal in the following ways:
                                                      species warrants listing and that                         (11) Comment: One commenter                            (1) Based on our analyses of the
                                                      reinitiation of conferencing under                      indicates that the proposed rule should               potential threats to the Kenk’s
                                                      section 7(a)(4) of the Act is appropriate.              more fully discuss agencies’ failure to               amphipod and additional survey data
                                                      This commenter provides multiple                        clean up water pollution in the Rock                  obtained in 2017, we have determined
                                                      documents supporting their position;                    Creek watershed, specifically citing                  that the species no longer meets the
                                                      however, only one document was new                      NPS’s use of pesticides and the District              definition of a threatened or an
                                                      information—the final report on the                     of Columbia government’s and NPS’s                    endangered species. This document
                                                      Stygobromus eDNA study.                                 use of road salt in the watershed.                    withdraws our proposed rule as
                                                         Our Response: Section 7 consultations                  Our Response: We analyzed the use of                published on September 30, 2016 (81 FR
                                                      under the Act are outside the scope of                  pesticides in Rock Creek Park and                     67270).
                                                      this final listing determination.                       determined that dimilin, which can be                    (2) We have added a discussion of
                                                      However, to the extent that it is relevant              toxic to crustaceans, is not being used               Ongoing and Future Conservation
                                                      here, we note that we completed the                     in the park. Other pesticides that may be             Efforts below. Fort A.P. Hill’s INRMP
                                                      appropriate level of consultation on the                toxic to amphipods are used on the                    (Fort A.P. Hill 2017, entire) is discussed
                                                      projects and concluded that there would                 Rock Creek Park Golf Course, but                      in this section.
                                                      be no effect to the Kenk’s amphipod or                  because the golf course is not within the                (3) We have incorporated: (a) A more
                                                      its habitat. All of the commenter’s                     recharge areas for the seepage springs                detailed impervious cover analysis
                                                      supporting information, with the                        known to support the Kenk’s amphipod,                 using the Watershed Boundary Dataset
                                                      exception of their proposed rule                        this activity is not considered a stressor            (U.S. Geological Survey (USGS) 2014a,
                                                      comment letter and the new eDNA                         for the species. The NPS has limited or               entire) and the 2011 National Land
                                                      report referenced above, were included                  discontinued the use of road salts at                 Cover Dataset (USGS 2014b, entire); (b)
                                                      in our earlier consultations. Our                       some locations, including Sherrill Drive,             reference to an eDNA study conducted
                                                      subsequent review of the eDNA report,                   Ross Drive, Morrow Drive, and Ridge                   in 2016 (Niemiller et al. 2016, pp. 1–7);
                                                      as part of the analysis for this final                  Road, where this practice might be a                  (c) reference to a hydrogeology electrical
                                                      listing determination, finds that the                   problem for the Hay’s Spring or Kenk’s                resistivity study conducted in 2016 that
                                                      report provides no evidence to support                  amphipods (Bartolomeo 2017, pers.                     improves our understanding of the
                                                      the commenter’s position because no                     comm.). The use of road salts may affect              surface catchment area and the
                                                      Kenk’s amphipod DNA was detected in                     one or more locations and we have                     subsurface area surrounding the Kenk’s
                                                      any of the action areas related to the                  added additional discussion on this                   amphipod sites (Staley 2016, pp. 1–46);
                                                      consultations.                                          topic in the final listing determination              (d) water quality sampling results
                                                         (9) Comment: One commenter states                    (see Factor A, Water Quality/Quantity                 conducted in 2016 and 2017 by the
                                                      that susceptibility of Kenk’s amphipod                  Degradation Due to Chronic Pollution of               Service; and (e) results from suitable
                                                      sites to destruction by hikers on social                Urban/Suburban Runoff).                               habitat surveys conducted in 2017.
                                                      trails near the seeps should be more                      (12) Comment: One commenter
                                                      fully discussed. The commenter also                     questioned the rationale behind being                 Ongoing and Future Conservation
                                                      indicated that the NPS has taken no                     able to collect up to 10 specimens for                Efforts
                                                      affirmative, proactive steps to divert                  scientific collection.                                  Below we review conservation efforts
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                                                      hikers and other recreational traffic                     Our Response: The majority of                       for the Kenk’s amphipod, including
                                                      away from these seeps.                                  amphipods collected at sites are the                  those in Fort A.P. Hill’s recently revised
                                                         Our Response: There is no evidence                   more common species, S. tenuis.                       INRMP. In our proposed rule, we
                                                      that the occasional use of social trails                However, the Service has allowed larger               described the conservation efforts that
                                                      has had any effect on the Kenk’s                        numbers to be collected during 2016                   are already occurring or were planned to
                                                      amphipod or caused any disturbance to                   surveys in the Washington metropolitan                occur in the Washington metropolitan
                                                      the seep habitat. While the NPS has not                 area because none of the specimens of                 area; and there are no changes to this
                                                      found a practical way to close most                     appropriate size collected in the 2015                information based on peer review and
                                                      social trails, they have taken steps to                 surveys have been identified to be the                public comments. We have also


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                                                                            Federal Register / Vol. 82, No. 188 / Friday, September 29, 2017 / Proposed Rules                                           45559

                                                      completed an analysis of the newly                      to 2.43 ha) (average buffer area is                   surface and ditch stabilization. These
                                                      initiated conservation efforts at Fort                  approximately 2.3 acres (0.93 ha)).                   types of maintenance activities occur as
                                                      A.P. Hill pursuant to our Policy for                    These buffers are also complemented by                needed on these already established
                                                      Evaluation of Conservation Efforts                      protections afforded to each site by                  trails within the buffers to ensure safe
                                                      When Making Listing Decisions (PECE)                    adjacent wetlands and the undulating                  access to military lands. Stabilization
                                                      (68 FR 15100, March 28, 2003).                          terrain of the surrounding landscape                  activities are the only type of
                                                         Based on information provided in our                 that provide additional habitat                       maintenance activity that requires the
                                                      proposed rule, Fort A.P. Hill revised its               protections from disturbance activities.              application of erosion and sediment
                                                      existing INRMP in 2017 to include the                   Within the buffers, land-disturbing                   control procedures. Where stabilization
                                                      Kenk’s amphipod and established                         activities (e.g., construction, land                  of trails is required within Kenk’s
                                                      conservation measures (i.e., expanded                   management (including pesticide                       amphipod buffers, stabilization efforts
                                                      buffer areas) to address the identified                 application)) and ground-water-                       shall be in compliance with Virginia
                                                      threats (Fort A.P. Hill 2017, p. 9–32).                 disturbing activities (e.g., drilling wells)          Erosion and Sediment Control
                                                      The INRMP includes the most recent                      are prohibited unless Fort A.P. Hill                  procedures (VDEQ 1992). Of the six
                                                      Kenk’s amphipod survey information                      coordinates with the Service to                       known Kenk’s amphipod sites, only two
                                                      and establishes conservation areas that                 determine ways to minimize impacts to                 have trails within them, and these trails
                                                      will be managed with limited surface                    the Kenk’s amphipod (Fort A.P. Hill                   constitute only 1.8 mi (2.89 km) (0.3
                                                      disturbance and avoidance buffers (Fort                 2017, pp. 9–32 to 9–33).                              percent of total trail miles), half of
                                                      A.P. Hill 2017, pp. 9–32 to 9–34), as                      All mounted military training                      which is closed to through traffic. Trail
                                                      further described below. In addition,                   maneuvers (i.e., those using tracked and              maintenance activities are anticipated to
                                                      Fort A.P. Hill has agreed to include                    wheeled vehicles) are restricted to                   occur on trails within Kenk’s amphipod
                                                      expanded buffer areas around any future                 established roads and designated open                 buffers less than once every 5 years.
                                                      new locations of the species. The                       areas throughout the installation, and all            Large-scale trail improvements (e.g.,
                                                      INRMP will be revised as part of the                    tactical and nontactical vehicles must                culvert installation/replacement, trail
                                                      next annual review process to reflect                   also use established stream crossings.                widening) within Kenk’s amphipod
                                                      that continued implementation of                        Dismounted military maneuvers (i.e.,                  buffers would require discussion with
                                                      buffers would be subject to mission                     those on foot) occur throughout the                   the Service to minimize impacts to the
                                                      requirements (Andersen 2017b, pers.                     installation, including the training areas            species and its habitat (Fort A.P. Hill
                                                      comm.). The INRMP is comprehensively                    where Kenk’s amphipod seeps occur.                    2017, pp. 9–32 to–9–33).
                                                      updated every 5 years, with review and                  Kenk’s amphipod seeps occur in the                       At Fort A.P. Hill, forest management
                                                      minor amendments occurring annually.                    most undeveloped portion of the                       activities, including timber harvest and
                                                      More significant updates will occur if                  installation surrounded by an                         controlled burns, occur throughout
                                                      and when new biological information                     abundance of natural habitats                         much of the facility, including areas
                                                      becomes available or if Fort A.P. Hill’s                characterized by rolling and often steep              along Mill Creek and Mount Creek
                                                      mission requirements change. The                        terrain. The seeps themselves where the               supporting Kenk’s amphipod sites. No
                                                      expanded buffer areas for the Kenk’s                    Kenk’s amphipod has been found                        land-disturbance activities such as
                                                      amphipod designated in the INRMP are                    represent an exceptionally small                      forest management or vegetation/habitat
                                                      designed to maintain the species’                       fraction (0.00005 percent) of the training            management will be conducted within
                                                      redundancy, resiliency, and                             lands and are typically less often used               established buffers without discussion
                                                      representation on Fort A.P. Hill, thus                  for military training than other areas                with the Service. The seeps also occur
                                                      significantly contributing to the species’              due to their isolated nature. Soldiers are            in the non-live-fire portion of the base,
                                                      viability (see table 3 and the Cumulative               precluded from bivouacking (i.e.,                     meaning that wildfires are significantly
                                                      Effects section below).                                 camping) or digging within the buffer                 less of a threat to the species or its
                                                         Fort A.P. Hill consists of 76,000 acres              areas. Maps denoting the location of                  habitat because no live rounds are used
                                                      (30,756 ha) of land with 65,000 acres                   Kenk’s amphipod buffer areas are                      in those areas that can serve as ignition
                                                      (26,304 ha) of forest (Fort A.P. Hill 2017,             provided to Range Operations for the                  sources (Applegate 2016, pers. comm.).
                                                      p. 2–1). The mission of the base is to                  scheduling and coordination of training               Additionally, when prescribed burns are
                                                      ensure soldiers are fully prepared to                   activities in these areas. No military                used in areas adjacent to the seeps, Fort
                                                      fight and win the Nation’s wars (Fort                   training operations occur in Kenk’s                   A.P. Hill will keep fire out of the buffers
                                                      A.P. Hill 2017, p. 12–2). Currently, 98                 amphipod seep areas or buffers that use               to the extent practicable. If a fire entered
                                                      percent of the base is undeveloped                      petroleum operations (e.g., transport,                a buffer, Fort A.P. Hill would document
                                                      operational training lands. Training                    storage, and handling) or chemical                    any impacts to the buffers and the seeps
                                                      occurs year round for both active and                   training (Fort A.P. Hill 2017, p. 9–33).              (Andersen 2017c, pers. comm.).
                                                      reserve troops of the different branches                   Dirt and gravel trails are the primary                Recreational activities are allowed
                                                      of the military (Fort A.P. Hill 2017, pp.               transportation routes throughout the                  within Kenk’s amphipod buffer areas
                                                      2–2 to 2–3).                                            training areas where Kenk’s amphipod                  because installation regulations provide
                                                         Management buffers are established                   seeps can be found. Tactical and                      sufficient protections to ensure the
                                                      around Kenk’s amphipod seeps to                         nontactical vehicle traffic on these trails           conservation of the species. Hunting is
                                                      ensure the integrity of surficial habitats              is intermittent and is typically of low               the only recreational activity authorized
                                                      and water quality from potential                        duration and intensity. The trails do not             in areas where three of the known
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                                                      impacts associated with land                            get chemically treated in the winter                  Kenk’s amphipod sites occur. However,
                                                      disturbance activities. Buffers are site                months nor are these trails designated                strict hunting regulations severely limit
                                                      specific and are determined based on                    for or used as transportation routes for              the numbers of hunters allowed in an
                                                      the size of the seep area, surrounding                  industrial hazardous materials (i.e.,                 area at any given time and restrict the
                                                      terrain, hydrology, and contiguity of                   tanker trucks). Routine recurring                     timing and duration for hunting.
                                                      surrounding habitats. The buffer areas                  maintenance activities regularly                      Consequently, Fort A.P. Hill is only
                                                      for each seep generally exceed 200 ft                   conducted on installation trails include              available for hunting less than 16
                                                      (0.06 kilometers (km)) all around,                      tree limbing, surface grading,                        percent of the year. The Kenk’s
                                                      ranging in size from 1 to 6 acres (0.40                 application of surface material and                   amphipod sites are unlikely to


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                                                      45560                 Federal Register / Vol. 82, No. 188 / Friday, September 29, 2017 / Proposed Rules

                                                      experience adverse effects from hunting                 evaluating the certainty of effectiveness             eliminating or reducing threats to the
                                                      given: The limited availability of the                  for conservation efforts. The certainty of            species because they protect currently
                                                      Fort A.P. Hill landscape to hunting by                  implementation and the effectiveness of               occupied, and any future occupied,
                                                      the public in general; regulations                      a formalized conservation effort may                  seeps and their catchment areas from
                                                      prohibiting hunters from camping,                       also depend on species-specific, habitat-             removal of forest canopy and the effects
                                                      digging, or using any motorized                         specific, location-specific, and effort-              of poor water quality, erosion, and
                                                      transportation (e.g., all-terrain vehicles,             specific factors. These criteria are not              sedimentation, by instituting on-the-
                                                      utility-terrain vehicles); that the Kenk’s              considered comprehensive evaluation                   ground protections to better manage and
                                                      amphipod buffers and seep areas                         criteria; we consider all appropriate                 regulate disturbance in the species’
                                                      represent an exceptionally small                        factors in evaluating formalized                      occupied habitat. For example, two of
                                                      amount (0.014 percent and 0.00005                       conservation efforts. The specific                    the sites are in an area where timber
                                                      percent) of the huntable areas of Fort                  circumstances will also determine the                 harvest and prescribed burns were
                                                      A.P. Hill, respectively; and seeps and                  amount of information necessary to                    scheduled to occur within the next 5
                                                      streams are typically avoided by hunters                satisfy these criteria.                               years, but will not be subjected to those
                                                      due to the difficulty in traversing them                   To consider that a formalized                      management actions, pending any
                                                      and the adjacent slopes. Fort A.P. Hill                 conservation effort contributes to                    currently unknown change in mission
                                                      has offered public hunting opportunities                forming a basis for not listing a species,            requirements, due to the expanded
                                                      for decades, and there has not been any                 or listing a species as threatened rather             buffer areas implemented around the
                                                      evidence of adverse impacts observed at                 than endangered, we must find that the                Kenk’s amphipod sites (see below).
                                                      any stream, seep, or wetland to date,                   conservation effort is sufficiently certain              We have a high degree of certainty
                                                      including the known Kenk’s amphipod                     to be (1) implemented, and (2) effective,             that the measures will be implemented
                                                      sites (Fort A.P. Hill 2017, p. 9–34).                   so as to have contributed to the                      because Fort A.P. Hill has a track record
                                                         Fort A.P. Hill has agreed to continued               elimination or adequate reduction of                  of being good environmental stewards
                                                      commitment to the conservation                          one or more threats to the species                    for the past 76 years since the base was
                                                      measures (buffers) identified in the 2017               identified through the section 4(a)(1)                established, and, more specifically, a
                                                      INRMP regardless of the Kenk’s                          analysis. The elimination or adequate                 track record of implementing
                                                      amphipod Federal listing status,                        reduction of section 4(a)(1) threats may              conservation measures for federally
                                                      pending any currently unknown change                    lead to a determination that the species              listed species and species of concern
                                                      in mission requirements (Andersen                       does not meet the definition of                       since 1997 through their INRMPs. For
                                                      2017a, pers. comm.). However, should                    threatened or endangered, or is                       example, Fort A.P. Hill has effectively
                                                      the species not warrant listing under the               threatened rather than endangered. An                 implemented conservation measures
                                                      Act, some monitoring efforts for the                    agreement or plan may contain                         specified in their INRMP for the
                                                      species could be reduced (Andersen                      numerous conservation efforts, not all of             Rappahannock spring amphipod
                                                      2017a, pers. comm.; Andersen 2017b                      which are sufficiently certain to be                  (Stygobromus foliatus), a Department of
                                                      pers. comm.).                                           implemented and effective. Those                      Defense species at risk, including
                                                         Based on past and current primary                    conservation efforts that are not                     surveying its population and
                                                      uses of the base (forest management,                    sufficiently certain to be implemented                implementing avoidance buffers from
                                                      recreational use, and military                          and effective cannot contribute to a                  ground-disturbing activities on the
                                                      maneuvers), the acreage of the base, the                determination that listing is                         installation. In addition, during the
                                                      limited area occupied by the species,                   unnecessary, or a determination to list               spring of 2017, Fort A.P. Hill allowed
                                                      including the buffers, and the habitat                  as threatened rather than endangered.                 access to its facility for amphipod
                                                      characteristics (mature forest on steep or              Regardless of the adoption of a                       surveys in potential suitable habitat.
                                                      rolling topography, and often adjacent                  conservation agreement or plan,                          New conservation measures are
                                                      to wetland areas), and the location of                  however, if the best available scientific             prescribed by the 2017 INRMP for the
                                                      the seep sites (e.g., on isolated areas of              and commercial data indicate that the                 Kenk’s amphipod and are already being
                                                      the base), the Service concludes that                   species meets the definition of an                    implemented, including expanded
                                                      there is a low risk of sites being                      ‘‘endangered species’’ or a ‘‘threatened              buffer areas. The 2017 INRMP has
                                                      adversely affected even if mission                      species’’ on the day of the listing                   sufficient monitoring and reporting
                                                      requirements changed.                                   decision, then we must proceed with                   requirements to ensure that the
                                                         The INRMP would result in the                        appropriate rulemaking activity under                 conservation measures we deem
                                                      protection of 6 out of the 13 (46 percent)              section 4 of the Act. Further, it is                  necessary are implemented as planned,
                                                      known Kenk’s amphipod locations.                        important to note that a conservation                 and are effective at removing threats to
                                                                                                              plan is not required to have absolute                 the Kenk’s amphipod and its habitat. As
                                                      PECE Analysis                                                                                                 specified above, the INRMP may be
                                                                                                              certainty of implementation and
                                                        The purpose of PECE is to ensure                      effectiveness in order to contribute to a             modified to reflect changes in mission
                                                      consistent and adequate evaluation of                   listing determination. Rather, we need                requirements. Despite this provision, we
                                                      recently formalized conservation efforts                to be certain that the conservation                   believe that the site conditions at Fort
                                                      when making listing decisions. The                      efforts will be implemented and                       A.P. Hill will continue to be adequate to
                                                      policy provides guidance on how to                      effective such that the threats to the                conserve the Kenk’s amphipod, and Fort
                                                      evaluate conservation efforts that have                                                                       A.P. Hill will discuss with the Service
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                                                                                                              species are reduced or eliminated.
                                                      not yet been implemented or have not                       Using the criteria in PECE (68 FR                  any changes in mission requirements
                                                      yet demonstrated effectiveness. The                     15100, March 28, 2003), we evaluated                  that would affect the Kenk’s amphipod
                                                      evaluation focuses on the certainty that                the certainty of implementation (for                  and its habitat.
                                                      the conservation efforts will be                        those measures not already                               Collaboration between the Service,
                                                      implemented and the certainty that the                  implemented) and effectiveness of                     Fort A.P. Hill, and Virginia Department
                                                      conservation efforts will be effective.                 conservation measures in the 2017 Fort                of Game & Inland Fisheries previously
                                                      The policy presents nine criteria for                   A.P. Hill INRMP pertaining to the                     occurred during development of the
                                                      evaluating the certainty of                             Kenk’s amphipod. We determined that                   INRMP and continues to occur via
                                                      implementation and six criteria for                     the measures will be effective at                     discussions pertaining to


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                                                                            Federal Register / Vol. 82, No. 188 / Friday, September 29, 2017 / Proposed Rules                                                 45561

                                                      implementation throughout the year                         Factor A. The Present or Threatened                     negative effects, and the smaller the
                                                      that are documented through electronic                     Destruction, Modification, or                           buffer, the greater the risk of exposure.
                                                      mail correspondence and telephone                          Curtailment of Its Habitat or Range                     Buffer distance is important because the
                                                      calls (Hoskin 2017, pers. comm.). This                                                                             buffer helps filter sediment and other
                                                                                                                 Water Quality/Quantity Degradation
                                                      ongoing coordination and collaboration                                                                             contaminants from the surface water
                                                                                                                 Due to Chronic Pollution of Urban/
                                                      ensures that the conservation measures                                                                             entering the catchment areas and,
                                                                                                                 Suburban Runoff
                                                      identified in the INRMP for all Federal                                                                            therefore, the ground water that
                                                      and State listed species and species of                       Habitat modification, in the form of                 supports the Kenk’s amphipod. The
                                                      concern are implemented. Based on Fort                     degraded water quality and quantity, is                 Washington metropolitan area
                                                      A.P. Hill’s implementation of previous                     one of the primary drivers of Kenk’s                    amphipod sites have narrow riparian
                                                      conservation efforts as specified in its                   amphipod viability. While the species’                  buffers (94 ft to 1,000 ft) (29 m to 305
                                                                                                                 specific tolerances to parameters                       m) separating them from the
                                                      INRMP, we have a high level of
                                                                                                                 affecting water quality and quantity is                 surrounding urban landscape. This
                                                      certainty that the conservation measures
                                                                                                                 not yet known, we do know that the                      urban land is characterized by
                                                      in the 2017 INRMP will be implemented                      Kenk’s amphipod is at increased risk to                 impervious surface cover, which
                                                      and effective, and thus they can be                        parameters that negatively affect water                 includes paved roads, sidewalks,
                                                      considered as part of the basis for our                    quality and quantity because these                      parking lots, and buildings (Sexton et al.
                                                      final listing determination for the                        freshwater amphipods spend their                        2013, p. 42).
                                                      Kenk’s amphipod. Our detailed PECE                         entire life cycle in water and are,                        An impervious cover analysis was
                                                      analysis is available for review at http://                therefore, continually exposed to                       conducted by the Service within the
                                                      www.regulations.gov and https://                           changes in the aquatic habitat. Water                   watersheds occupied by the Kenk’s
                                                      www.fws.gov/chesapeakebay/.                                quality degradation of ground water at                  amphipod.
                                                      Summary of Biological Status and                           spring sites located in the Washington                     We calculated the overall average
                                                                                                                 metropolitan area has been previously                   value (percentage) for each watershed
                                                      Threats
                                                                                                                 cited as a top concern in several studies               identified. We also identified three
                                                         Please refer to the proposed listing                    and reports (Feller 1997, pp. 12–13;                    categories of impervious cover: (1) 0
                                                      rule for the Kenk’s amphipod (81 FR                        Culver and Sereg 2004, p. 13; Feller                    percent impervious cover, (2) 1 to 15
                                                      67270; September 30, 2016) for a                           2005, p. 9; Hutchins and Culver 2008,                   percent impervious cover, and (3)
                                                      detailed description of the factors                        p. 6; Kavanaugh 2009, p. 60; Culver et                  greater than (>) 15 percent impervious
                                                      affecting the species, which are                           al. 2012, p. 37; Culver and Pipan 2014,                 cover. For each watershed, we then
                                                      summarized and updated as appropriate                      p. 219).                                                calculated the percentage of area that
                                                      below.                                                        The amount of forested buffer                        fell into each of these three categories.
                                                                                                                 surrounding the seep influences the                     These percentages are presented in
                                                                                                                 species’ vulnerability and exposure to                  Table 2.
                                                                                                              TABLE 2—IMPERVIOUS COVER ESTIMATES
                                                                                                                                                    Categories of impervious cover (IC) percentage          Average
                                                                                                                                   Number of
                                                            Amphipod species                                                                                                                              impervious
                                                                                                   Watershed                       amphipod
                                                          (total number of sites)                                                                                                                          cover (IC)
                                                                                                                                     sites                 0% IC         1–15% IC          >15% IC        percentage

                                                      Stygobromus kenki (12) ......     Lower Rock Creek .............                         5                   17               24               59             83
                                                                                        Northwest Branch ...............                       1                   28               27               45             72
                                                                                        Mount Creek .......................                    1                   92                6                2              8
                                                                                        Mill Creek ...........................                 3                   93                5                2              7
                                                         * Vorhees Nature Preserve was not evaluated.


                                                         The four watersheds within the                          analysis. However, by looking at aerial                   Urban impervious surfaces can result
                                                      Kenk’s amphipod’s range have overall                       photographs from 1988 and 2014 of the                   in increased surface water flow after
                                                      impervious cover estimates ranging                         areas surrounding the spring sites in the               storm events due to decreased
                                                      from approximately 7 percent (Mill                         Washington metropolitan area, there has                 opportunity for immediate or proximal
                                                      Creek in Virginia) to 83 percent (Lower                    been little change in the amount of                     infiltration. The surface flow waters
                                                      Rock Creek in the District of Columbia                     development; therefore, we determined                   have higher temperatures, higher
                                                      and Montgomery County, MD).                                that the estimates of impervious cover                  sediment loads, and higher levels of
                                                      Although the data for this level of the                    derived from the 2011 dataset are                       heavy metals (zinc, cadmium), nitrogen,
                                                      impervious cover analysis were derived                     sufficiently accurate for our analysis.                 phosphorus, and fecal coliform bacteria
                                                      using the finest scale hydrologic units                       To provide a general indication of                   (Walsh et al. 2005, pp. 706–723). In
                                                      available in the National Land Cover                       how much impervious cover may be                        addition to affecting water quality,
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                                                      dataset, they do not reference the exact                   influencing surface water quality at                    urban impervious surfaces can affect
                                                      location of the Kenk’s amphipod spring                     individual sites, we created maps with                  water quantity; decreased infiltration
                                                      sites in relation to the location of                       the individual sites included within the                can result in depletion of ground water
                                                      impervious cover within the watersheds                     impervious cover data layers (see                       reserves and ultimately cause springs to
                                                      because the spring sites and their                         Supplemental Document—Maps of                           dry up over time (Frazer 2005, p. 3).
                                                      catchment areas are at a smaller scale.                    Impervious cover in relation to spring                    When the average impervious cover is
                                                      Additionally, because the data are from                    sites in the Washington metropolitan                    between 10 and 15 percent within a
                                                      2011, there could be more impervious                       areas and Impervious cover in relation                  watershed, sharp declines in aquatic
                                                      cover present than indicated in our                        to spring sites in Virginia).                           habitat quality and aquatic insect


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                                                      45562                 Federal Register / Vol. 82, No. 188 / Friday, September 29, 2017 / Proposed Rules

                                                      diversity are likely to occur, while the                pesticides, fragrances, flame retardants,             109). In 2016, nitrate concentrations at
                                                      number of pollution-tolerant species                    detergents, and sterols were detected                 Sherrill Drive Spring were 3.9 mg/L and
                                                      increase (Schueler 1994, pp. 100–102;                   and attributed to low-level sources of                4.2 mg/L at Burnt Mill Spring #6
                                                      Boward et al. 1999, p. 45; Center for                   wastewater entering the streams (Phelan               (Pinkney 2017, pers. comm.). Statistical
                                                      Watershed Protection 2003, pp. 101–102                  and Miller 2010, pp. 37, 40–41).                      analysis of Maryland Biological Stream
                                                      (synthesis of 30 studies)). More recently,                In the Washington metropolitan area,                Survey (MBSS) data indicated that
                                                      declines of 110 of 238 macroinvertebrate                water quality degradation from urban                  detrimental effects were present in fish
                                                      taxa were found in streams receiving                    runoff is the greatest concern for the                and benthic communities at critical
                                                      runoff water from areas that contained                  Kenk’s amphipod at the Sherrill Drive                 nitrate-N threshold values of 0.83 mg/L
                                                      between 0.5 to 2 percent of impervious                  Spring location (Culver and Sereg 2004,               and 0.86 mg/L, respectively (Morgan et
                                                      cover (King et al. 2011, pp. 1659–1675).                p. 69). Sherrill Drive Spring is close                al. 2007, pp. 160–161). These threshold
                                                      These results were consistent among the                 (approximately 115 ft (35 m)) to the                  values are significantly lower than the
                                                      three physiographic regions evaluated                   edge of Rock Creek Park where there is                values reported at Sherrill Drive Spring
                                                      (Mountain, Piedmont, and Coastal                        an abrupt change from forested habitat                and Burnt Mills Spring #6.
                                                      Plain); the Piedmont region includes the                to an urban landscape along 16th Street                  We do not know how typical the
                                                      Washington metropolitan area                            Northwest, which parallels the park                   Sherrill Drive Spring or Burnt Mill
                                                      amphipod sites. Further, higher                         boundary. A significant amount of                     Spring #6 nitrate concentrations are and
                                                      gradient, smaller catchments such as                    impervious cover routes runoff into the               if chronic exposure is occurring, but we
                                                      those supporting sites occupied by the                  catchment area surrounding the Sherrill               know that Stygobromus specimens have
                                                      Kenk’s amphipod required less                           Drive Spring.                                         not been detected at Sherrill Drive
                                                      impervious cover than lower gradient,                     While there have been no laboratory                 Spring since 2001 or at Burnt Mill
                                                      larger catchments to elicit a                           studies conducted to evaluate the effects             Spring #6 since 2005 (see table 1). We
                                                      macroinvertebrate community response                    and tolerance of the Kenk’s amphipod                  also do not know the potential source of
                                                      (i.e., the macroinvertebrate taxa from                  or Stygobromus tenuis to chemical,                    the nitrate since it could come from
                                                      steeper sloped, smaller catchment areas                 nutrient, pesticide, or metal pollution,              runoff containing fertilizers or animal
                                                      showed a decline in response to                         we know from published studies that                   waste or from sanitary sewer leaks.
                                                      relatively small amounts of impervious                  amphipods may be one of the most                      However, a sanitary sewer line runs
                                                      cover) (King et al. 2011, pp. 1659–1676).               vulnerable groups of organisms to                     adjacent to the Sherrill Drive Spring,
                                                      This finding is relevant, given that the                chemical pollution due to their high                  and this sewer line has leaked in the
                                                      results of our impervious cover analysis                sensitivity to toxicants and contaminant              past (Feller 1997, p. 37; Yeaman, 2014,
                                                      indicate that Kenk’s amphipod sites are                 accumulation (Borgmann et al. 1989, p.                pers. comm.).
                                                      located within areas containing 7 to 83                 756; Brumec-Turc 1989, p. 40).                           Other high levels of nutrients were
                                                      percent impervious cover (see table 2).                 Sediment samples surrounding the                      also evident in the June 2016 sampling
                                                         The hypotelminorheic zone, the main                  springs were collected in September                   conducted by the Service’s Chesapeake
                                                      habitat required by the Kenk’s                          2001 at East Spring and Sherrill Drive                Bay Field Office (Pinkney 2017b, pers.
                                                      amphipod, may be more vulnerable to                     Spring to analyze metal and organic                   comm.). The EPA (2000) ecoregional
                                                      the effects of urban runoff than streams                contaminants.                                         proposed criterion for stream total
                                                      with respect to pollutants, erosion, and                  Toxic metals were found in the                      nitrogen of 0.69 mg/L was exceeded at
                                                      sedimentation because of the small size                 sediment samples. Values were similar                 the following seepage spring locations:
                                                      and shallow nature of the habitat. In                   for the two sites, although East Spring               Kennedy Street Spring (1.9 mg/L),
                                                      addition, the aforementioned narrow                     had the highest values for all toxic                  Sherrill Drive Spring (6.5 mg/L), East
                                                      buffer zones around the                                 metals, with the exception of zinc                    Spring (9.7 mg/L), Holsinger Spring
                                                      hypotelminorheic sites increase the                     (Culver and Sereg 2004, p. 65).                       (20.9 mg/L), and Burnt Mill Spring #6
                                                      habitat’s and species’ exposure to urban                However, because it was the springs’                  (24.2 mg/L). The EPA stream total
                                                      runoff.                                                 sediments instead of water samples that               phosphorus criterion of 0.036 mg/L was
                                                         Poor water quality parameters have                   were analyzed, it is difficult to know                exceeded at all five seepage springs with
                                                      been documented by the USGS through                     whether the value of the metals                       a maximum concentration of 1.3 mg/L at
                                                      chemical analyses of ground water,                      measured in the sediments exceed                      Kennedy Street Spring. The MBSS
                                                      surface water, and sediments in the                     aquatic life standards in water or any                thresholds were 1.3 mg/L total nitrogen
                                                      Rock Creek watershed (Anderson et al.,                  published values for freshwater                       and 0.043 mg/L total phosphorus for
                                                      2002, pp. 1–99; Miller et al. 2006, pp.                 amphipod species. Furthermore, water                  benthic communities (no thresholds
                                                      1–48; Koterba et al. 2010, pp. 1–102;                   samples taken from the springs in Rock                were determined for fish communities)
                                                      Phelan and Miller 2010, pp. 1–80). For                  Creek Park and at Burnt Mill Spring #6                (Morgan et al. 2007, pp. 160–161).
                                                      example, five pesticides (carbaryl,                     in June 2016 did not detect toxic metals                 Chloride levels as high as 227 mg/L
                                                      chlorpyrifos, diazinon, dieldrin, and                   (Pinkney 2017b, pers. comm.). Sources                 were detected at Sherrill Drive Spring.
                                                      malathion) were detected in Rock Creek                  of trace metals in an urban environment               The EPA chronic ambient water quality
                                                      Park water samples at concentrations                    may include vehicles, streets, parking                criterion for chloride is 230 mg/L (EPA
                                                      that exceed aquatic life water quality                  lots, snowpacks, and rooftops (Center                 2016, entire). Although we do not know
                                                      criteria (Anderson et al. 2002, p. 44).                 for Watershed Protection 2003, p. 73).                the exact source of the elevated chloride
                                                      Furthermore, Rock Creek sediments                       However, although the Washington                      levels at Sherrill Drive Spring, one
asabaliauskas on DSKBBXCHB2PROD with PROPOSALS




                                                      contained polycyclic aromatic                           metropolitan area spring sites are                    potential source could be road salt. The
                                                      hydrocarbons (PAHs), polychlorinated                    exposed to these sources, there is no                 Washington metropolitan area receives,
                                                      biphenyls (PCBs), organochlorine                        quantitative evidence that toxic metals               on average based on 69 years of data
                                                      pesticides, and toxic metals at                         are affecting the springs or the Kenk’s               taken at Washington National Airport,
                                                      concentrations that approached and                      amphipod.                                             approximately 19.5 inches of snow
                                                      exceeded guidelines for the protection                    Water samples collected from 2000 to                annually (Southeast Regional Climate
                                                      of aquatic life (Miller et al. 2006, p. 21).            2003 found nitrate levels as high as 30.8             Center 2017, entire; Current Results
                                                      In a 2008 study at five stream locations                milligrams per liter (mg/L) at Sherrill               2017, entire). The District of Columbia
                                                      in Rock Creek Park, pharmaceuticals,                    Drive Spring (Culver and Sereg 2004, p.               Department of Public Works uses road


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                                                                            Federal Register / Vol. 82, No. 188 / Friday, September 29, 2017 / Proposed Rules                                          45563

                                                      salt and other salt products to pre- and                chemical pollutants from the                          from anticipated increases in both
                                                      post-treat road surfaces before and after               surrounding urban development.                        winter and spring precipitation and the
                                                      ice and snowfall events (District of                       The other four Washington                          frequency of high-intensity storms. (See
                                                      Columbia Department of Public Works                     metropolitan area sites (Burnt Mill                   Factor A—Excessive Storm Water Flows
                                                      2017, entire). However, the NPS has                     Spring #6, Holsinger Spring, East                     and Factor E—Effects of Climate Change
                                                      discontinued the use of road salts at                   Spring, and Kennedy Spring) have                      sections for more details.) However, we
                                                      some locations within Rock Creek Park                   wider buffers than Sherrill Drive Spring              find that poor water quality is not
                                                      (Bartolomeo 2017, pers. comm.). The                     and Coquelin Run Spring, with buffer                  impacting the Virginia spring sites
                                                      widespread use of salt to deice                         distances ranging from approximately                  because the sites are located in forested
                                                      roadways has led to regionally elevated                 272 ft (83 m) to 1,000 ft (305 m). East               areas with low levels of impervious
                                                      chloride concentrations equivalent to 25                Spring and Kennedy Spring had much                    cover, and we do not anticipate those
                                                      percent of the chloride concentration in                lower conductivity and nitrate levels                 conditions to change into the future. In
                                                      seawater during winter. The                             than Sherrill Drive Spring in the 2000,               addition, the measures in Fort A.P Hill’s
                                                                                                              2001, and 2003 sampling (Culver and                   INRMP and the location of one site on
                                                      concentrations can remain high
                                                                                                              Sereg 2004, pp. 55–58), but were still                conservation land provides protections
                                                      throughout the summer even in less
                                                                                                              above criteria suggested by Morgan et al.             to the species.
                                                      urbanized watersheds due to long-term
                                                                                                              (2007, p. 161). Surveys conducted in
                                                      (e.g., decades) accumulation of chloride                2015 and 2016 did not re-confirm the                  Excessive Storm Water Flows
                                                      in ground water (Kaushal et al. 2005,                   Kenk’s amphipod at any of these sites                    Runoff from impervious surfaces after
                                                      pp. 13518–13519). This phenomenon                       but consistently found Stygobromus                    heavy rain events can result in flooding
                                                      was documented by the Service’s June                    tenuis at all the sites in higher numbers             (Frazer 2005, p. 4; NBC News 2016,
                                                      2016 detection of a chloride                            (e.g., greater than 40 observed at Burnt              entire). Flash flooding can also result in
                                                      concentration of 227 mg/L at Sherrill                   Mill Spring #6 during 1 sampling                      erosion and sedimentation (Center for
                                                      Drive Spring (Pinkney 2017a, pers.                      event). Urban runoff can decrease biotic              Watershed Protection 2003, pp. 30–33),
                                                      comm.). Analyses of MBSS data on fish                   richness and favor more pollution-                    which, if it occurs in the catchment
                                                      and benthic communities yielded                         tolerant species in urban streams                     area, can subsequently degrade a spring
                                                      critical chloride values of 17 mg/L for                 (Center for Watershed Protection 2003,                site’s value as habitat for the Kenk’s
                                                      fish and 50 mg/L, respectively, as                      pp. 101–102). If S. tenuis has a higher               amphipod.
                                                      thresholds above which there would be                   tolerance than the Kenk’s amphipod to                    In the Washington metropolitan area,
                                                      detrimental effects on biotic                           poor water quality parameters, the                    excessive storm water flows are causing
                                                      communities (Morgan et al. 2007; pp.                    change in species’ composition                        significant habitat degradation at two
                                                      160–161). Thus, the concentrations                      discussed in the proposed rule’s (81 FR               sites—Sherrill Drive Spring and
                                                      measured in June 2016 (Pinkney 2017a,                   67270; September 30, 2016) Relative                   Coquelin Run Spring. A washout at
                                                      pers. comm.) at Kennedy Street Spring                   Abundance section and Factor E—                       Sherrill Drive Spring from 16th Street
                                                      (56.3 mg/L), Holsinger Spring (70.7 mg/                 Changes in Species Composition could                  was observed in 2016 making it difficult
                                                      L), Burnt Mill Spring #6 (115 mg/L), and                indicate that urban runoff is negatively              to find a seep to survey (Feller 2016f,
                                                      Sherrill Drive Spring (237 mg/L) all                    affecting the Kenk’s amphipod                         pers. comm.). Coquelin Run Spring is
                                                      exceed thresholds for benthic                           populations at these spring sites.                    severely degraded by runoff from the
                                                      communities. Furthermore, chloride                         The NPS manages the surrounding                    surrounding Chevy Chase Lake
                                                      concentrations in ground water may                      habitat at the four seepage spring sites              Subdivision, where severe erosion was
                                                      move slower (e.g., dilute slower) than in               supporting the Kenk’s amphipod in                     first observed at this site in 2006 (Feller
                                                      surface waters and thus the effects from                Rock Creek Park. While the NPS uses its               2016h, pers. comm.). Subsequent
                                                      winter road salt application may be                     regulatory authority to manage water                  surveys of the site found evidence of
                                                      more persistent in the surrounding                      quality concerns for the species within               plastic underground pipe and sheeting,
                                                      environment (Findlay and Kelly 2011,                    Rock Creek Park, the agency has little                which may have been an attempt to
                                                      p. 66).                                                 influence over the protection of or                   address water flow and erosion at the
                                                                                                              effects to any seep recharge areas                    site, in close proximity to the original
                                                         At Coquelin Run Spring, ground                       occurring outside park boundaries, and                seep and further erosion of the site
                                                      water pollution from yard chemicals                     over maintenance or repair of city-                   (Feller 2016a, pers. comm.; Feller 2016e,
                                                      and road runoff (e.g., road salts, oil)                 owned infrastructure such as storm                    pers. comm.). A small flow was
                                                      could be a concern for the Kenk’s                       water and sewer systems located near                  observed in May 2016 but was located
                                                      amphipod’s long-term viability. The                     the spring sites. See the proposed rule               several feet above the original seep
                                                      USGS research on water quality                          (81 FR 67270; September 30, 2016) for                 documented in 2006. It is unknown
                                                      degradation in other urban areas                        a list of laws and policies influencing               what affect the pipe or plastic may have
                                                      indicates that chemicals enter                          NPS management.                                       on the long-term hydrology of the site.
                                                      waterways and ground water primarily                       In Virginia, poor water quality is not                Erosion from storm water flows has
                                                      through runoff from rain events, and                    likely affecting the species at the Fort              also been observed at the other three
                                                      these chemicals have commonly been                      A.P. Hill and Voorhees Nature Park                    springs in Rock Creek Park, but not to
                                                      detected in streams and shallow ground                  because the sites are located in                      the extent that it has been observed at
                                                      water (USGS 1998, entire; USGS 1999a,                   watersheds that are primarily forested                Sherrill Drive and Coquelin Run
asabaliauskas on DSKBBXCHB2PROD with PROPOSALS




                                                      pp. 1–3; USGS 1999b, p. 1; USGS 2001,                   with little impervious surface (see table             Springs. It is unknown how much
                                                      p. 2). Although no water samples have                   2).                                                   chronic or acute erosion and
                                                      been taken at the Coquelin Run Spring                      Summary of Water Quality—In total,                 sedimentation causes a site to become
                                                      site, it is separated from backyards in                 poor water quality is believed to be a                unsuitable for the Kenk’s amphipod;
                                                      this neighborhood by a narrow, wooded                   contributing stressor at all six of the               however, Culver and Sereg (2004, p. 69)
                                                      riparian strip (less than 100 ft) (30 m)                Washington metropolitan area sites (i.e.,             found that sediment transported by
                                                      that slopes steeply down to the site.                   46 percent of the total known sites).                 storm runoff results in the degradation
                                                      Therefore, the Coquelin Run Spring may                  Water quality in this area is expected to             of ground water animals’ habitat by
                                                      be at increased risk of exposure to                     worsen due to significant runoff events               clogging the interstices of gravels in the


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                                                      45564                 Federal Register / Vol. 82, No. 188 / Friday, September 29, 2017 / Proposed Rules

                                                      spring seep, thereby preventing the                     1,000 gallons) and small (more than 100               activities conducted at Rock Creek Park
                                                      species from using those interstitial                   gallons) leaks in both the Rock Creek                 or at the Montgomery County park in
                                                      spaces for shelter. It is uncertain to what             and Northwest Brach drainages (WSSC                   the vicinity of the seeps. At Rock Creek
                                                      extent the Kenk’s amphipod uses those                   2015). The District of Columbia does not              Park, the NPS has taken steps to prevent
                                                      interstitial spaces, but if they do, then               have such detailed records, but half the              designated trails from being built in
                                                      it is plausible that this type of                       District of Columbia’s 1,800 mi (2,896                areas that could affect the Kenk’s
                                                      sedimentation would cause the habitat                   km) of sewer lines are at least 84 years              amphipod, and there are no trails in
                                                      to become unsuitable for the species.                   old and faulty pipes result in two dozen              close vicinity to the seep found at the
                                                         At the Virginia sites, Mill Creek #2                 sewer spills every year (Olivio 2015).                county park. At the privately owned
                                                      experiences sheet flow into the seep                    The frequency of spills is likely to                  site, an underground pipe previously
                                                      area off of a lateral slope during rainfall             increase in the future as the sewer lines             installed on the hillside where the seep
                                                      events due to the degree of slopes and                  continue to age.                                      is located was observed in 2016, and,
                                                      close proximity to a stormwater culvert                   At the Virginia sites, we have no                   despite the steep topography, there is
                                                      outlet (Applegate 2016, pers. comm.).                   information indicating sewer pipelines                the potential for foot traffic in the
                                                      However, erosion and sediment control                   may affect the species.                               seepage area by the landowners. The
                                                      repairs to the culvert and the surface of                 Summary of Sewer Line Spills—In                     Service is unaware of any tree removal
                                                      the associated unimproved trail                         total, sewer line breaks and spills are a             ever occurring at this site.
                                                      conducted prior to the proposed rule                    potential concern at 23 percent (3 of 13)                In general, stressors to the Kenk’s
                                                      has dramatically improved current                       of the species’ sites.                                amphipod habitat at the Virginia sites
                                                      conditions. Consequently, sheetflow is                                                                        are less significant than those in the
                                                      not considered a threat to the                          Water Pipe Breaks
                                                                                                                                                                    Washington metropolitan area because
                                                      conservation of the Kenk’s amphipod at                     Bursting of large-diameter water pipes             land use is primarily agriculture and
                                                      this location (Applegate 2017, pers.                    can cause significant erosion of                      forest with little impervious surface. See
                                                      comm.). Sheet flow is not considered to                 surrounding areas as a result of the large            the description of Fort A.P. Hill under
                                                      be a problem at Voorhees Nature                         volume of fast-moving water that exits                the Ongoing and Future Conservation
                                                      Preserve (Hobson 2017a, pers. comm.).                   the pipe at the break point. Bursting                 Measures section above. With the
                                                         Summary of Excessive Storm Water                     water pipes and the resulting erosion                 possible exception of the effects of
                                                      Flows—Excessive storm water flows are                   has been documented within the                        climate change and the potential effects
                                                      a contributing stressor at 38 percent (5                Washington metropolitan area,                         of small population dynamics (see
                                                      of 13) of the species’ sites (Sherrill Drive            including areas near but not directly at              Factor E below), we are unaware of any
                                                      Spring, Coquelin Run Spring, East                       a specific Kenk’s amphipod seep site                  stressors at Voorhees Nature Preserve
                                                      Spring, Kennedy Street Spring, and                      (Dudley et al. 2013, entire). The                     (Hobson 2017a, pers. comm.). The
                                                      Holsinger Spring).                                      exposure risk of bursting water pipes at              preserve is located 8.5 mi (13.7 km) east
                                                      Sewer Line Breaks and Spills                            locations that could affect Kenk’s                    across the Rappahannock River from
                                                                                                              amphipod sites is increasing given the                Fort A.P. Hill in Westmoreland County,
                                                         The same riparian areas that contain                 age of the water pipe infrastructure (see
                                                      the habitats of the Kenk’s amphipod are                                                                       Virginia. The 729-acre (295-hectare)
                                                                                                              table 2 in the proposed rule (81 FR                   parcel has been owned by The Nature
                                                      among the principal areas where sewer                   67270; September 30, 2016) for more
                                                      lines are located in the Washington                                                                           Conservancy (TNC) since 1994. The goal
                                                                                                              details).                                             of the preserve is to protect the mature
                                                      metropolitan area (Feller 2005, p. 2).                     At the Virginia sites, we have no
                                                      Most of these sewer lines are old (most                                                                       coastal plain forest and freshwater tidal
                                                                                                              information indicating water pipeline
                                                      installed between 1900 and 1930 in the                                                                        marsh (Truslow 2017a, pers. comm.).
                                                                                                              breaks may affect the species.
                                                      District of Columbia and between 1941                      Summary of Water Pipe Breaks—In                       As of July 2017, human activity at the
                                                      and 1971 in Montgomery County, MD)                      total, large water pipeline breaks have a             preserve is limited to maintenance of
                                                      and subject to periodic breakage and                    potential to occur at 8 percent (1 of 13)             approximately 3 mi (4.8 km) of hiking
                                                      leakage (Shaver 2011, entire; Kiely 2013,               of the species’ sites (Sherrill Drive                 trails, white-tailed deer management
                                                      entire). While there have been no                       Spring), while smaller water pipeline                 through a hunt lease with a local hunt
                                                      laboratory or field studies evaluating the              breaks could occur at 23 percent (3 of                club, and annual monitoring to ensure
                                                      effect of sewage leaks or spills on the                 13) of the sites (Sherrill Drive Spring,              the protection goals of the property are
                                                      Kenk’s amphipod or the Stygobromus                      Coquelin Run Spring, and Burnt Mills                  being met. There is light recreational
                                                      tenuis, adverse effects of sewage                       #6 Spring).                                           use from the 3 mi (4.8 km) of hiking
                                                      contamination on amphipods and other                                                                          trails located on the property. The trails
                                                      invertebrates have been documented                      Other Habitat Considerations                          are open only for foot travel
                                                      (Simon and Buikema 1997, entire; de                       The Kenk’s amphipod is likely                       (approximately several hundred visitors
                                                      laOssa-Carretero et al. 2012, p. 137).                  susceptible to changes to the forest                  a year based on trail logs); no ATVs or
                                                         Releases of large volumes of sewage                  canopy and understory; this theory is                 bikes are allowed on the trails (Truslow
                                                      (up to 2 million gallons (gal)) from                    supported by the fact that they can be                2017b, pers. comm.). Dogs are also not
                                                      sanitary sewer leaks have occurred in                   found in leaf litter. The more common                 allowed at the preserve (TNC 2017,
                                                      the District of Columbia and                            species Stygobromus tenuis has been                   entire).
                                                      Montgomery County, MD. Coquelin Run                     found to actively exit the                               The seep where the Kenk’s amphipod
asabaliauskas on DSKBBXCHB2PROD with PROPOSALS




                                                      Spring, Burnt Mill Spring #6, and                       hypotelminorheic under appropriate                    was found is not impacted by the trail
                                                      Sherrill Drive Spring are most                          conditions, presumably to forage                      because it is located approximately 30
                                                      vulnerable to sewage spills because they                (Kavanaugh 2009, p. 3), and they are                  to 40 ft (9.1 to 12.2 m) down slope of
                                                      are located downhill from several sewer                 found only in forested areas (Culver                  the trail, at the head of a ravine, and it
                                                      lines (see table 2 in the proposed rule                 2016, pers. comm.).                                   is surrounded by dense vegetation,
                                                      (81 FR 67270; September 30, 2016) for                     In the Washington metropolitan area,                which makes access to the site difficult
                                                      details). The Washington Suburban                       there have been no land-disturbance                   (Hobson 2017a, pers. comm.). There is
                                                      Sanitary Commission (WSSC) has                          activities such as forest management or               also no visible erosion from the trail (C.
                                                      documented numerous large (more than                    vegetation/habitat management                         Hobson 2017a, pers. comm.).


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                                                                              Federal Register / Vol. 82, No. 188 / Friday, September 29, 2017 / Proposed Rules                                              45565

                                                         The TNC developed a site-                              urbanization, which increases the                     systems are subjected to chronic leaks
                                                      management plan upon assuming                             amount of impervious cover in the                     and breaks, the frequency of which is
                                                      ownership. Timber harvesting will not                     watersheds surrounding six of the                     likely to increase given the age of the
                                                      occur where there is mature forest, and                   Kenk’s amphipod sites. Impervious                     infrastructure, and thus the exposure
                                                      uplands will be kept in a forested                        cover increases storm water flow                      risk of the species to this stressor will
                                                      condition to protect the property’s                       velocities, decreases ground water                    continue to increase. Coquelin Run
                                                      marsh from sedimentation runoff. In                       filtration, and increases erosion and                 Spring, Burnt Mill Spring #6, and
                                                      addition, TNC will not use pesticides                     sedimentation. Impervious cover can                   Sherrill Drive Spring are most
                                                      (e.g., dimilin) to control future gypsy                   also increase the transport of                        vulnerable to sewage spills and water
                                                      moth infestations (TNC 1994).                             contaminants and nutrients common in                  pipe breaks due to the pipe’s proximity
                                                         In terms of the property’s protection                  urban environments, such as metals                    to each site and the age of the pipes. At
                                                      status, TNC preserves are considered to                   (zinc, cadmium), nitrogen, phosphorus,                the Virginia sites, we have no
                                                      be permanently protected. The deed                        and fecal coliform bacteria. The                      information indicating sewer or water
                                                      does not contain restrictions on TNC                      Washington metropolitan area sites have               pipeline breaks will affect the species.
                                                      selling or transferring the property;                     narrow riparian buffers separating them
                                                      however, TNC policy would require that                    from the surrounding development,                        Stressors to Kenk’s amphipod habitat
                                                      the property be transferred to an entity                  increasing the sites’ exposure to poor                are significantly less in scope and
                                                      that would manage for similar                             water quality from runoff. While poor                 severity at Fort A.P. Hill and Voorhees
                                                      conservation goals (e.g., a State natural                 water quality has been documented at                  Nature Preserve than at the Washington
                                                      resource agency or Federal agency), or                    Sherrill Drive Spring and is likely                   metropolitan area habitats, due to the
                                                      that it be restricted by a conservation                   affecting all six sites in the Washington             location of the sites, the current and
                                                      easement that would ensure permanent                      metropolitan area, the seven Virginia                 foreseeable mission of the managing
                                                      protection of the property (Truslow                       sites are not thought to be affected by               entities, and the conservation measures
                                                      2017a, pers. comm.).                                      poor water quality because of the large               described in the INRMP and TNC
                                                         The preserve is surrounded primarily                   forested buffers on Fort A.P. Hill and                Management Plan. The risk is low that
                                                      by forest, and there is Service-owned                     Voorhees Nature Preserve.                             any disturbance to the surface habitat on
                                                      National Wildlife Refuge land and State-                     Excessive storm water runoff from                  those properties would result in adverse
                                                      owned land west of the site. A soil                       heavy rain events can result in flooding,             effects to the species. We acknowledge
                                                      enhancement facility was proposed in                      which can cause erosion and                           that the Washington metropolitan sites
                                                      2014 at a parcel approximately 1 mile                     sedimentation. Habitat degradation due                face a number of stressors that will
                                                      (1.6 km) northeast of the seep. The                       to excessive storm water flows is having              continue into the future. Of the six
                                                      purpose of the facility would be to                       effects at two sites—Sherrill Drive                   Washington sites, only one site has a
                                                      compost biosolids from sewage and sell                    Spring and Coquelin Run Spring—but                    recent record of Kenk’s amphipod. We
                                                      the compost as fertilizer. If the site was                has also been observed at the other four              cannot confirm without additional
                                                      approved and constructed, it would not                    springs in Rock Creek Park, and may                   consecutive negative survey results, but
                                                      impact the Kenk’s amphipod because                        increase in the future. At the Virginia               it is possible that this species is
                                                      the seep is at a higher elevation and in                  sites, we have no information indicating              functionally extinct in the Washington
                                                      a different surface catchment area than                   excessive storm water flows affect the                metropolitan area given the stressors it
                                                      the proposed soil enhancement facility.                   species.                                              faces and the lack of specimens found
                                                         Summary of Factor A—Habitat                               Sewer and water line breaks and leaks              in recent survey results. Conversely, the
                                                      modification, in the form of degraded                     are a concern at the Washington                       seven Virginia sites do not face the same
                                                      water quality and quantity, is one of the                 metropolitan area sites because most of               stressors as the Washington
                                                      primary drivers affecting Kenk’s                          them are located in the same riparian                 metropolitan area sites. Habitat quality
                                                      amphipod viability at the Washington                      areas that contain the habitats of the                at the Virginia sites is good and the sites
                                                      metropolitan area sites, despite ongoing                  Kenk’s amphipod. While leaks and                      all have some form of protection, either
                                                      conservation measures. Reductions in                      breaks of these pipelines have not yet                from the measures in the Fort A.P. Hill
                                                      water quality continue to occur at those                  been known to directly affect the                     INRMP or the TNC nature preserve’s
                                                      sites primarily as a result of                            species or its habitat, the pipeline                  site-management plan.

                                                                                       TABLE 3—RELATIVE VULNERABILITY OF KENK’S AMPHIPOD SEEP HABITAT SITES
                                                                                                                                                                           Current biological status of the Kenk’s
                                                              Site name                       Location                            Current seep status                                    amphipod

                                                      Sherrill Drive Spring ....       Rock Creek Park,           Approximately 50’ to road, documented de-            Extirpated? Not found in recent surveys. No
                                                                                        Washington, DC.             crease in water quality (chemical and sedi-          other Stygobromus present. Last detected
                                                                                                                    mentation), within 10’ of 1924 sewer pipe            2001 (8 surveys since and none found).
                                                                                                                    and 130’ of 1955 30’’ water pipe.                    Niemiller et al. (2017) eDNA study also
                                                                                                                                                                         supports extirpation of all Stygobromus
                                                                                                                                                                         here.
asabaliauskas on DSKBBXCHB2PROD with PROPOSALS




                                                      East Spring ..................   Rock Creek Park,           Approximately 300–500’ buffer of protected           Unknown. Not found in recent surveys but
                                                                                        Washington, DC.             forest, within 560’ of 6–8’’ 1921 water pipe.        other Stygobromus present. Last detected
                                                                                                                                                                         2001 (7 surveys in 2015–2016 and none
                                                                                                                                                                         found).
                                                      Kennedy Street Spring            Rock Creek Park,           Approximately 500’ buffer of protected forest,       Unknown. Not found in recent surveys but
                                                                                        Washington, DC.             within 860’ of 6–8’’ 1911 water pipe.                other Stygobromus present. Last detected
                                                                                                                                                                         2001 (5 surveys since and none found).




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                                                      45566                 Federal Register / Vol. 82, No. 188 / Friday, September 29, 2017 / Proposed Rules

                                                                         TABLE 3—RELATIVE VULNERABILITY OF KENK’S AMPHIPOD SEEP HABITAT SITES—Continued
                                                                                                                                                                         Current biological status of the Kenk’s
                                                             Site name                      Location                            Current seep status                                    amphipod

                                                      Holsinger Spring ..........   Rock Creek Park,            Approximately 700–1,000’ buffer of protected         Historical? Not documented since 1967. One
                                                                                     Washington, DC.              forest.                                              survey in 2003 and 3 surveys in 2015 and
                                                                                                                                                                       none found; other Stygobromus species
                                                                                                                                                                       present.
                                                      Burnt Mill Spring #6 .....    Northwest Branch            In county park protected from further devel-         Unknown. Not found in recent surveys but
                                                                                     Park, Montgomery             opment, within 186’ of unknown age sewer             other Stygobromus species present. Last
                                                                                     County, MD.                  pipe and 394’ of 6–8’’ 1959 water pipe.              detected in 2005 (10 surveys since and
                                                                                                                                                                       none found).
                                                      Coquelin Run Spring ...       Private land, Mont-         Erosion problems are already apparent, site          Present in upslope portion of seep (1 indi-
                                                                                      gomery County, MD.          has been modified with a plastic pipe and            vidual found in 2016); lower section has
                                                                                                                  plastic material, and riparian forest is very        some erosion and species absent in that
                                                                                                                  narrow. Within 220’ of 1952 sewer pipe               section (3 surveys conducted in 2016 and
                                                                                                                  and 250’ of 6–8’’ 1954 water pipe.                   none found). No other Stygobromus spe-
                                                                                                                                                                       cies were found in upper or lower portion
                                                                                                                                                                       of seep in 2016.
                                                      Fort A.P. Hill (6 seeps)      Department of De-           Good habitat quality, sites unaffected by ur-        Present and recently discovered. One indi-
                                                                                     fense, Caroline             banization. Military exercises, forest man-           vidual each found at Upper Mill 2, Mill 4,
                                                                                     County, VA.                 agement, and construction activities are at           and Mount 2 in 2014 but not identified as
                                                                                                                 low risk to affect surface habitat due to the         the Kenk’s amphipod until 2016; 4 individ-
                                                                                                                 revised INRMP.                                        uals found at Mill 5 in 2014. In 2017, there
                                                                                                                                                                       were 6 individuals found at Upper Mill 2, 1
                                                                                                                                                                       individual at Upper Mill 4, and 4 individuals
                                                                                                                                                                       at Mount 2. Two new sites were found in
                                                                                                                                                                       2017: Mill Creek 56 (16 individuals) and
                                                                                                                                                                       Mill Creek 59 (8 individuals found).
                                                      Voorhees Nature Pre-          Westmoreland County,        Good habitat quality, owned by TNC. Perma-           Recently discovered. One individual found in
                                                        serve (1 seep).              VA.                         nently protected as a nature preserve.                2017.



                                                      Factor B. Overutilization for                           Nongame and Endangered Species                        genetics, distribution, or potential for
                                                      Commercial, Recreational, Scientific, or                Conservation Act (Factor B).                          dispersal (e.g., metapopulation
                                                      Educational Purposes                                                                                          structure). Therefore, unless the
                                                                                                              Factor E. Other Natural or Manmade
                                                         In the September 30, 2016, proposed                                                                        populations are larger than we know or
                                                                                                              Factors Affecting Its Continued
                                                      rule (81 FR 67270), we found no                                                                               are hydrologically connected such that
                                                                                                              Existence
                                                      information indicating that                                                                                   individuals can move between sites, we
                                                      overutilization was a factor affecting the              Small Population Dynamics                             maintain that these small populations
                                                      Kenk’s amphipod. No new information                        The observed small size of each of the             are vulnerable to the effects of small
                                                      from peer review or public comments                     13 Kenk’s amphipod populations may                    population dynamics.
                                                      indicates that overutilization is a                     make each one vulnerable to natural                      Species that are restricted in range
                                                      concern for the species.                                environmental stochasticity and human-                and population size are more likely to
                                                                                                              caused habitat disturbance, including                 suffer loss of genetic diversity due to
                                                      Factor C. Disease or Predation                          relatively minor impacts in their spring              genetic drift, potentially increasing their
                                                        In the September 30, 2016, proposed                   recharge areas. However, there is                     susceptibility to inbreeding depression,
                                                      rule (81 FR 67270), we found no                         significant uncertainty regarding the                 and reducing the fitness of individuals
                                                      information indicating that disease or                  extent to which the number of Kenk’s                  (Soule 1980, pp. 157–158; Hunter 2002,
                                                      predation was affecting the Kenk’s                      amphipods observed at the seep surface                pp. 162–163; Allendorf and Luikart
                                                      amphipod. No new information from                       accurately reflects the actual population             2007, pp. 117–146). Small population
                                                      peer review or public comments                          at each site given the species’ known                 sizes and inhibited gene flow between
                                                      indicates that disease or predation is a                ability to move between the surface and               populations may increase the likelihood
                                                      concern for the species.                                subsurface habitat. We are unaware of                 of local extirpation (Gilpin and Soulé
                                                                                                              any reliable method to accurately                     1986, pp. 32–34). With the exceptions
                                                      Factor D. The Inadequacy of Existing                    estimate the actual population size of                for the Fort A.P. Hill populations of Mill
                                                      Regulatory Mechanisms                                   the Kenk’s amphipod at each of its                    Creek #2 and Mill Creek #4, which are
                                                        The following existing regulatory                     historical and current sites. In addition,            separated by only approximately 360 ft
                                                      mechanisms were specifically                            the multiple sites (six in the Washington             (110 m), and Mill Creek #56 and #59,
                                                      considered and discussed as they relate                 metropolitan area and seven in Virginia)              which are approximately 2,640 ft (805
                                                      to the stressors, under the applicable                  provide some protection against                       m) from the other two Mill Creek sites
asabaliauskas on DSKBBXCHB2PROD with PROPOSALS




                                                      Factors, affecting the Kenk’s amphipod:                 stochastic and catastrophic events                    and 1,056 ft (322 m) apart from each
                                                      the Clean Water Act’s (CWA) National                    affecting all sites simultaneously (see               other, all the other populations of the
                                                      Pollutant Discharge Elimination System,                 the Cumulative Effects section below).                Kenk’s amphipod are isolated from
                                                      Rock Creek Park Authorization Act of                       An eDNA (Niemiller et al. 2016, pp.                other existing populations and known
                                                      1890, and National Park Service Organic                 1–7) and a hydrogeology study (Staley                 habitats by long distances, inhospitable
                                                      Act of 1916 (Factor A; summarized                       2016, pp. 1–46) were conducted in                     upland habitat, and terrain that create
                                                      above in this final determination, but                  2016. However, neither study resulted                 barriers to amphipod movement. The
                                                      discussed in full in the proposed rule                  in any information that helped us better              level of isolation and the restricted
                                                      (81 FR 67270; September 30, 2016) and                   understand the Kenk’s amphipod’s                      range seen in this species, based on our


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                                                                            Federal Register / Vol. 82, No. 188 / Friday, September 29, 2017 / Proposed Rules                                         45567

                                                      current knowledge of known habitat,                     (2.2 to 4.4 °C) (Carter et al. 2014, p. 399           aquatic life at higher temperatures
                                                      make natural repopulation of known                      In Melillo et al. 2014).                              because a greater fraction exists in the
                                                      habitats (e.g., the District of Columbia                   Data specific to the District of                   more toxic un-ionized form (EPA 2013,
                                                      sites and Burnt Mill Spring #6 where                    Columbia from NOAA’s National                         p. 7). Thus, the EPA aquatic life criteria
                                                      the species’ presence has not been                      Climate Data Center (NOAA 2017,                       are temperature (and pH) dependent
                                                      recently confirmed) virtually impossible                entire) shows that the average annual air             with lower limits at higher temperatures
                                                      without human intervention.                             temperature in the District of Columbia               for a given pH. It is important to note
                                                                                                              has already increased by approximately                we do not have specific temperature
                                                      Effects of Climate Change                               2 °F (1.1°C) from 1960, the decade                    tolerance information for the Kenk’s
                                                         Climate change may result in changes                 corresponding to the first Kenk’s                     amphipod; however, there are studies of
                                                      in the amount and timing of                             amphipod surveys, to 2016. This higher                other amphipod species that indicate
                                                      precipitation, the frequency and                        rate of change in the District of                     these animals have a sensitivity to
                                                      intensity of storms, and air                            Columbia may be due to the urban heat                 elevated temperatures, as exhibited by
                                                      temperatures. All of these changes could                island effect (Oke 1995, p. 187), which               reduced or eliminated egg survival at
                                                      affect the Kenk’s amphipod and its                      is an increase in ambient temperature                 water temperatures above 75 °F (24 °C)
                                                      habitat. The amount and timing of                       due to heating of impervious surfaces.                to 79 °F (26 °C) (Pockl and Humpesch
                                                      precipitation influence spring flow,                    This activity also results in an increase             1990, pp. 445–449).
                                                      which is an important feature of the                    in temperature of rainwater that falls on               In summary, if current climate change
                                                      habitat of this ground water species.                   heat-absorbing roads and parking lots. A              predictions become reality, by the 2080s
                                                      Also, the frequency and intensity of                    sudden thunderstorm striking a parking                some increase in ground water
                                                      storms affects the frequency, duration,                 lot that has been sitting in hot sunshine             temperatures will occur at sites
                                                      and intensity of runoff events, and                     can easily result in a 10 °F (5.6 °C)                 occupied by the Kenk’s amphipod, yet
                                                      runoff transport of sediment and                        increase in the rainfall temperature.                 the magnitude and significance of these
                                                      contaminants into catchment areas of                    Menke et al. (2010, pp. 147–148)                      changes is difficult to predict.
                                                      Kenk’s amphipod sites, especially in the                showed that these temporary increases
                                                      Washington metropolitan area, where                                                                           Change in Species Composition
                                                                                                              in temperature of storm water can still
                                                      there is a substantial amount of                        result in a shift in the biotic community                At most of the Washington
                                                      impervious cover in close proximity to                  composition and even accelerate                       metropolitan area sites supporting the
                                                      the habitat (see Factor A summarized                    changes in species distributions. Based               Kenk’s amphipod, numbers of the
                                                      above and in detail in the proposed rule                on the work of Menberg et al. (2014,                  Potomac ground water amphipod,
                                                      (81 FR 67270; September 30, 2016)).                     entire), we expect these changes in air               which is the most widely distributed
                                                      Below we discuss the best available                     temperature to be reflected in the                    and abundant Stygobromus species in
                                                      climate predictions for the areas                       temperature of the shallow ground                     the lower Potomac drainage (Kavanaugh
                                                      supporting the Kenk’s amphipod.                         water at all sites within a few years, but            2009, p. 6), have increased as numbers
                                                         The 2014 National Climate                            at a lower magnitude.                                 of observed Kenk’s amphipods have
                                                      Assessment (Melillo et al. 2014, entire)                   Increased temperature is stressful to              declined (Feller 2016b, pers. comm.;
                                                      predicts increasing ambient                             aquatic life through several                          Feller 2016c, pers. comm.). The exact
                                                      temperatures, increasing winter and                     mechanisms. First, at higher                          cause of this change is not known, but
                                                      spring precipitation, increasing                        temperatures, the metabolic rate of                   it may be an indication that some
                                                      frequency of heavy downpours, and                       invertebrates and fish is higher and                  stressor has led to a competitive
                                                      increasing summer and fall drought risk                 more rapid ventilation is needed by the               advantage for the Potomac ground water
                                                      as higher temperatures lead to greater                  animal to obtain oxygen, which is less                amphipod (Culver et al. 2012, p. 29).
                                                      evaporation and earlier winter and                      soluble (i.e., less available) in warmer              Other than at Coquelin Run Spring,
                                                      spring snowmelt (Horton et al. 2014, p.                 versus cooler water (Schiedek et al.                  there are no obvious physical changes at
                                                      374 In Melillo et al. 2014). Without                    2007, p. 1846). Second, the rates that                these sites indicating a cause for the
                                                      more specific information about how                     cold-blooded animals metabolize certain               decline. However, as described in Factor
                                                      seeps are connected underground, as                     chemicals into more toxic forms                       A, impaired water quality could favor a
                                                      well as the ability of the amphipods to                 increase at higher temperatures. This                 more common species over a rare
                                                      migrate within the soil column in                       characteristic can either cause sublethal             species. Culver and Sereg (2004, pp. 72–
                                                      response to drying from drought                         effects that inhibit the animal’s ability to          73) indicated that there is a possibility
                                                      conditions, it is unclear to what degree                feed, breed, or escape from predators, or             that the Kenk’s amphipod is a poor
                                                      the temporary drying of these habitats                  can be lethal due to increased toxicity               competitor with other Stygobromus
                                                      will affect the Kenk’s amphipod (Carter                 at higher temperatures. For example,                  species, which may be a factor
                                                      2016, pers. comm.). Alternatively, an                   organophosphate insecticides are                      promoting the Kenk’s amphipod’s
                                                      increase in heavy downpours will likely                 metabolically transformed into the more               natural rarity, and that in cave locations
                                                      result in increased runoff and resulting                toxic oxon form. This oxon form is                    Stygobromus species strongly compete
                                                      erosion of surface features at spring                   lethal to animals because it inhibits the             with each other. Only one site in the
                                                      sites, based on previously documented                   enzyme acetylcholinesterase (Hooper et                Washington metropolitan area was
                                                      events. The 2014 National Climate                       al. 2013, p. 36). Illustrating this toxicity,         surveyed in 2017, Burnt Mills Spring
                                                      Assessment further indicates that                       laboratory experiments exposed the                    #6. That site continues to have a large
asabaliauskas on DSKBBXCHB2PROD with PROPOSALS




                                                      overall warming in the Northeast,                       Gammarus pseudolimnaeus amphipod                      number of S. tenuis and no Kenk’s
                                                      including Maryland and the District of                  to the organophosphates terbufos and                  amphipod (Feller 2016g, pers. comm.).
                                                      Columbia, will be from 3 to 10 degrees                  trichlorofon (Howe et al. 1994, p. 58). In            The more common species S. tenuis and
                                                      Fahrenheit (°F) (1.7 to 5.6 degrees                     one set of experiments, terbufos was                  S. foliatus are found at the Virginia
                                                      Celsius (°C)) by the 2080s (Horton et al.               demonstrated to be seven times more                   sites, but they are less abundant than
                                                      2014, p. 374 In Melillo et al. 2014). The               toxic at 62 °F (17 °C) than at 45 °F                  what has been observed in the
                                                      Southeast region, which includes                        (7 °C). And third, ammonia, derived                   Washington metropolitan area sites
                                                      Virginia, is projected to see a regional                from wastewater, fertilizers, and runoff              (Hobson 2017b, pers. comm.). While the
                                                      average temperature increase of 4 to 8 °F               from animal wastes, is more toxic to all              Kenk’s amphipod may have always been


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                                                      45568                 Federal Register / Vol. 82, No. 188 / Friday, September 29, 2017 / Proposed Rules

                                                      naturally rare, we conclude that the                    streams. Currently, the species is known              resiliency of each of the Kenk’s
                                                      species may be getting rarer at the                     to be extant at one of the Washington                 amphipod’s populations may be low to
                                                      Washington metropolitan area sites due                  metropolitan area sites and seven of the              moderate. The small size of each of the
                                                      to the stressors discussed above.                       Virginia sites. We assume that the                    13 habitat areas makes each population
                                                         Summary of Factor E—The believed                     Sherrill Drive Spring site is extirpated.             vulnerable to natural environmental
                                                      small population size at all of the sites               Although we cannot confirm without                    stochasticity and human-caused habitat
                                                      makes each one of them vulnerable to                    additional consecutive negative survey                disturbance, including relatively minor
                                                      natural environmental stochasticity and                 results, given the lack of recent positive            effects in the spring recharge area. As a
                                                      human-caused habitat disturbance,                       surveys and the existing stressors at the             result of habitat fragmentation/isolation
                                                      including relatively minor impacts in                   five other Washington metropolitan area               there is a lack of connectivity and
                                                      their spring recharge areas. The believed               sites, it is possible that these sites are            genetic exchange between populations
                                                      small size and isolation of sites also                  functionally extinct, which means that                and, we assume, a lack of ability to
                                                      make each population vulnerable to                      the population at each site is so reduced             recolonize extirpated sites. However,
                                                      demographic stochasticity, including                    that the site population is no longer                 the larger number of Kenk’s amphipods
                                                      loss of genetic variability and adaptive                viable.                                               found at two of the newly discovered
                                                      capacity.                                                  The isolation of the two Montgomery                sites, together with the expectation that
                                                         The best available climate data                      County, MD, populations from other                    seven of the sites will be adequately
                                                      indicate that the areas supporting the                  Washington metropolitan area                          protected from habitat quality stressors,
                                                      Kenk’s amphipod will see increasing                     populations and their occurrence along                leads us to believe that the resiliency of
                                                      ambient temperatures, increasing winter                 different tributary streams make it                   the Kenk’s amphipod at a majority of its
                                                      and spring precipitation, increasing                    unlikely that a single catastrophic                   sites is higher than we thought at the
                                                      frequency of heavy downpours, and                       adverse event (e.g., a spill) will                    time of the proposed listing rule.
                                                      increasing summer and fall drought risk                 eliminate more than one occurrence at
                                                      as higher temperatures lead to greater                  a time. In addition, the Virginia sites on            Determination
                                                      evaporation and earlier winter and                      Fort A.P. Hill occur in two stream areas,                Section 4 of the Act (16 U.S.C. 1533),
                                                      spring snowmelt. Droughts could result                  Mill Creek and Mount Creek, making it                 and its implementing regulations at 50
                                                      in drying up of spring sites, while the                 unlikely that a single military training              CFR part 424, set forth the procedures
                                                      increase in heavy downpours could                       event or other catastrophic event will                for determining whether a species is an
                                                      result in erosion and sedimentation of                  eliminate more than one occurrence at                 endangered species or threatened
                                                      sites. Ambient air temperature has                      a time. In addition, subsequent to the                species and should be included on the
                                                      increased by 3 °F (1.7 °C) since 1960,                  species’ proposal for endangered status,              Federal Lists of Endangered and
                                                      and is expected to increase by 8 to 10 °F               it was found in the spring of 2017                    Threatened Wildlife and Plants (listed).
                                                      (4.4 to 5.6 °C) by the 2080s. If current                approximately 8.5 mi (13.7 km) away                   The Act defines an endangered species
                                                      climate change predictions become a                     and across the Rappahannock River                     as any species that is ‘‘in danger of
                                                      reality, by the 2080s some increase in                  from the known Fort A.P. Hill sites.                  extinction throughout all or a significant
                                                      ground water temperatures will occur at                 This finding, together with the                       portion of its range’’ and a threatened
                                                      sites occupied by the Kenk’s amphipod,                  discovery of two new sites on Fort A.P.               species as any species ‘‘that is likely to
                                                      but the magnitude and significance of                   Hill, contributes to additional                       become endangered throughout all or a
                                                      these changes is difficult to predict.                  redundancy for the species.                           significant portion of its range within
                                                                                                                 Representation—Based on the                        the foreseeable future.’’ The phrase
                                                      Cumulative Effects
                                                                                                              information about historical changes to               ‘‘significant portion of its range’’ (SPR)
                                                         Many of the factors previously                       the landscape across the Washington                   is not defined by the Act, and, since the
                                                      discussed are cumulatively and                          metropolitan area, we conclude it is                  Service’s policy interpreting the phrase
                                                      synergistically affecting the Kenk’s                    likely that the species’ historical                   was vacated by the court in Center for
                                                      amphipod primarily in the Washington                    distribution was larger than the current              Biological Diversity v. Jewell, No. 14–
                                                      metropolitan area. For example, Kenk’s                  distribution; therefore, the species may              cv–02506–RM (D. Ariz. Mar. 29, 2017),
                                                      amphipod habitat can be degraded by                     have previously experienced a loss in                 we currently do not have a binding
                                                      storm water runoff when there is not                    representation. Also, because we do not               interpretation that addresses: (1) The
                                                      adequate forest buffer, which is likely to              yet have sufficient information on the                outcome of a determination that a
                                                      increase with more frequent and intense                 genetics of these populations, we cannot              species is either in danger of extinction
                                                      storms and precipitation levels in the                  determine whether the species                         or likely to become so in the foreseeable
                                                      future. Species with larger populations                 possesses a single genetic identity or has            future throughout a significant portion
                                                      are naturally more resilient to the                     genetic variability across populations.               of its range; or (2) what qualifies a
                                                      stressors affecting individuals or local                However, the species is now known to                  portion of a range as ‘‘significant.’’ We
                                                      occurrences, while smaller populations                  occur within habitat supported by two                 have examined the plain language of the
                                                      or individuals are more susceptible to                  different geological formations, the                  Act and court decisions addressing the
                                                      demographic or stochastic events.                       Wissahickon and Nanjemoy. While we                    Service’s application of the SPR phrase
                                                      Below we discuss the Kenk’s                             conclude that the species’                            in various listing decisions, and for
                                                      amphipod’s viability as expressed                       representation has likely been reduced                purposes of this rulemaking we are
                                                      through the conservation biology                        from historical levels, it may not be as              applying the following interpretation for
asabaliauskas on DSKBBXCHB2PROD with PROPOSALS




                                                      principles of representation,                           limited as we thought at the time of the              the phrase ‘‘significant portion of its
                                                      redundancy, and resiliency, which                       proposed rule given our expanded                      range’’ and its context in determining
                                                      illustrate how the cumulative and                       understanding of suitable habitat and                 whether or not a species is an
                                                      synergistic effects are affecting the                   the three new locations found during                  endangered species or a threatened
                                                      species as a whole.                                     the spring 2017 surveys on public land.               species.
                                                         Redundancy—The species has some                         Resiliency—Based on the relatively                    Two district court decisions have
                                                      redundancy given its known historical                   small number of individuals found at                  evaluated whether the outcomes of the
                                                      distribution of 13 sites across 4                       the 13 known seeps, and the variability               Service’s determinations that a species
                                                      municipal jurisdictions and multiple                    of stressors across the species’ range, the           is in danger of extinction or likely to


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                                                                            Federal Register / Vol. 82, No. 188 / Friday, September 29, 2017 / Proposed Rules                                         45569

                                                      become so in the foreseeable future in                  individuals of the species wherever                      In implementing these independent
                                                      a significant portion of its range were                 found.                                                bases for listing a species, as discussed
                                                      reasonable. Defenders of Wildlife v.                       Although there are potentially many                above, we list any species in its entirety
                                                      Salazar, 729 F. Supp. 2d 1207 (D. Mont.                 ways to determine whether a portion of                either because it is in danger of
                                                      2010) (appeal dismissed as moot                         a species’ range is ‘‘significant,’’ we               extinction now or likely to become so in
                                                      because of public law vacating the                      conclude, for the purposes of this rule,              the foreseeable future throughout all of
                                                      listing, 2012 U.S. App. LEXIS 26769                     that the significance of the portion of               its range or because it is in danger of
                                                      (9th Cir. Nov. 7, 2012)); WildEarth                     the range should be determined based                  extinction or likely to become so in the
                                                      Guardians v. Salazar, No. 09–00574–                     on its biological contribution to the                 foreseeable future throughout a
                                                      PHX–FJM, 2010 U.S. Dist. LEXIS                          conservation of the species. For this                 significant portion of its range. With
                                                      105253 (D. Ariz. Sept. 30, 2010). Both                  reason, we describe the threshold for                 regard to the text of the Act, we note
                                                      courts found that, once the Service                     ‘‘significant’’ in terms of an increase in            that Congress placed the ‘‘all’’ language
                                                      determines that a ‘‘species’’—which can                 the risk of extinction for the species. We            before the SPR phrase in the definitions
                                                      include a species, subspecies, or                       conclude that such a biologically based               of ‘‘endangered species’’ and
                                                      Distinct Population Segment of a                        definition of ‘‘significant’’ best conforms           ‘‘threatened species.’’ This placement
                                                      vertebrate species (DPS) under section                  to the purposes of the Act, is consistent             suggests that Congress intended that an
                                                      3(16) of the Act—meets the definition of                with judicial interpretations, and best               analysis based on consideration of the
                                                      ‘‘endangered species’’ or ‘‘threatened                  ensures species’ conservation.                        entire range should receive primary
                                                      species,’’ the species must be listed in                   For the purposes of this rule, we                  focus. Thus, the first step in our
                                                      its entirety and the Act’s protections                  determine if a portion’s biological                   assessment of the status of a species is
                                                      applied consistently to all members of                  contribution is so important that the                 to determine its status throughout all of
                                                      that species (subject to modification of                portion qualifies as ‘‘significant’’ by               its range. Depending on the status
                                                      protections through special rules under                 asking whether, without that portion,                 throughout all of its range, we will
                                                      sections 4(d) and 10(j) of the Act). See                the species in the remainder of its range             subsequently examine whether it is
                                                      Defenders, 729 F. Supp. 2d at 1222                      warrants listing (i.e., is in danger of               necessary to determine its status
                                                      (delisting the Northern Rocky Mountain                  extinction or likely to become so in the              throughout a significant portion of its
                                                      DPS of gray wolf except in the Wyoming                  foreseeable future). Conversely, we                   range.
                                                      portion of its range (74 FR 15123 (Apr.                 would not consider the portion of the                    Under section 4(a)(1) of the Act, we
                                                      2, 2009)) was unreasonable because the                  range at issue to be ‘‘significant’’ if the           determine whether a species is an
                                                      Act unambiguously prohibits listing or                  species would not warrant listing in the              endangered species or threatened
                                                      protecting part of a DPS); WildEarth                    remainder of its range even if the                    species because of any of the following:
                                                                                                              population in that portion of the range               (A) The present or threatened
                                                      Guardians, 2010 U.S. Dist. LEXIS
                                                                                                              in question became extirpated (extinct                destruction, modification, or
                                                      105253, at 15–16 (the Service’s finding
                                                                                                              locally).                                             curtailment of its habitat or range; (B)
                                                      that listing the Gunnison’s prairie dog in                 We interpret the term ‘‘range’’ to be
                                                      the ‘‘montane portion’’ of its range was                                                                      Overutilization for commercial,
                                                                                                              the general geographical area within                  recreational, scientific, or educational
                                                      warranted (73 FR 6660 (Feb. 5, 2008))                   which the species is currently found,
                                                      was unreasonable because the Service                                                                          purposes; (C) Disease or predation; (D)
                                                                                                              including those areas used throughout                 The inadequacy of existing regulatory
                                                      ‘‘cannot determine that anything other                  all or part of the species’ life cycle, even          mechanisms; or (E) Other natural or
                                                      than a species, as defined by the Act, is               if not used on a regular basis. We                    manmade factors affecting its continued
                                                      an endangered or threatened species’’).                 consider the ‘‘current’’ range of the                 existence. These five factors apply
                                                      The issue has not been addressed by a                   species to be the range occupied by the               whether we are analyzing the species’
                                                      Federal Court of Appeals.                               species at the time the Service makes a               status throughout all of its range or
                                                         For the purposes of this rule, we                    determination under section 4 of the                  throughout a significant portion of its
                                                      interpret the SPR phrase in the Act’s                   Act. The phrase ‘‘is in danger’’ in the               range.
                                                      definitions of ‘‘endangered species’’ and               definition of ‘‘endangered species’’
                                                      ‘‘threatened species’’ to provide an                    denotes a present-tense condition of                  Kenk’s Amphipod Determination of
                                                      independent basis for listing a species                 being at risk of a current or future                  Status Throughout All of Its Range
                                                      in its entirety; thus there are two                     undesired event. Hence, to say a species                 Our review of the best available
                                                      situations (or factual bases) under which               ‘‘is in danger’’ in an area where it no               information indicates that the Kenk’s
                                                      a species would qualify for listing: A                  longer exists—i.e., in its historical range           amphipod is known to be extant at one
                                                      species may be in danger of extinction                  where it has been extirpated—is                       of the Washington metropolitan area
                                                      or likely to become so in the foreseeable               inconsistent with common usage. Thus,                 sites and seven of the Virginia sites. We
                                                      future throughout all of its range; or a                ‘‘range’’ must mean ‘‘current range,’’ not            assume that the Sherrill Drive Spring
                                                      species may be in danger of extinction                  ‘‘historical range.’’ A corollary of this             site is extirpated. Although we cannot
                                                      or likely to become so throughout a                     logic is that lost historical range cannot            confirm without additional consecutive
                                                      significant portion of its range. If a                  constitute a significant portion of a                 negative survey results, given the lack of
                                                      species is in danger of extinction                      species’ range where a species is in                  recent positive surveys and the existing
                                                      throughout an SPR, it, the species, is an               danger of extinction or likely to become              stressors at the other Washington
                                                      ‘‘endangered species.’’ The same                        so within the foreseeable future (i.e., it            metropolitan area sites, it is possible
asabaliauskas on DSKBBXCHB2PROD with PROPOSALS




                                                      analysis applies to ‘‘threatened species.’’             cannot be currently in danger of                      that these sites are functionally extinct.
                                                      Therefore, the consequence of finding                   extinction in a portion of its range                  Three of the Virginia sites were recently
                                                      that a species is in danger of extinction               where it is already extirpated). While                discovered during the 2017 surveys of
                                                      or likely to become so throughout a                     we conclude that a species cannot be in               suitable habitat on publicly owned
                                                      significant portion of its range is that the            danger of extinction in its lost historical           lands. While there appears to be
                                                      entire species will be listed as an                     range, taking into account the effects of             evidence of extirpation at one site
                                                      endangered species or threatened                        loss of historical range on a species is              (Sherrill Drive Spring) and decline of
                                                      species, respectively, and the Act’s                    an important component of determining                 the species at four Washington
                                                      protections will be applied to all                      a species’ current and future status.                 metropolitan area sites (East Spring,


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                                                      45570                 Federal Register / Vol. 82, No. 188 / Friday, September 29, 2017 / Proposed Rules

                                                      Kennedy Spring, Holsinger Spring, and                   increase, that the ground water will                  amphipod, we considered the extent to
                                                      Burnt Mill Spring #6), and one                          become too warm by the end of the                     which we could reliably predict the
                                                      individual was collected at Coquelin                    century for the Kenk’s amphipod to                    species’ risk of extinction over time. Our
                                                      Run Spring, the number of Kenk’s                        successfully reproduce, and that higher               ability to make reliable predictions into
                                                      amphipods found during the 2017                         ground water temperatures will increase               the future for the Kenk’s amphipod is
                                                      surveys was slightly higher at two of the               the species’ exposure, and sublethal and              informed by the species’ survey data;
                                                      previously known Fort A.P. Hill sites                   lethal response, to contaminants.                     the potential effects to the species from
                                                      (Mount Creek #2 and Upper Mill Creek                    However, there is some uncertainty                    ongoing and predicted stressors, as well
                                                      #2), the same at one previously known                   associated with that hypothesis given                 as the uncertainty surrounding the
                                                      Fort A.P. Hill site (Mill Creek #4), and                the long timeframes (e.g., more than 50               species’ response to those stressors; and
                                                      higher at two new sites on Fort A.P. Hill               years) associated with the climate                    ongoing and future conservation
                                                      (Mill Creek #56 and Mill Creek #59);                    modelling and the unknown water                       measures to address the known
                                                      one of the previously known Fort A.P.                   temperature tolerance of the Kenk’s                   stressors. The future timeframe for this
                                                      Hill sites was not surveyed (Mill Creek                 amphipod.                                             analysis is 30 years, which is a
                                                      #5) due to lack of spring flow. In                         Although there are some stressors that
                                                                                                                                                                    reasonably long time to consider as the
                                                      addition, the species was newly                         are expected to continue to result in the
                                                                                                                                                                    foreseeable future given the Kenk’s
                                                      discovered at the Voorhees Nature                       degradation and loss of some habitat
                                                                                                              sites for the Kenk’s amphipod, the risk               amphipod’s life history and the
                                                      Preserve. It is possible that the species                                                                     temporal scale associated with the
                                                      could be found at additional locations                  of the species significantly declining
                                                                                                              across its range in the near term is very             patterns of survey data and the past and
                                                      in Virginia based on the amount of yet-                                                                       current stressors outlined in the best
                                                      to-be-surveyed suitable habitat.                        low given that it has persisted, albeit at
                                                                                                              decreased levels, despite historical                  available data. The timeframe for
                                                         The habitat loss and degradation                                                                           foreseeable future is based, in part, on
                                                                                                              levels of habitat loss in the Washington
                                                      (Factor A) from poor water quality                                                                            projecting forward. A similar timeframe
                                                                                                              metropolitan area. Factors in favor
                                                      parameters associated with urban runoff                                                                       encompassed by the historical survey
                                                                                                              include the species’ presence in
                                                      affecting the Kenk’s amphipod at the six                                                                      results shows decades in which the
                                                                                                              relatively higher numbers at the Virginia
                                                      Washington metropolitan area sites,                                                                           species was present, absent, and then
                                                                                                              sites. Furthermore, the existing stressors
                                                      despite existing regulatory mechanisms                                                                        present again at some seep sites. This
                                                                                                              are not likely to cause species-level
                                                      (Factor D), are likely to be exacerbated                effects in the near term. The                         timeframe also captures our best
                                                      in the future by the increasing risk of                 documented persistence of the species                 professional judgment of the projected
                                                      exposure to breaks and leaks from the                   at one location in the Washington                     potential range of future conditions
                                                      aging sewer and water pipe                              metropolitan area and seven locations in              related to the effects of climate change
                                                      infrastructure (Factor A), as well as the               Virginia provides redundancy,                         (i.e., the period in which the species’
                                                      predicted more frequent and intense                     resiliency, and representation to sustain             response to the potential effects of
                                                      rainfall events, resulting in sheet flow                the species beyond the near term.                     climate change are reliably predictable)
                                                      events, due to the effects of climate                   Therefore, we conclude that the risk of               and cumulative effects.
                                                      change (Factor E). However, poor water                  extinction of the Kenk’s amphipod in
                                                      quality associated with urban runoff is                                                                          Since the analysis of potential effects
                                                                                                              the near term is sufficiently low that it             from climate change was an important
                                                      not affecting the species at the seven                  does not meet the definition of an
                                                      sites in Virginia. Interspecific                                                                              consideration in our analysis, it was
                                                                                                              endangered species under the Act.                     necessary to consider a long enough
                                                      competition (Factor E) from larger                         The Act defines a threatened species
                                                      amphipod species may also be affecting                                                                        timeframe to adequately evaluate those
                                                                                                              as ‘‘any species which is likely to
                                                      the Kenk’s amphipod at some of the                                                                            potential effects. However, we did not
                                                                                                              become an endangered species within
                                                      Washington metropolitan area sites, but                                                                       extend our risk assessment forecasting
                                                                                                              the foreseeable future throughout all or
                                                      the available information is                                                                                  used in the listing determination
                                                                                                              a significant portion of its range.’’ A key
                                                      inconclusive, and those larger                                                                                process out as far as the existing climate
                                                                                                              statutory difference between an
                                                      amphipod species, while found at some                   endangered species and a threatened                   change models (e.g., models that
                                                      of the Virginia sites, have not been                    species is the timing of when the                     forecast effects over 80 years) discussed
                                                      found in large numbers (Hobson 2017b,                   relevant threats would begin acting                   in the proposed listing rule (81 FR
                                                      pers. comm.). Overutilization (Factor B),               upon a species such that it is in danger              67270) due to (1) the increased
                                                      disease (Factor C), and predation (Factor               of extinction now (endangered species)                uncertainty in the model results (i.e., the
                                                      C) are not known to be factors affecting                or likely to become so in the foreseeable             confidence intervals associated with
                                                      the Kenk’s amphipod at any site. It is                  future (threatened species).                          temperature and precipitation
                                                      possible that the effects of small                         The foreseeable future refers to the               projections); (2) the higher level of
                                                      population dynamics (Factor E) may be                   extent to which we can reasonably rely                uncertainty of how the species may
                                                      having an effect at some, if not all, of the            on predictions about the future in                    respond to any potential changes in its
                                                      species’ locations, but there is some                   making determinations about the future                habitat that may result from changes in
                                                      uncertainty associated with that                        conservation status of the species (U.S.              temperature and precipitation patterns;
                                                      hypothesis given the species’ known                     Department of the Interior, Solicitor’s               and (3) uncertainty associated with how
                                                      ability to move back and forth between                  Memorandum, M–37021, January 16,                      society will respond to the predicted
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                                                      the ground water and surface areas of                   2009). We must look not only at the                   change in climate (e.g., take actions that
                                                      the seeps and given the survey data                     foreseeability of threats, but also at the            will mediate or accelerate global
                                                      indicating the species can reappear,                    foreseeability of the impact of the                   emissions) that far into the future. As an
                                                      sometimes in higher numbers of                          threats on the species (U.S. Department               example of biological uncertainty, there
                                                      individuals, after several years of                     of the Interior’s Solicitor’s                         are significant questions regarding the
                                                      absence. It is also possible that                       Memorandum, M–37021, January 16,                      extent to which the number of Kenk’s
                                                      increasing air temperatures as a result of              2009).                                                amphipods observed at the seep surface
                                                      climate change (Factor E) will cause                       In considering the foreseeable future              accurately reflects the actual population
                                                      ground water temperatures to eventually                 as it relates to the status of the Kenk’s             at each site given the species’ known


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                                                                            Federal Register / Vol. 82, No. 188 / Friday, September 29, 2017 / Proposed Rules                                          45571

                                                      ability to move between the surface and                 project that the risk is low that the                 danger of extinction or likely to become
                                                      subsurface habitat.                                     species will not continue to be present               so.
                                                         These uncertainties are additive and                 in multiple areas, especially in Virginia,               Although there are potentially many
                                                      undermine the Service’s confidence in                   in adequate abundance to withstand                    ways to determine whether a portion of
                                                      making a risk assessment projection                     stochastic events. For example, the risk              a species’ range is ‘‘significant,’’ we
                                                      beyond 30 years. Therefore, as further                  is low that a training or hunting event               conclude, as noted above, for the
                                                      described below, a projection of the                    at Fort A.P. Hill causing damage to a                 purposes of this rule, that the
                                                      threats and the effects to the species of               seep site will cause extirpation of the               significance of the portion of the range
                                                      30 years represents the timeframe over                  species at that site.                                 should be determined based on its
                                                      which the Service considers a reliable                     Based on our analysis of the species’              biological contribution to the
                                                      prediction to be possible.                              redundancy, resiliency, and                           conservation of the species. For this
                                                         As we concluded above, the stressors                 representation, and our consideration of              reason, we describe the threshold for
                                                      likely to have the greatest influence on                the species’ future stressors and                     ‘‘significant’’ in terms of an increase in
                                                      the Kenk’s amphipod’s viability over                    conservation measures to address those                the risk of extinction for the species. We
                                                      time include: Changes in habitat quality                stressors, we conclude that the Kenk’s                conclude that such a biologically based
                                                      and quantity resulting from                             amphipod is likely to remain at a                     definition of ‘‘significant’’ best conforms
                                                      urbanization in the Washington                          sufficiently low risk of extinction such              to the purposes of the Act, is consistent
                                                      metropolitan areas and the potential for                that it is not likely to become in danger             with judicial interpretations, and best
                                                      the effects of small population dynamics                of extinction in the foreseeable future               ensures species’ conservation.
                                                      and increased ground water                              and thus does not meet the definition of                 We evaluate biological significance
                                                      temperatures due to climate change at                   a threatened species under the Act.                   based on the principles of conservation
                                                      all sites. Given the risk factors affecting                                                                   biology using the concepts of
                                                      the species currently and/or potentially                Determination of Status Throughout a                  redundancy, resiliency, and
                                                      in the future, we determined the                        Significant Portion of Its Range                      representation because decreases in the
                                                      following:                                                                                                    redundancy, resiliency, and
                                                         • The best available information                        Consistent with our interpretation
                                                                                                                                                                    representation of a species lead to
                                                      indicates that the risk is low that                     that there are two independent bases for
                                                                                                                                                                    increases in the risk of extinction for the
                                                      changes in habitat quality resulting from               listing species as described above, after
                                                                                                                                                                    species. Redundancy (having multiple
                                                      changes in temperature will result in                   examining the species’ status
                                                                                                                                                                    resilient populations considering
                                                      aggregate or species-level effects in the               throughout all of its range, we now
                                                                                                                                                                    genetic and environmental diversity)
                                                      foreseeable future.                                     examine whether it is necessary to
                                                                                                                                                                    may be needed to provide a margin of
                                                         • There is significant uncertainty                   determine its status throughout a                     safety for the species to withstand
                                                      regarding the timeframe in which the                    significant portion of its range. We must             catastrophic events. Resiliency describes
                                                      predicted climate-induced changes to                    give operational effect to both the                   the characteristics of a species that
                                                      air temperature will manifest in ground                 ‘‘throughout all’’ of its range language              allow it to recover from stochastic
                                                      water (i.e., whether those changes will                 and the SPR phrase in the definitions of              events or periodic disturbance.
                                                      occur within the foreseeable future).                   ‘‘endangered species’’ and ‘‘threatened               Representation (the range of variation
                                                         • There is significant uncertainty                   species.’’ The Act, however, does not                 found in a species) ensures that the
                                                      regarding the extent to which the                       specify the relationship between the two              species’ ability to adapt to changing
                                                      number of Kenk’s amphipods observed                     bases for listing. As discussed above, to             environments is conserved.
                                                      at the seep surface accurately reflects                 give operational effect to the                        Redundancy, resiliency, and
                                                      the actual population at each site given                ‘‘throughout all’’ language that is                   representation are not independent of
                                                      the species’ known ability to move                      referenced first in the definition,                   each other, and some characteristics of
                                                      between the surface and subsurface                      consideration of the species’ status                  a species or area may contribute to all
                                                      habitat. The best available data indicate               throughout the entire range should                    three. For example, distribution across a
                                                      that the risk of the dynamics of small                  receive primary focus and we should                   wide variety of habitats is an indicator
                                                      population size affecting the species is                undertake that analysis first. In order to            of representation, but it may also
                                                      low because even if the species may                     give operational effect to the SPR                    indicate a broad geographic distribution
                                                      exist in low numbers at most or all of                  language, the Service should undertake                contributing to redundancy (decreasing
                                                      the 13 known sites, it is very unlikely                 an SPR analysis if the species is neither             the chance that any one event affects the
                                                      that all of the sites would be exposed to               in danger of extinction nor likely to                 entire species), and the likelihood that
                                                      catastrophic or stochastic events at the                become so in the foreseeable future                   some habitat types are less susceptible
                                                      same time. Therefore, the species is not                throughout all of its range, to determine             to certain threats, contributing to
                                                      likely to be extirpated at most or all of               if the species should nonetheless be                  resiliency (the ability of the species to
                                                      the sites within the foreseeable future.                listed because of its status in an SPR.               recover from disturbance). None of these
                                                         Taking into account the effects of the               Thus, we conclude that to give                        concepts is intended to be mutually
                                                      most likely stressors and the potential                 operational effect to both the                        exclusive, and a portion of a species’
                                                      for cumulative effects to the species, our              ‘‘throughout all’’ language and the SPR               range may be determined to be
                                                      projections for foreseeable future                      phrase, the Service should conduct an                 ‘‘significant’’ due to its contributions
                                                      conditions are that the risk is low that                SPR analysis if (and only if) a species               under any one of these concepts.
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                                                      the Kenk’s amphipod will not continue                   does not warrant listing according to the                For the purposes of this rule, we
                                                      to be distributed across multiple seep                  ‘‘throughout all’’ language.                          determine if a portion’s biological
                                                      sites within the species’ current range.                   Because we determined that the                     contribution is so important that the
                                                      These multiple areas will help the                      Kenk’s amphipod is not in danger of                   portion qualifies as ‘‘significant’’ by
                                                      Kenk’s amphipod withstand                               extinction or likely to become so in the              asking whether, without that portion,
                                                      catastrophic events; meaning the risk is                foreseeable future throughout all of its              the representation, redundancy, or
                                                      low that a significant weather or other                 range, we will consider whether there                 resiliency of the species would be so
                                                      event will cause extirpation of the                     are any significant portions of its range             impaired that the species would be in
                                                      species at most or all sites. Also, we                  in which the Kenk’s amphipod is in                    danger of extinction or likely to become


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                                                      45572                 Federal Register / Vol. 82, No. 188 / Friday, September 29, 2017 / Proposed Rules

                                                      so in the foreseeable future (i.e., would               species’ current level of imperilment in              the current status of the species in that
                                                      be an ‘‘endangered species’’ or a                       the portion results in the species                    portion is relevant only for determining
                                                      ‘‘threatened species’’). Conversely, we                 currently being in danger of extinction               the listing status if the portion has been
                                                      would not consider the portion of the                   or likely to become so throughout all of              determined to be significant. This
                                                      range at issue to be ‘‘significant’’ if there           its range.                                            definition of ‘‘significant’’ establishes a
                                                      is sufficient resiliency, redundancy, and                  Under the definition of ‘‘significant’’            lower threshold than requiring that the
                                                      representation elsewhere in the species’                used in this rule, the portion of the                 species’ current status in that portion of
                                                      range that the species would not be in                  range need not rise to such an                        its range is already causing the species
                                                      danger of extinction or likely to become                exceptionally high level of biological                to be in danger of extinction throughout
                                                      so throughout its range even if the                     significance. (We recognize that, if the              all of its range or likely to become so in
                                                      population in that portion of the range                 portion rises to the higher level of                  the foreseeable future. In other words,
                                                      in question became extirpated (extinct                  biological significance and the species is            this definition of ‘‘significant’’ captures
                                                      locally).                                               in danger of extinction or likely to                  circumstances that would not be
                                                         We recognize that this definition of                 become so in the foreseeable future in                captured by the definition used in
                                                      ‘‘significant’’ establishes a threshold                 that portion, then the species would                  Defenders, or by analyzing whether a
                                                      that is relatively high. Given that the                 already be in danger of extinction or                 species is in danger of extinction or
                                                      outcome of finding a species to be in                   likely to become so in the foreseeable                likely to become so throughout all of its
                                                      danger of extinction or likely to become                future throughout all of its range. We                range: A species that is not currently
                                                      so in an SPR would be to list the species               would accordingly list the species as                 likely to become an endangered species
                                                      and apply protections of the Act to all                 threatened or endangered throughout all               in the foreseeable future, but would be
                                                      individuals of the species wherever                     of its range by virtue of the species’                if a particular important portion of its
                                                      found, it is important to use a threshold               rangewide status so we would not need                 range is completely lost, can
                                                      for ‘‘significant’’ that is robust. It would            to rely on the SPR language for such a                nonetheless be listed now if the species
                                                      not be meaningful or appropriate to                     listing.) Rather, under this interpretation           in that portion is threatened or
                                                      establish a very low threshold whereby                  we ask whether the species would be in                endangered (as opposed to only after the
                                                      a portion of the range can be considered                danger of extinction or likely to become              portion is in fact lost, as would be the
                                                      ‘‘significant’’ even if only a negligible               so everywhere without that portion, i.e.,             case if the SPR language did not exist).
                                                      increase in extinction risk would result                if the species were hypothetically
                                                                                                                                                                       The second misunderstanding was the
                                                      from its loss. Because nearly any portion               completely extirpated from that portion.
                                                      of a species’ range can be said to                      In other words, the portion of the range              court’s characterization of the listing
                                                      contribute some increment to a species’                 need not be so important that its current             determination for the African
                                                      viability, use of such a low threshold                  status in that portion of its range—being             coelacanth as an indication that the
                                                      would require us to impose restrictions                 merely in danger of extinction, or likely             Service and National Marine Fisheries
                                                      and expend conservation resources                       to become so in the foreseeable future—               Service (NMFS) have had difficulty
                                                      disproportionately to conservation                      is sufficient to cause the species to be              accurately applying this definition of
                                                      benefit: Listing would be rangewide,                    in danger of extinction or likely to                  ‘‘significant.’’ However, in that listing
                                                      even if only a portion of the range with                become so in the foreseeable future                   determination, the conclusion was that
                                                      minor conservation importance to the                    throughout all of its range. Instead, we              the species was not in danger of
                                                      species is imperiled. On the other hand,                evaluate whether the complete                         extinction throughout all of its range or
                                                      it would be inappropriate to establish a                extirpation (in a hypothetical future) of             likely to become so in the foreseeable
                                                      threshold for ‘‘significant’’ that is too               the species in that portion would at that             future but it did warrant listing because
                                                      high. This would be the case if the                     point cause the species throughout its                of its status in a significant portion of its
                                                      standard were, for example, that a                      remaining range to be in danger of                    range. The only reason for not listing the
                                                      portion of the range can be considered                  extinction or likely to become so in the              entire species was that the population in
                                                      ‘‘significant’’ only if threats in that                 foreseeable future.                                   that portion of the range met the
                                                      portion result in the entire species’                      We are aware that the court in Center              definition of a DPS, and therefore the
                                                      being currently in danger of extinction                 for Biological Diversity v. Jewell found              agency listed the DPS instead of the
                                                      or likely to become so. Such a high bar                 that this definition of ‘‘significant’’ does          entire species. The population in an
                                                      would not give the SPR phrase                           not give sufficient independent meaning               SPR is not automatically a DPS so,
                                                      independent meaning, as the Ninth                       to the SPR phrase. However, that                      contrary to the court’s reasoning, the
                                                      Circuit held in Defenders of Wildlife v.                decision was based on two                             definition of ‘‘significant’’ can be
                                                      Norton, 258 F.3d 1136 (9th Cir. 2001).                  misunderstandings about the                           applied and result in listing a species
                                                         The definition of ‘‘significant’’ used in            interpretation of ‘‘significant.’’ First, the         that would not otherwise be listed. (We
                                                      this rule carefully balances these                      court’s decision was based on its finding             also note another instance, in addition
                                                      concerns. By setting a relatively high                  that, as with the interpretation that the             to the one cited in this case, in which
                                                      threshold, we minimize the degree to                    court rejected in Defenders, the                      this definition has been effectively
                                                      which restrictions would be imposed or                  definition of ‘‘significant’’ does not                applied. In the proposed rule to list the
                                                      resources expended that do not                          allow for an independent basis for                    giant manta ray as a threatened species
                                                      contribute substantially to species                     listing. However, this definition of                  (82 FR 3694; January 12, 2017), NMFS
                                                      conservation. But we have not set the                   ‘‘significant’’ is not the same as the                found that the giant manta ray was not
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                                                      threshold so high that the phrase                       definition applied in Defenders, which                currently in danger of extinction or
                                                      ‘‘throughout a significant portion of its               looked at the current status within the               likely to become so in the foreseeable
                                                      range’’ loses independent meaning.                      portion and asked what the current                    future throughout all of its range
                                                      Specifically, we have not set the                       effect on the entire range of the species             because the Atlantic populations were
                                                      threshold as high as it was under the                   is. By contrast, this definition of                   not experiencing the same risks as the
                                                      interpretation presented by the Service                 ‘‘significant’’ looks at a future                     Pacific populations. However, they did
                                                      in the Defenders litigation. Under that                 hypothetical loss of all members within               find that the Pacific populations
                                                      interpretation, the portion of the range                the portion and asks what the effect on               constituted an SPR, because, without
                                                      would have to be so important that the                  the remainder of the species would be;                that portion, the smaller and more


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                                                                            Federal Register / Vol. 82, No. 188 / Friday, September 29, 2017 / Proposed Rules                                          45573

                                                      sparsely distributed populations in the                 if a species is in danger of extinction or            to become so in the foreseeable future.
                                                      Atlantic would become vulnerable to                     likely to become so in the foreseeable                We next consider whether this portion
                                                      demographic risks and would be likely                   future throughout all of its range.                   may be significant. We can accomplish
                                                      to become in danger of extinction in the                   Once we have identified portions of                this by considering the biological or
                                                      foreseeable future. Accordingly, the                    the species’ range for further analysis,              conservation importance of the portion.
                                                      giant manta ray is proposed to be listed                we conduct a detailed analysis of the                    While the six Washington
                                                      as a threatened species.) In light of these             significance of the portion and the                   metropolitan area sites represent 46
                                                      flaws, we are currently seeking                         status of the species in that portion.                percent of the Kenk’s amphipod’s
                                                      reconsideration of the district court’s                 Depending on the biology of the species,              known populations and represent a
                                                      decision.                                               its range, and the threats it faces, it               diversity of sites because they occur on
                                                         To undertake this analysis, we first                 might be more efficient for us to address             one of the two known geological
                                                      identify any portions of the species’                   the significance question first or the                formations, the risk is low that, should
                                                      range that warrant further consideration.               status question first. If we address                  the species become extirpated in all of
                                                      The range of a species can theoretically                significance first and determine that a               those locations, that loss would be
                                                      be divided into portions in an infinite                 portion of the range is not ‘‘significant,’’          sufficient to cause the remainder of the
                                                      number of ways. To identify only those                  we do not need to determine whether                   species to be in danger of extinction or
                                                      portions that warrant further                           the species is in danger of extinction or             likely to become so within the
                                                      consideration, we determine whether                     likely to become so in the foreseeable                foreseeable future, given the Kenk’s
                                                      there is substantial information                        future there; if we address the status of             amphipod would still be present in 54
                                                      indicating that there are any portions of               the species in portions of its range first            percent of its range (e.g., the seven
                                                      the species’ range: (1) That may be                     and determine that the species is not in              Virginia sites). The Virginia sites are
                                                      ‘‘significant,’’ and (2) where the species              danger of extinction or likely to become              protected against the effects of poor
                                                      may be in danger of extinction or likely                so in a portion of its range, we do not               water quality parameters.
                                                      to become so in the foreseeable future.                 need to determine if that portion is                     We have identified the Washington
                                                      We emphasize that answering these                       ‘‘significant.’’                                      metropolitan area sites as a portion
                                                      questions in the affirmative is not a                                                                         where the species may be in danger of
                                                                                                              Kenk’s Amphipod Determination of                      extinction or likely to become so in the
                                                      determination that the species is in
                                                                                                              Significant Portion of Its Range                      foreseeable future. However, there is not
                                                      danger of extinction or likely to become
                                                      so in the foreseeable future throughout                    Applying the process described                     substantial information to indicate that
                                                      a significant portion of its range—rather,              above, to identify whether any portions               this portion is significant. Therefore,
                                                      it is a step in determining whether a                   warrant further consideration, we                     this portion does not warrant further
                                                      more-detailed analysis of the issue is                  determine whether there is substantial                consideration to determine whether the
                                                      required.                                               information indicating that (1)                       species may be in danger of extinction
                                                         In practice, one key part of identifying             particular portions may be significant                or likely to become so in the foreseeable
                                                      portions for further analysis may be                    and (2) the species may be in danger of               future in a significant portion of its
                                                      whether the threats or effects of threats               extinction in those portions or likely to             range.
                                                      are geographically concentrated in some                 become so within the foreseeable future.                 To identify portions that may be
                                                      way. If a species is not in danger of                      To identify portions where the species             significant, we consider whether there is
                                                      extinction or likely to become so in the                may be in danger of extinction or likely              substantial information to indicate that
                                                      foreseeable future throughout all of its                to become so in the foreseeable future,               there are any natural divisions within
                                                      range and the threats to the species are                we consider whether there is substantial              the range or other areas that might be of
                                                      essentially uniform throughout its                      information to indicate that any threats              biological or conservation importance.
                                                      range, then the species is not likely to                or effects of threats are geographically              We identified the Virginia sites (spring
                                                      be in danger of extinction or likely to                 concentrated in any portion of the                    seeps on Fort A.P. Hill and the Voorhees
                                                      become so in the foreseeable future in                  species’ range.                                       Nature Preserve) as a portion that may
                                                      any portion of its range. Moreover, if                     We evaluated the current range of the              be significant. These sites are separated
                                                      any concentration of threats applies                    Kenk’s amphipod to determine if there                 from the Washington metropolitan area
                                                      only to portions of the species’ range                  are any apparent geographic                           sites by 60 mi (97 km). The spring sites
                                                      that are not ‘‘significant,’’ such portions             concentrations of potential threats to the            in these areas occur in the Calvert
                                                      will not warrant further consideration.                 species. The risk factors that occur                  geologic formation, whereas the
                                                         If we identify any portions (1) that                 throughout the Kenk’s amphipod’s                      Washington metropolitan area sites
                                                      may be significant and (2) where the                    range include the potential for the                   occur in the Wissahickon geologic
                                                      species may be in danger of extinction                  effects of small population dynamics                  formation. Given the separation between
                                                      or likely to become so in the foreseeable               and the potential for increased ground                the Washington metropolitan sites and
                                                      future, we engage in a more-detailed                    water temperature resulting from the                  the Virginia sites and the inability of the
                                                      analysis to determine whether these                     effects of climate change. Habitat loss               Kenk’s amphipod to travel long
                                                      standards are indeed met. The                           and degradation from poor water quality               distances, we conclude that there is no
                                                      identification of an SPR does not create                parameters associated with urban                      genetic exchange between these two
                                                      a presumption, prejudgment, or other                    runoff, however, is occurring both                    areas. Therefore, we find that there is
                                                      determination as to whether the species                 currently and in the foreseeable future               substantial information that there are
asabaliauskas on DSKBBXCHB2PROD with PROPOSALS




                                                      is in danger of extinction or likely to                 solely at the six Washington                          natural divisions between the Virginia
                                                      become so in the foreseeable future in                  metropolitan area sites. Thus, this one               and Washington metropolitan sites and
                                                      that identified SPR. We must go through                 area of the species’ range is subject to              that the Virginia site may be significant.
                                                      a separate analysis to determine                        a type of habitat loss and degradation                We did not find substantial evidence
                                                      whether the species is in danger of                     that is not affecting the species                     that the Washington metropolitan sites
                                                      extinction or likely to become so in the                uniformly throughout its range. We                    are a significant portion because,
                                                      SPR. To make that determination, we                     identify the Washington metropolitan                  without that portion, there is no
                                                      will use the same standards and                         area sites as a portion where the species             reasonable likelihood that the remainder
                                                      methodology that we use to determine                    may be in danger of extinction or likely              of the species (i.e., those at the Virginia


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                                                      45574                 Federal Register / Vol. 82, No. 188 / Friday, September 29, 2017 / Proposed Rules

                                                      sites) would be in danger of extinction                 there is a concentration of threats in the            Chesapeake Bay Field Office (see
                                                      or likely to become so in the foreseeable               Virginia portion.                                     ADDRESSES)  whenever it becomes
                                                      future, due to the paucity of threats                      We have identified that the Virginia               available. New information will help us
                                                      affecting the Virginia sites.                           portion may be significant. However,                  monitor the Kenk’s amphipod and
                                                         We have identified the Virginia sites                there is not substantial information to               encourage its conservation. If an
                                                      as a portion that may be significant. We                indicate that the species may be in                   emergency situation develops for the
                                                      next consider whether the species may                   danger of extinction or likely to become              Kenk’s amphipod, we will act to
                                                      be in danger of extinction or likely to                 so in the foreseeable future in this                  provide immediate protection.
                                                      become so in the foreseeable future in                  portion. Therefore, this portion does not             References Cited
                                                      this portion. We can accomplish this                    warrant further consideration to
                                                                                                              determine whether the species may be                    A complete list of references cited in
                                                      task by considering whether there is
                                                                                                              in danger of extinction or likely to                  this rulemaking is available on the
                                                      substantial information indicating that
                                                                                                              become so in the foreseeable future in                Internet at http://www.regulations.gov
                                                      there are any threats to or effects of
                                                                                                              a significant portion of its range.                   and upon request from the Chesapeake
                                                      threats on the species that are
                                                                                                                 Our review of the best available                   Bay Field Office (see FOR FURTHER
                                                      concentrated in that portion. The
                                                                                                                                                                    INFORMATION CONTACT).
                                                      Virginia sites are not affected by the                  scientific and commercial information
                                                      same threats we identified for the                      indicates that the Kenk’s amphipod is                 Authors
                                                      Washington metropolitan area sites (e.g.,               not in danger of extinction (endangered)
                                                                                                              or likely to become endangered within                   The primary authors of this proposed
                                                      water quality impacts and habitat                                                                             rule are the staff members of the
                                                      degradation), because the Virginia sites                the foreseeable future (threatened)
                                                                                                              throughout all or a significant portion of            Chesapeake Bay Field Office and the
                                                      occur in areas where land use is                                                                              Northeast Regional Office.
                                                      primarily agriculture and forest with                   its range. Therefore, we find that listing
                                                      little impervious surface and spring                    the Kenk’s amphipod as an endangered                    Dated: September 7, 2017.
                                                      sites are surrounded by large forest                    or threatened species under the Act is                James W. Kurth,
                                                      buffers that would filter out any                       not warranted at this time.                           Acting Director, U.S. Fish and Wildlife
                                                      potential effects of runoff from the                       We request that you submit any new                 Service.
                                                      agricultural areas. We do not find there                information concerning the status of, or              [FR Doc. 2017–21052 Filed 9–28–17; 8:45 am]
                                                      is substantial information indicating                   threats to, the Kenk’s amphipod to our                BILLING CODE 4333–15–P
asabaliauskas on DSKBBXCHB2PROD with PROPOSALS




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Document Created: 2017-09-29 03:26:43
Document Modified: 2017-09-29 03:26:43
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionProposed Rules
ActionProposed rule; withdrawal.
DatesThe proposed rule that published on September 30, 2016 (81 FR 67270), is withdrawn on September 29, 2017.
ContactGenevieve LaRouche, Field Supervisor, U.S. Fish and Wildlife Service, Chesapeake Bay Field Office, 177 Admiral Cochrane Drive, Annapolis, MD 21401, by telephone 410-573-4577 or by facsimile 410-269-0832. Persons who use a telecommunications device for the deaf (TDD) may call the Federal Relay Service at 800- 877-8339.
FR Citation82 FR 45551 
RIN Number1018-BB50

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